COPPA, Children’s Privacy, FTC
Little Data, Big Requirements: Is Your Business Ready for COPPA’s Amendments?
By Larisa Kupinszky Gamberg on April 29, 2025
Artificial Intelligence, AI, Children’s Privacy
New CARU Strict Guidelines on AI-Generated Children Advertisements and Data Collection
By InfoLawGroup LLP on May 14, 2024
Children’s Privacy, MODPA, MKC, Privacy Law
Maryland joins the privacy party, enacts comprehensive data privacy law and child privacy law
By Dave Radmore on May 10, 2024
California, Children’s Privacy, Age-Appropriate Design Code Act
From the U.K. to California – Age Appropriate Design Code Enacted in the Golden State
By InfoLawGroup LLP on September 20, 2022
InfoLawGroup
Congratulations to Our Newest Partners: Sara Skinner Chubb & Brian C. Schaller!
By InfoLawGroup LLP on December 17, 2020
Chambers, InfoLawGroup, Media and Entertainment, Privacy and Security, Innovative, Boutique
Chambers Global and USA 2019 Recognize InfoLawGroup; InfoLawGroup Partners
By InfoLawGroup LLP on April 30, 2019
FTC, COPPA, Children’s Privacy, Compliance, Cybersecurity
Partner Justine Young Gottshall Interviewed by Cybersecurity Law Report
By InfoLawGroup LLP on April 08, 2019
Children’s Privacy, COPPA, Data Privacy, Regulation, E-Commerce, In The News, Information Security
2018 leaves us with the largest COPPA settlement to date, so what may be in store for 2019?
By Mindy Abern on December 31, 2018
California, CCPA, Children’s Privacy, consumer, De-Identified Information, personal information, privacy, Regulation
The New CA Consumer Privacy Act: Don’t Panic (Yet)
By Justine Young Gottshall on July 02, 2018
behavioral advertising, Children’s Privacy, COPPA, Data Privacy Law, InfoLawGroup, marketing, pii, privacy, Regulations
ALERT: Google’s Plan to Open Its Services to Children Could Spur Changes to COPPA Enforcement
By InfoLawGroup LLP on August 28, 2014
Breach, breach response, data breach, data protection, InfoLawGroup, information security, new york breach, privacy, Segalis
Record Number of Data Breaches for New Yorkers in 2013
By InfoLawGroup LLP on July 17, 2014
and COPPA, Children’s Privacy, privacy law
New COPPA Options for Verifiable Consent
By Heather Nolan on July 17, 2014
Advertising Law, California, Children’s Privacy
New California Regulation Regarding Minors Is Coming: Are You Ready? Part 2 – The Advertising Provisions
By Justine Young Gottshall on April 28, 2014
cybersecurity, cybersecurity framework, data protection, data security, hacking, InfoLawGroup, information security, information security program, Paulding, Red Flags Rule, Segalis, smart grid, white house order
Cybersecurity Effort Moves Forward – NIST Issues Final Critical Infrastructure Cybersecurity Framework
By InfoLawGroup LLP on February 18, 2014
Children’s Privacy, COPPA, Data Privacy Law or Regulation, FTC, marketing, pii, Regulations
Knowledge-Based Authentication Approved as Method to Verify Parental Consent Under COPPA
By InfoLawGroup LLP on January 07, 2014
Adherence Communications, Boris Segalis, data protection, Do Not Call Regulations, healthcare, HHS, HIPAA, HITECH, InfoLawGroup, OCR, PHR Portals, privacy, privacy enforcement, privacy rule, security rule
New HIPAA/HITECH Rules Implementation Roadmap: Countdown Begins to September 23, 2013 Compliance Deadline
By InfoLawGroup LLP on March 31, 2013
cybersecurity, data protection, InfoLawGroup, information security, InformationLawGroup, privacy, Segalis, utility
White House Cyber Security Order Likely to Have Long-Term Impact on Critical Infrastructure Owners and Operators
By InfoLawGroup LLP on February 13, 2013
concerted activity, employee privacy, enforcement, group, Heather Nolan, InfoLawGroup, information, Law, NLRA, NLRB, privacy, privacy enforcement, Section 7, social media, social network
NLRB Issues Report on Employer Social Media Policies
By Heather Nolan on June 25, 2012
Buzz, consent, EPIC, FTC, FTC Act, Google, InfoLawGroup, information law group, privacy, privacy enforcement, Privacy Policy, Section 5, Segalis
EPIC Alleges Epic FTC Fail In Google Saga; We Review the Complaint
By InfoLawGroup LLP on February 13, 2012
On February 8, 2012, the Electronic Privacy Information Center (EPIC) asked the Federal District Court for the District of Columbia to compel the Federal Trade Commission (FTC) to enforce the terms of the agency's Google Buzz privacy settlement with Google. EPIC seeks to compel the FTC to stop Google's planned consolidation of user data from across the company's services into a single profile for each user under a single privacy policy. EPIC has alleged that the proposed changes and the way Google seeks to implement the changes violate the Google Buzz consent order. The District Court will hear the case before March 1, 2012.In this post, we discuss the highlights of EPIC's complaint, Google's response and lessons learned.
concerted activity, employee privacy, group, InfoLawGroup, information, information law group, Law, NLRA, NLRB, privacy, privacy enforcement, Section 7, Shannon Harell, social media, social network
NLRB Issues Second Report Reviewing Social Media Enforcement Actions
By InfoLawGroup LLP on January 29, 2012