New PDF release: Data Security Breaches and Privacy in Europe

By Rebecca Wong

ISBN-10: 1447155858

ISBN-13: 9781447155850

ISBN-10: 1447155866

ISBN-13: 9781447155867

Data defense Breaches and privateness in Europe goals to think about facts defense and cybersecurity matters; extra in particular, it goals to supply a fruitful dialogue on information safety breaches. an in depth research of the eu information defense framework could be tested. specifically, the information defense Directive 95/45/EC, the Directive on privateness and digital Communications and the proposed alterations below the knowledge safeguard law (data breach notifications) and its implications are thought of. this is often through an exam of the Directive on assaults opposed to details platforms and a dialogue of the proposed Cybersecurity Directive, contemplating its shortcomings and its results. the writer concludes by way of taking a look at even if a stability should be drawn by means of the present and proposed information defense framework to guard opposed to facts safeguard breaches and considers what extra has to be achieved.

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Extra resources for Data Security Breaches and Privacy in Europe

Sample text

4. The competent authorities shall work in close cooperation with personal data protection authorities when addressing incidents resulting in personal data breaches. 5. Member States shall ensure that any obligations imposed on public administrations and market operators under this Chapter may be subject to judicial review. Further criticisms of the Cybersecurity Directive is the vagueness in reporting cyberattacks which does very little to protect the EU citizen’s data held outside the EU [4].

The EDPS was, however, of the view that the Cyber security strategy and Directive should better complement the Data Protection Directive and do not overlap with each other, a point that was discussed previously. Furthermore, the EDPS was critical of the notable absence or mention of Data Protection Authorities in the implementation and enforcement of obligations laid down under the Cybersecurity strategy (p. 5). The proposed Data Protection Regulation was not mentioned within the Cybersecurity strategy nor the proposals for a Regulation on electronic identification and trust services for electronic transactions in the internal market.

The EDPS further recommended that sufficient safeguards should be in place to ensure that adequate protection of the data processed by NIS competent authorities [10]. According to the EDPS, incident notifications should be applied without prejudice to personal data breach notification obligations pursuant to relevant data protection laws [11]. It further added that any disclosure of information to the public of information concerning the incident should not contain any personal information and that public interest would be effectively pursued by disclosing only anonymous or effectively anonymised information under Article 14 [10].

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Data Security Breaches and Privacy in Europe by Rebecca Wong


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