Monthly Archives: June 2024

Will a Copy of draft Notice be part of the rules?

In one of the versions of the draft DPDPA rules which is under circulation, it is expected that the Government may provide a template for notice for consent. Accordingly a model notice as follows is expected to be part of … Continue reading

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Consent Manager and Account Aggregator

When the rules under DPDPA is released, apart from the definition of Significant Data Fiduciary, industry would be keenly looking at the rules related to “Consent manager”. This is one area where Naavi may have divergent views with one section … Continue reading

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Who is or Who Should be a Significant Data Fiduciary?

One of the keenly awaited rule under DPDPA 2023 is the criteria to be adopted by the Government for declaring a Data Fiduciary as a Significant Data Fiduciary. While the Act does not define “Sensitive Personal Data”, Section 10(1) brings … Continue reading

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Is there a strategic need for segregation of Ethics while defining AI Standards?

In India we are today discussing both regulation of AI and standardization of AI at the same time. Just as the EU-AI act is a regulation while ISO 42001 is a standardization, BIS is discussing AI standardization while ITA 2000 … Continue reading

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Towards AI standardization in India

We have started discussion on AI standardization in these columns some time back with a brief review of ethical standards that have been suggested by various international bodies as well as EU-AI act. In India, we have a tendency to … Continue reading

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Flagging the “Dark Pattern” in Money Control Pro Subscription consent

Yesterday, I made a post on the need for “Auto Renewals” to stop as per DPDPA. This post elicited the following response on linked-in from one of the followers which has opened up further interesting discussions. Quote: RBI has/had guidelines … Continue reading

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