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Statutory Violations Data Privacy State Privacy Laws

Hinckley Allen

Connecticut Attorney General Issues Report on Data Privacy Act Enforcement; Offers Legislative Recommendations

Hinckley Allen on

On February 1, 2024, the Connecticut Office of the Attorney General (the “OAG”) issued a report mandated by the Connecticut Data Privacy Act (the “CTDPA”), Conn. Gen. Stat. § 42-515 et seq. (the “Report”), which Report is...more

WilmerHale

Year In Review: 2023 BIPA Litigation Takeaways

WilmerHale on

This post is part of a series of articles we are doing on 2023 data protection litigation trends. Since its enactment in 2008, Illinois’s Biometric Information Privacy Act (BIPA) has produced a wave of privacy-related...more

Hogan Lovells

California Attorney General settles with Sephora in first CCPA fine

Hogan Lovells on

On August 24, 2022, the California Attorney General’s Office (“AG”) issued a press release regarding a settlement with Sephora, Inc. over allegations that the company violated the California Consumer Privacy Act (“CCPA”) and...more

BCLP

Data Privacy FAQ's: How do cure periods work under the new state privacy laws?

BCLP on

Do Companies have a cure period for alleged violations under the California Privacy Rights Act (“CPRA”)? No, the CPRA eliminates the thirty (30) day cure period originally permitted under the California Consumer Privacy...more

Sunstein LLP

Facial Recognition: A Clear View to Dystopia

Sunstein LLP on

In the wake of an alarming exposé published by The New York Times in January, Clearview AI, Inc., a New York startup, faces a slew of lawsuits. Since the article’s publication, the Vermont Attorney General filed a complaint...more

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