This paper we examines the topic from two complementary perspectives: If we accept that Notice & Consent is not fit for purpose, how can it be improved? And what does an alternative regime beyond the terms and conditions box look like?
EDPB Approves Six-Month Extension for UK Data Protection Adequacy
The EDPB supports a six-month extension of the UK GDPR adequacy decisions until December 2025 while awaiting the UK’s data […]