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Recent Posts
- Listen to this Explanation of the Karnataka High Court judgement..
- The Manipal Hospital Judgment: Every HR Document is an Electronic Record with Legal Consequences
- The Emergence of the “Super Data Fiduciary” A DGPSI Governance Concept for Complex Enterprise Ecosystems under DPDPA By Naavi
- MeitY issues notice on “User Name” for WhatsApp..
- DPDPA Challenge for Banks
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Author Archives: Vijayashankar Na
Looking forward to Prana Pratishtana at Ayodhya
While we are awaiting the civilizational event at Ayodhya tomorrow DGPSI of FDPPI takes a leaf out of the concept of Ramarajya as a symbol of Fair Data Governance as part of the Compliance framework of DPDPA. Naavi
Posted in Cyber Law
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Why Not … DGPSI
After DPDPA 2023 has become a reality, there is a scramble to find a framework of compliance which can assist organizations in implementing a Data Governance and Protection Management System (DGPMS) which can provide “Compliance by Default and Design”. The … Continue reading
Posted in Cyber Law
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Why Not “Significant Data Fiduciary” be Process Centric
(Continuation of the previous article) One of the key aspects of DPDPA 2023 is the recognition of some Data Fiduciaries as “Significant Data Fiduciaries” (SDF). The SDF would have responsibilities to appoint a DPO, a Data Auditor and conduct DPIA … Continue reading
Posted in Cyber Law
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Why Not?..a series of questions on Rules to DPDPA?
(Continued from Previous Article) The MeitY is now trying to finalize the rules under DPDPA 2023. From the indications now available, the ministry is trying to release a complete set of 25/26 rules rolled into one notification. In the last … Continue reading
Posted in Cyber Law
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The “Data Privacy-Risk” in Account Aggregators
(Continued from previous article) One of the major issues of AAs (Account Aggregators) is the need to ensure the strict following of the “Fit and Proper” criteria to ensure that the valuable personal data that may come into the hands … Continue reading
Posted in Cyber Law
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