E Point Perfect
Law \ Legal

BREAKING: The FTC Issues Advanced Notice of Public Rulemaking for Privacy Regulations


Today, the Federal Trade Commission (“Commission”) issued an advanced notice of public rulemaking on commercial surveillance, seeking public comment on whether new rules are needed to protect people’s privacy and information.  The notice, which is broad and sweeping, seeks comment on dozens of questions, categorized into the following topics:

  • Harms to Consumers
  • Harms to Children
  • Costs and Benefits of any current practices
  • Rulemaking procedures and topics
  • Automated Systems, Decision-making, and AI
  • Discrimination
  • Notice, Transparency, and Disclosure
  • Remedies to be sought by the FTC
  • Obsolescence of rulemaking in view of technological development

The Commission’s solicitation kicks off an extensive rulemaking process which will likely take 2 years, at a minimum, before any regulations would be promulgated and become effective. The notice, which passed with a 3-2 vote, is not an immediate shift in the digital privacy landscape but a significant first step toward it—particularly in light of Congress’s continued struggle to come to agreement on the American Data Privacy and Protection Act.

The Commission is hosting a public forum on the rulemaking, to be held virtually on Thursday, September 8, 2022 from 2 p.m. to 7:30 p.m. ET.  Members of the public are invited to attend, or to submit a comment weighing in on the rulemaking, the general topics, or submit a specific question to the Commission.

SPB Partner Beth Goldstein also contributed to this update



Source link

Related posts

Sharon Ve: Harnessing Your Superpower

Statutory Remedies for Non-Payment on Public and Private Construction Projects

Capri Sun drink recalled because of cleaning solution issue found after consumer complaints

Outcome of November 8 Lee County’s Meeting Regarding 50% Rule for Hurricane Ian Repairs

Institute wants increased attention on food hygiene education

District Court Applies TCPA “Established Business Relationship” Exception to Permit Customer Calls After Contract Termination