Reporting, notifying and disclosing a data breach or cybersecurity incident.

Insufficient fulfilment of data breach notification obligations and accelerated breach notification obligations for many trades (e.g. the banking organisations and bank service providers based on the new reporting requirements from the Office of the Comptroller of the Currency (OCC), the Board of Governors of the Federal Reserve System, and the Federal Deposit Insurance Corporation (FDIC) […]

GDPR online Follow-up/Refresher Certification Course

The e-compliance academy offers this flexible online refresher course to renew your current certification after two years of the given exams. The course will further provide you with new inspiration for the GDPR and other global mandates, Personal Data Act, IT Governance, IT- and Cybersecurity and Governance, Risk Management and Compliance topics. Participate from home […]

Critique of the proposed EU directive on Sustainable Management

The primary criticism is that the original report and the subsequent paper that will form the directive does not comply with the EU principle of subsidiarity (EU legislation to solve a problem if the Member States cannot solve the problem themselves) and that there are multiple unserious proposals on sustainability and that the initiatives must […]

The need for a corporate GDPR, Data Privacy and Cybersecurity training and awareness program We have developed a Champion/Protector/Promoter program to address the increased focus on Data Privacy, Data Protection, and Cyber-awareness. Training and awareness are among the most potent weapons and defence in a business’s arsenal regarding safety, resilience, and protection. The Promoter can […]

The invalidation of the criticised Privacy Shield was required.

The Schrems II judgment was projected, and some believe even long overdue, as strengthening the standard of data protection, data transfers, the proactive role of oversight authorities and the affirmation of data subject and data protection rights are at the core of the GDPR. However, the judgment was practical in its approach as it upheld […]

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