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Christchurch
Dublin
                                 Contact Report
Tel: +353 (0)1 415 0300

                                 Client:                   IAB & DPC
www.mindshareworld.com
A GroupM Company                 Product:                  EU Privacy Directive
                                 Subject:




                                Report No.:
                                Meeting Date:              21 July 2011
                                Report Date:               22 July 2011
                                Minutes By:                Ciaran Norris




                                Representing:
                                IAB & DPC:
                                MindShare:
                                Others:


                                Distribution:




                                Re:                                                                    Action:
                                On July 1 2011, the EU Privacy Directive became law in the
                                Republic of Ireland. The Directive covers a number of areas,
                                but of particular interest to many businesses is its relation to
                                the use of 3rd party cookies.

                                The Data Protection Commissioner has released guidance on
                                how the directive will be translated and implemented. In order
                                to build a deeper understanding of what the directive means,
                                the IAB Ireland organised a meeting with the DPC to discuss a
                                number of the issues arising.

                                These notes should act as a guideline on how to ensure that
                                your business does not fall foul of the act, but should not be
                                considered as legal advice, and we would strongly recommend
                                that any concerned businesses undertake audits of all 3rd party
                                cookies that they may currently use, such as onsite analytics,
                                or advertising tracking.

                                The DPC is open to offering advice to businesses on particular
                                solutions they feel might ensure that they are covered, but will
                                not do so for anonymous submissions.

                                          The DPC are in a period of providing advice and
                                           guidance on the Regulations in this area at this point in
                                           time and plan to address any matters arising on a
                                           pragmatic basis.
                                              o There is not a ‘grace period’ as this would be




Registered Office: 3 Christchurch Square, Dublin 8. No.307201. Part of WPP Worldwide
Page 2




         Re:                                                                    Action:
                           impossible as the Directive is now law – but
                           they are continuing to gather information.
                        o The DPC is also listening to informed opinion,
                           and thanked the IAB for their ongoing opinion
                           and advice.
                  Any complaints will be investigated, but in so far as
                   possible within the law likely on a sectoral basis so as
                   to avoid the possibility of unfairly impacting any
                   specific company complained against in an industry
                   sector if their practice is in line with that in a sector.
                  As stated in the guidance, cookies used for essential
                   user actions, such as filling online shopping baskets,
                   do not require consent but should not last more than 1
                   session.
                  The DPC is considering what the definition of a session
                   is, as some users may leave computers on/browsers
                   open constantly.
                  There are no criminal sanctions relating to section 5.3
                   of the act (referring to cookies), but they will, if all
                   other options are taken and fail to resolve a complaint,
                   use their powers of enforcement.
                  Regarding the use of cookies for ‘operational’ tools,
                   such as on-site analytics, which are essential for many
                   online businesses, but not for consumers, the DPC
                   believes that a clear link from the homepage, with
                   supporting information, to an opt-out page with details
                   of what data is collected, why, and for how long, could
                   be considered as advance consent but this would only
                   apply to certain uses of cookies, and depends on the
                   IAB/industry supplying more information on how these
                   function, which we have promised to do.
                        o This should not be taken as a final ruling, but
                           simply as current opinion based on the
                           information available to him, and the
                           explanations provided in the meeting by the IAB
                           members
                  The regulations apply even if you have no physical
                   presence in Ireland, and if your servers are located
                   outside the Republic if the relevant establishment
                   providing the service is not located elsewhere in the EU
                   where the law of that EU MS would apply.
                  They apply to entities with a legal, physical
                   establishment in the country
Page 3




         Re:                                                                    Action:
                  Regarding the use of other ‘operational’ cookies, such
                   as those for the attribution of ad effectiveness, or
                   frequency capping, he welcomed the IAB providing
                   more information and said that would inform his
                   opinion as to what might constitute advance consent
                  On the issue of behavioral targeting, which was the
                   main reason for the inclusion of cookies in the
                   Directive, he feels that the education efforts of the
                   industry, in the form of the OBA, are a step in the right
                   direction, but will need more work
                  The DPC believes that moves by browser
                   manufacturers to improve the ability to easily change
                   browser settings, will be part of a final solution for the
                   use of cookies in targeted advertising.
                  The DPC expects industry to come forward with
                   realistic solutions that meet the law's objective of
                   giving users real control over the extent to which their
                   behaviour is tracked on the Internet

         These notes should act as guidance for clients concerned
         about the cookie regulations, but are not professional legal
         advice. Please feel free to contact us with any questions, or to
         get in touch with the DPC directly.

