📢 CAIDP Update 6.25 - AI Policy News (June 24, 2024) 🌍 Africa Charts Digital Future with AI Strategy and Digital Compact 🏛 OECD Report Examines AI's Role in Public Governance 🇪🇺 EU Prepares for AI Act with Inaugural Board Meeting 🇬🇧 UK Privacy Watchdog Clears Snap's AI Chatbot After Review 🇧🇷 Brazilian Senate Commission Revises AI Bill 🗣 🇦🇺 CAIDP Provides Comments to Australian Government on Online Safety Act and AI 🗣 🤖 Voice Actors Back CAIDP’s OpenAI Complaint at FTC 📓 CAIDP President Launches "Responsible GenAI Specialization" on Coursera 📖 CAIDP Executive Director Contributes to EDPS 20th Anniversary Book #aigovernance #privacy Snap Inc. #africa National Association of Voice Actors (NAVA) EDPS - European Data Protection Supervisor Coursera
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Privacy & Data Protection Manager | Expert in Cybersecurity Regulations and Standards | GRC Leader | Certified Information Privacy Professional (CIPP/E) | Certified Information Privacy Manager (CIPM)
Yesterday, the #WhiteHouse issued an #ExecutiveOrder putting forth guidelines on the use of #ArtificialIntelligence. #InfoSec and #Privacy professionals are lauding the move, citing it as an important first step in reigning in the use of #AI. The #EO is substantial at 88 pages-- it's going to have to be. The use of AI is moving faster than anticipated. The EU-U.S. #DataPrivacyFramework which only took effect this past July requires the U.S. to provide #adequate privacy and #dataprotection to maintain the free flow of information into the U.S. from the #EuropeanUnion and the #EEA. It is not surprising for the adequate protections referred to in the EU-U.S. DPF to encompass AI, especially government use of AI. The Executive Order's emphasis on U.S. government agencies' use of AI demonstrates that. Additionally, the language of the order also highlights the government's involvement in developing guidelines that could be used downstream for regulating the commercial use of artificial intelligence and providing the providing the mechanisms for redress already promised in the Data Privacy Framework. Also not surprising is that this Executive Order on Artificial Intelligence follows only 4 months after the #EuropeanParliament passed the EU's #ArtificialIntelligenceAct. The order, also known as #EO14110 will be published today, but the unpublished version is available using the link below. https://lnkd.in/ekywuZXG
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【🔎Implications of the Development or Use of AI on Personal Data Privacy – PCPD Completed Compliance Checks on 28 Organisations👨🏻💻】 🤖To understand the implications of the development and use of AI on personal data privacy in Hong Kong🔐, the PCPD carried out compliance checks🔎 on 28 local organisations from August 2023 to February 2024 to understand their practices in relation to the collection, use and processing of personal data 📝in the development or use of AI, as well as the AI governance structure of the relevant organisations👨🏻💼. The exercise covered various sectors, including telecommunications🤳🏻, finance and insurance💰, beauty services💄, retail🛍, transportation🚗 and education sectors📚, and government departments🏢. The PCPD has found no contravention of the PDPO✅ during the compliance check process🔎. Through this compliance check exercise🔎, the PCPD would like to provide recommended measures to organisations which develop or use AI🌟. 🌟For relevant recommended measures, please refer to the media statement 👇🏻: https://lnkd.in/g8ntykPT 🌟 Click here for the “Guidance on the Ethical Development and Use of Artificial Intelligence” 👇🏻: https://lnkd.in/gMb_cue9 #PCPD #AdaCHUNG #PrivacyCommissioner #PDPO #AI #ArtificialIntelligence #ComplianceChecks #PersonalData #Privacy #DataProtection
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🖥️🤖 Seminar on “AI and Privacy Protection: Balancing Innovation and Safety” 🔐 To assist organisations in adopting AI while safeguarding the personal data privacy of individuals, 🔐 the PCPD is organising this seminar where Ms Ada CHUNG Lai-ling, the Privacy Commissioner, will introduce the PCPD’s newly published “Artificial Intelligence: Model Personal Data Protection Framework”. 📖 The Privacy Commissioner will introduce the best practices for any organisations procure, 🗳️ implement and use AI systems (including generative AI) that involve the use of personal data. In addition, Dr Arvin TANG, Director of Multimedia Systems and Analytics of Artificial Intelligence and Trust Technologies from ASTRI will offer practical experience on how AI could be developed and applied in a privacy-friendly manner. 