The Canadian Privacy Law Blog: Developments in privacy law and writings of a Canadian privacy lawyer, containing information related to the Personal Information Protection and Electronic Documents Act (aka PIPEDA) and other Canadian and international laws.
The author of this blog, David T.S. Fraser, is a Canadian privacy lawyer who practices with the firm of McInnes Cooper. He is the author of the Physicians' Privacy Manual. He has a national and international practice advising corporations and individuals on matters related to Canadian privacy laws.
For full contact information and a brief bio, please see David's profile.
Please note that I am only able to provide legal advice to clients. I am not able to provide free legal advice. Any unsolicited information sent to David Fraser cannot be considered to be solicitor-client privileged.
The views expressed herein are solely the author's and should not be attributed to his employer or clients. Any postings on legal issues are provided as a public service, and do not constitute solicitation or provision of legal advice. The author makes no claims, promises or guarantees about the accuracy, completeness, or adequacy of the information contained herein or linked to. Nothing herein should be used as a substitute for the advice of competent counsel.
This web site is presented for informational purposes only. These materials do not constitute legal advice and do not create a solicitor-client relationship between you and David T.S. Fraser. If you are seeking specific advice related to Canadian privacy law or PIPEDA, contact the author, David T.S. Fraser.
Monday, October 25, 2004
Law Technology News - Keeping Promises: Online Privacy Policies:"Rethinking the boilerplate on your company's Web pages could help you avoid FTC sanctions..."
Though written from an entirely American perspective, it is of relevance to Canadians and other non-Americans thanks to the long-arm of the law. Courts can and do assume jurisdiction over operators of websites originating from outside their borders, particularly if the sites are "aimed" at their jursidiction. Canadian companies with an online presence have to seriously consider not only PIPEDA, but also the enforcement powers of the FTC.
Labels: information breaches, privacy
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