The new European Union-U.S. Data Privacy Framework, launched last month, is good news for companies that have maintained their Privacy Shield compliance, and for companies that want to have an option other than the June 4, 2021, standard contractual clauses.
With the spotlight focused again on cross-border transfers of data from the European Economic Area to the U.S., this might be a good time for a discussion on what is and what is not a cross-border transfer of information under the EU General Data Protection Regulation.
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