🔍📝 Organisations in all sectors which utilise or plan to utilise AI, 🖥️🤖and all others who are interested in the interplay between personal data privacy and AI, are welcome to attend. 🙋🏻♂️🙋🏻♀️ 📅 Date: 30 July 2024 (Tuesday) 🕒Time: 3:00 – 4:15 pm 📍 Format: Hybrid 🔤Language: Cantonese 💰Fee: Free-of-charge ⭐Key Topics⭐: · Introduction to the rise of AI worldwide and the risks it poses · Highlighting recommendations from PCPD’s latest guidance “Artificial Intelligence: Model Personal Data Protection Framework” · Introduction to the ASTRI’s role in the technological development of Hong Kong · Sharing of practical experience on the development and use of AI models and how to safeguard personal data privacy in the process 👇🏻 Click to enrol and read more details 👇🏻: https://lnkd.in/d7aWk9Px #Privacy #DataProtection #PCPD #PDPO #PrivacyCommissioner #AdaChung #ArtificialIntelligence #AI #Framework #DataSecurity
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Privacy and data professionals around the globe are required to remain agile when it comes to AI, especially with the EU AI Act in play. Next week CIPL President, Bojana Bellamy will be joining a panel alongside Rocco Panetta (PANETTA), and Hilary Wandall (Dun & Bradstreet) on 'Critical Insights on the EU AI Act for Data Protection Professionals' at the IAPP - International Association of Privacy Professionals ANZ Summit 2023. This session will update the audience on the status of the EU AI Act, address the need for companies to innovate while safeguarding the fundamental rights of citizens, and provide insights from regional data protection authorities and data protection officers on how their roles may be shifting. The panel will also outline when and how to initiate an AI governance framework within their organization. #AI #artificialintelligence #aiAct
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📊OECD new Report about AI and Privacy. The rapid evolution of artificial intelligence (#AI) presents unprecedented #opportunities and significant #challenges, particularly in #data #governance and #privacy. A new #report 📊 by the OECD - OCDE delves into these complexities, including the implications of #genAI. In the age of rapid digital transformation OECD latest report highlights six critical policy considerations to ensure that AI systems are effective and respect user privacy : 1. Ensuring transparency in AI systems 2. Safeguarding data privacy 3. Enhancing data security measures 4. Promoting data access and sharing 5. Encouraging international cooperation 6. Regulating AI technology use effectively https://lnkd.in/eWCSWYk6
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Last week, Pierstone attended the CPDP.ai conference, a hotspot for the latest privacy, data protection, and AI trends. Here are the key takeaways and actionable insights: ▪ From Chief Privacy Officers to Chief AI Officers? As AI evolves, will Chief Privacy Officers transition to Chief AI Officers? Probably, yes. This reflects a shift from data protection to data responsibility, emphasizing the need to document organizational principles, values, and goals. ▪ Privacy at the Core Privacy must be central to new technologies. The GDPR’s role in AI regulation highlights the importance of protecting individual rights. Ongoing debates about anonymization and the legitimacy of AI training datasets under GDPR remain hot topics. ▪ AI Deployment: Risk-Based Approaches Risk-based approaches to AI deployment remain key, leveraging know-how from data protection practices. This approach ensures that AI systems are developed and implemented responsibly. ▪ EU's Digital Framework: A Game Changer? The new digital regulations (AI Act, DSA, DMA, Data Act, etc.) aim to protect user rights while fostering innovation. However, the real-world impact of these ambitious frameworks remains to be seen. ▪ Teaming Up for Compliance Organizations and regulators must collaborate to align innovation with compliance and user rights. There's a call to reassess consumer vulnerability in the digital age and design systems with fairness in mind. Happy to have been part of CPDP2024. Let's keep the conversation going! Reach out to us to discuss these topics or share your thoughts below. #CPDP2024 #Privacy #DataProtection #AI #IAPP
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Check it. How AI is impacting policy processes and outcomes in Africa https://buff.ly/3Kei1qJ #tech #digital #data #privacy
How AI is impacting policy processes and outcomes in Africa | Brookings
https://www.brookings.edu