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EU Privacy Directive Contact Report

  • 1. Christchurch Dublin Contact Report Tel: +353 (0)1 415 0300 Client: IAB & DPC www.mindshareworld.com A GroupM Company Product: EU Privacy Directive Subject: Report No.: Meeting Date: 21 July 2011 Report Date: 22 July 2011 Minutes By: Ciaran Norris Representing: IAB & DPC: MindShare: Others: Distribution: Re: Action: On July 1 2011, the EU Privacy Directive became law in the Republic of Ireland. The Directive covers a number of areas, but of particular interest to many businesses is its relation to the use of 3rd party cookies. The Data Protection Commissioner has released guidance on how the directive will be translated and implemented. In order to build a deeper understanding of what the directive means, the IAB Ireland organised a meeting with the DPC to discuss a number of the issues arising. These notes should act as a guideline on how to ensure that your business does not fall foul of the act, but should not be considered as legal advice, and we would strongly recommend that any concerned businesses undertake audits of all 3rd party cookies that they may currently use, such as onsite analytics, or advertising tracking. The DPC is open to offering advice to businesses on particular solutions they feel might ensure that they are covered, but will not do so for anonymous submissions.  The DPC are in a period of providing advice and guidance on the Regulations in this area at this point in time and plan to address any matters arising on a pragmatic basis. o There is not a ‘grace period’ as this would be Registered Office: 3 Christchurch Square, Dublin 8. No.307201. Part of WPP Worldwide
  • 2. Page 2 Re: Action: impossible as the Directive is now law – but they are continuing to gather information. o The DPC is also listening to informed opinion, and thanked the IAB for their ongoing opinion and advice.  Any complaints will be investigated, but in so far as possible within the law likely on a sectoral basis so as to avoid the possibility of unfairly impacting any specific company complained against in an industry sector if their practice is in line with that in a sector.  As stated in the guidance, cookies used for essential user actions, such as filling online shopping baskets, do not require consent but should not last more than 1 session.  The DPC is considering what the definition of a session is, as some users may leave computers on/browsers open constantly.  There are no criminal sanctions relating to section 5.3 of the act (referring to cookies), but they will, if all other options are taken and fail to resolve a complaint, use their powers of enforcement.  Regarding the use of cookies for ‘operational’ tools, such as on-site analytics, which are essential for many online businesses, but not for consumers, the DPC believes that a clear link from the homepage, with supporting information, to an opt-out page with details of what data is collected, why, and for how long, could be considered as advance consent but this would only apply to certain uses of cookies, and depends on the IAB/industry supplying more information on how these function, which we have promised to do. o This should not be taken as a final ruling, but simply as current opinion based on the information available to him, and the explanations provided in the meeting by the IAB members  The regulations apply even if you have no physical presence in Ireland, and if your servers are located outside the Republic if the relevant establishment providing the service is not located elsewhere in the EU where the law of that EU MS would apply.  They apply to entities with a legal, physical establishment in the country
  • 3. Page 3 Re: Action:  Regarding the use of other ‘operational’ cookies, such as those for the attribution of ad effectiveness, or frequency capping, he welcomed the IAB providing more information and said that would inform his opinion as to what might constitute advance consent  On the issue of behavioral targeting, which was the main reason for the inclusion of cookies in the Directive, he feels that the education efforts of the industry, in the form of the OBA, are a step in the right direction, but will need more work  The DPC believes that moves by browser manufacturers to improve the ability to easily change browser settings, will be part of a final solution for the use of cookies in targeted advertising.  The DPC expects industry to come forward with realistic solutions that meet the law's objective of giving users real control over the extent to which their behaviour is tracked on the Internet These notes should act as guidance for clients concerned about the cookie regulations, but are not professional legal advice. Please feel free to contact us with any questions, or to get in touch with the DPC directly.