On 12 May 2022, the Hong Kong Privacy Commissioner for Personal Data (PCPD) issued a Guidance Note on the Recommended Model Contractual Clauses for Cross-border Transfers of Personal Data (2022 Guidance).

The 2022 Guidance is split into three “parts”:

  1. Part 1 is an introduction of the 2022 Guidance and the rationale underpinning it;
  2. Part 2

On June 11, 2021, the US Securities and Exchange Commission (“SEC” or “Commission”) announced that it would focus on cybersecurity disclosures made by public companies as part of its regulatory agenda. Given the SEC’s continued interest in cybersecurity issues, high-profile ransomware attacks and executive orders issued by President Biden, it is no surprise that the

On June 11, 2021, the US Securities and Exchange Commission (“SEC” or “Commission”) announced that it would focus on cybersecurity disclosures made by public companies as part of its regulatory agenda.1 Given the SEC’s continued interest in cybersecurity issues, high-profile ransomware attacks and executive orders issued by President Biden, it is no surprise

Bylined article by partners David Beam, Jonathan Jaffe, Jeff Taft and Kendall Burman. Partners Laurence E. Platt, Rajesh De and Stephen Lilley, and associates Matthew Bisanz and James K. Williams also contributed to this article.

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