We have a fresh batch of content on our Taylor Wessing Global Data Hub site which provides you with insight and guidance on data privacy issues.
As Brexit draws closer and the possibility of a 'no deal' remains on the table, we look at the effect of a no deal/no adequacy Brexit on the UK's data protection framework, and its impact on issues including cross-border transfers, participation in the one stop shop, the location of the DPO and the need to appoint a representative. We also provide a checklist to help UK businesses prepare.
Cross-border data flows after a no deal/no adequacy Brexit
Debbie Heywood looks at the post-Brexit environment for cross-border data flows in the event of a no deal or no adequacy Brexit.
Will Brexit make a difference to your lead Supervisory Authority or location of your DPO?
Mary Rendle looks at the impact of Brexit on the location of a group's lead regulator and data protection officer.
Data transfer solutions after Brexit – the pros and cons
Nikita Saini weighs up the pros and cons of different data export mechanisms to help ensure data flows are uninterrupted by Brexit.
Representatives under the GDPR in light of Brexit
Anjali Chandarana looks at when and how to appoint a GDPR representative, particularly in the context of Brexit.
Brexit data protection checklist
A checklist of considerations for UK-based companies planning for Brexit to help ensure data protection continuity.
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