In this short series of posts, I seek to cover the history, current events and prescribed future courses of action for the U.S. and all other countries in regards to privacy protection. In the prior post I reviewed the first U.S. self-regulatory efforts in the 1990s and opined that with cited exceptions these self-regulatory standards have held up quite well for the better part of three decades. As a result, the U.S. government, while constantly considering privacy regulations, did not legislate any during this period. For cultural or other reasons the EU went the other way this year with GDPR.
On the Effects of GDPR ... and What to Do About It: Part 2
