Re: [Gnso-ppsai-pdp-wg] FW: Privacy and Protection Service Accreditatio
n Issues Working Group In-reply-to: <ECFBD9F4DB69724FA218A75B3B6ABB1856ABDB79@EXBE-10.hs.local> References: <0CBE1A4CA1A4984087568BF2B73CFFB9567B1023@EXBE-10.hs.local> <ECFBD9F 4DB69724FA218A75B3B6ABB1856ABDB79@EXBE-10.hs.local> Comments: In-reply-to Jim Bikoff <jbikoff@sgbdc.com> message dated "Mon, 13 Jan 2014 22:05:03 +0000." -------- Jim, For the benefit of our European contributors, and also some of our OEDC contributors, it may be helpful to refer to "Data Collection" as well as "Privacy". As an example of hypthetical operational practices by a hypothetical registrar which treated differently in "privacy" and "data protection" regimes is how long data is retained by a data collector (the registrar). Under a "privacy" regime infinite retention of Personally Ientification Information (PII) may not be noticed to the data originating party. Under a "data protection" regime the retention period is disclosed to the data originator. Eric
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