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📢 CAIDP Provides Comments to Australian Government on Online Safety Act and AI 🇦🇺 In comments to the Australian Government, the Center for AI and Digital Policy wrote, "the online risks which accompany the advent of generative AI are extensive, and include threats to personal privacy, intellectual property, and life-altering outcomes based on AI-enabled decision-making." CAIDP thanked the Australian government for the opportunity to provide public comments on proposed changes to the Online Safety Act and made several specific recommendations concerning AI: 1️⃣ Establish redlines for developers, providers, and deployers of AI systems regarding training data, prohibiting practices which contravene the Australian Privacy Principles, including web-scraping of personal data and intellectual property. 2️⃣ Require transparent and contestable data provenance for AI models trained on web-scraped data so that data subjects may be made aware when their personal, private data and intellectual property has been used to train AI models, providing an opportunity for compensation and extrication of data. 3️⃣ Require rigorous, independent impact assessments prior to deployment to identify and mitigate potential online harms, including biases and rights violations, with ongoing re-assessments across the AI lifecycle. 4️⃣ Require algorithmic transparency for AI systems so that users are aware when they are interacting with an AI/algorithmic system and are provided with clear and valid reasons for outcomes affecting their lives. 5️⃣ Require human oversight and control over AI systems operating online and an affirmative obligation to terminate if human control of the system is no longer possible and/or if the system fails to uphold human/civil rights in keeping with the Universal Guidelines for AI, a precursor to the Australia-endorsed UNESCO Recommendation on the Ethics of Artificial Intelligence. Merve Hickok Marc Rotenberg Caroline Friedman Levy Nayyara Rahman Lyantoniette Chua Center for AI and Digital Policy Europe #australia #onlinesafetyact #aigovernance #webscraping #dataprotection #intellectualproperty #impactassessments
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Trainee Lawyer I Junior Associate at PIERSTONE Brussels | Certified DPO I Data Protection | University of Naples Federico II
One week on, I remain deeply inspired by the discussions held at #CPDP2024 regarding AI, privacy, and regulatory frameworks. Make sure to explore our insights!
Last week, Pierstone attended the CPDP.ai conference, a hotspot for the latest privacy, data protection, and AI trends. Here are the key takeaways and actionable insights: ▪ From Chief Privacy Officers to Chief AI Officers? As AI evolves, will Chief Privacy Officers transition to Chief AI Officers? Probably, yes. This reflects a shift from data protection to data responsibility, emphasizing the need to document organizational principles, values, and goals. ▪ Privacy at the Core Privacy must be central to new technologies. The GDPR’s role in AI regulation highlights the importance of protecting individual rights. Ongoing debates about anonymization and the legitimacy of AI training datasets under GDPR remain hot topics. ▪ AI Deployment: Risk-Based Approaches Risk-based approaches to AI deployment remain key, leveraging know-how from data protection practices. This approach ensures that AI systems are developed and implemented responsibly. ▪ EU's Digital Framework: A Game Changer? The new digital regulations (AI Act, DSA, DMA, Data Act, etc.) aim to protect user rights while fostering innovation. However, the real-world impact of these ambitious frameworks remains to be seen. ▪ Teaming Up for Compliance Organizations and regulators must collaborate to align innovation with compliance and user rights. There's a call to reassess consumer vulnerability in the digital age and design systems with fairness in mind. Happy to have been part of CPDP2024. Let's keep the conversation going! Reach out to us to discuss these topics or share your thoughts below. #CPDP2024 #Privacy #DataProtection #AI #IAPP
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New principles on responsible generative AI now available for all. Get them here!
Commissioner Dufresne on the Principles for responsible, trustworthy and privacy-protective #generativeAI technologies: https://lnkd.in/gb_yzDfr #OPCsymposium #privacy Video transcript: “I am pleased to join my provincial and territorial counterparts in launching principles to support the responsible and privacy-protective development of artificial intelligence in Canada.”
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