To date, the answer to this question has been “no.”
Rather, since 2009, it has been the position of the Federal Privacy Commissioner that organizations subject to The Personal Information Protection and Electronic Documents Act (“PIPEDA”) do not need to obtain additional consent for a cross-border transfer of personal information if it is being used or processed ...
Lawson Lundell's Privacy and Data Management Blog provides updates on the most recent issues emerging in the legal and business communities. We cover a range of issues, legal developments, and new technology as they impact privacy and data management. We will focus on how organizations can protect, manage and innovate with information considering the various risks, regulatory and governance requirements.
Legal Disclaimer: The information made available on this webpage is for information purposes only. It does not constitute legal advice, and should not be relied on as such. Please contact our firm if you need legal advice or have questions about the content of this webpage.