Wednesday, March 17, 2021
CPW and its sister blog SPB have been covering developments concerning the California Consumer Privacy Act of 2018 (“CCPA”). As we discussed the end of last year, on December 10, 2020, the California Attorney General (“AG”) proposed some modifications to the regulations implementing the CCPA (the “Regulations”). These were published in response to comments received by the AG following publication of the previous set of proposed CCPA modifications on October 12, 2020.
While the proposed modifications to the Regulations were relatively minor in substance, they provided guidance on the following issues:
Refinement of requirement to provide notice at collection (and clarification of prohibition of new or secondary uses of personal information) (Section 999.305);