A pair of highly anticipated guidance documents outline the European Data Protection Board’s (EDPB) expectations for organizations transferring data out of the EU. While the detailed process for evaluating data transfers brings welcomed guidance and clarity, some aspects of the EDPB’s framework present significant obstacles for those working with non-EU service providers or moving data for routine business purposes.
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About the Author: Reed Abrahamson
As a member of the firm’s Privacy and Cybersecurity Team, Reed Abrahamson assists clients with identifying and addressing data privacy and security risks in business operations. A Certified Information Privacy Professional - United States (CIPP-US), he helps companies design and implement privacy and data security policies and programs, and advises clients on compliance issues related to the GDPR, CCPA, HIPAA, CAN-SPAM Act, TCPA, and other privacy laws. View Reed's full bio on the Faegre Drinker website.
About the Author: Huw Beverley-Smith
Huw Beverley-Smith advises customers and suppliers on a wide range of international transactions and regulatory issues, including technology, telecommunications and business process outsourcing, complex services agreements, intellectual property ownership and licensing. He counsels clients on privacy and cybersecurity issues and helps navigate regulatory hurdles and operational and commercial risks. View Huw's full bio on the Faegre Drinker website.
About the Author: Peter Blenkinsop
Peter Blenkinsop advises clients on regulatory compliance, focusing on two distinct but overlapping areas: (i) information privacy and data protection, and (ii) medical research. View Peter's full bio on the Faegre Drinker website.
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