Data transfers after Schrems II and Brexit transition

2020年10月

4 观点

4 观点

Data transfers are at the top of the privacy agenda in the aftermath of the Schrems II decision and in the run up to the end of the Brexit transition period.  We look at the future of US data transfers, as well as at what businesses need to do to keep data flowing across borders from 1 January 2021.

Data flows to and from the UK after the end of Brexit transition

Debbie Heywood looks at the impact of the end of the Brexit transition period on data transfers to and from the UK.

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GDPR EU-Representative - For companies without EU establishments

Axel von dem Bussche and Paul Voigt look at the requirement on non-EU established organisations to appoint an EU representative under the GDPR.

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Schrems II – what next for data transfers?

Vin Bange and Debbie Heywood look at the impact of the Schrems II decision on the future of international data transfers, particularly from the EEA and the UK to the USA.

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The future of Binding Corporate Rules after Schrems II and in light of Brexit

We re-examine the benefits of BCRs in the aftermath of Schrems II and ahead of the end of the Brexit transition period.

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