My new blog post on the recent UK decision against the Washington Post. It is an interesting case, with topics of ad-tracking consent, freedom in privacy trade-off, business dilemma in compliance, etc. Comments always welcome! mingli.me/2018/12/06/ad-trac…
NEW: @hellomingli kicks off our DigiChina Forum on the DiDi decision:
"The PIPL’s 5% annual turnover penalty clause has shown its teeth, and may also be leveraged by regulators in future cybersecurity or data security-focused cases"
digichina.stanford.edu/work/…
More views to come…
BREAKING: simultaneous freakish heat in the Arctic and Antarctic described as 'impossible' and 'unthinkable' by scientists as abrupt climate change accelerates wildly 🧵
Just in awe of these amazing female journalists still reporting from Afghanistan, @clarissaward@sgreports@JaneFerguson5@roxanasaberi@simijan1. And of the many Afghan reporters out on the front lines, sending feeds to their newsrooms despite impossible circumstances.
Just read this inspirational essay by @hartzog and @neilmrichards, urging the focus of privacy law should shift from data itself to a relational context, a better way to achieve the ultimate goal of promoting trust in this digital era. Totally agree. papers.ssrn.com/sol3/papers.…
📈 NEW REPORT: EU regulators' efforts to make standard contractual clauses costlier and more complex is a sign of Europe's march toward de fact data localization that threatens transatlantic digital trade, say @nigelcory, @Ellysse_D, & @castrotechbit.ly/3au4Pxl
China’s Draft Privacy Law Both Builds On and Complicates Its Data Governance - very informative post by Mingli Shi newamerica.org/cybersecurity… via @newamerica
Interesting. With the law enforcement delayed to next summer and the ANPD not formed yet, the public ministry of Brazil takes action now. LGPD In Effect: First Civil Action Filed in Brazil - Lexology lexology.com/library/detail.…
#ECJ: the Decision on the adequacy of the protection provided by the EU-US Data Protection Shield is invalidated, but @EU_Commission Decision on standard contractual clauses for the transfer of personal data to processors established in third countries is valid #Facebook#Schrems