CCPA vs CPRA :- governments mechanism to increase safety of consumer
if you're writing down points for CCPA vs CPRA

CCPA stands for California Consumer Privacy Act.
CPRA stands for California Privacy Rights Act.
Continue reading to find out more about CCPA vs CPRA.
What are the major changes when one compares ccpa vs cpra?
SCOPE AND DEALING JURISDICTION - CCPA vs CPRA will give you a better scope of jurisdiction. This means that the California privacy rights act is a better platform for the protection of private information in comparison to the California consumer privacy act. Sharing of data within the scope of an organisation is also allowed in the new consumer privacy rights act. Buying and selling of personal information has been doubled for the California residence. A new concept of sensitive personal information has been embedded in the California privacy rights act, which was before not included in the California consumer privacy act. This has further increased the mechanism by which data can be securely managed. The increase in the threshold for buying and selling of personal information will be beneficial to households.
THE NEW CATEGORY IN TERMS OF PERSONAL INFORMATION - the right to limit the spread of personal information is with the California Privacy Protection Agency. The CPRA even has the right to get personal information deleted. The new laws in California pertaining to the privacy rights of the consumer have got a concept of sensitive personal information. This defines the very personal information that the organisation does not have a right to collect without your consent. This new category includes information like drivers licence number and biometrics of the individual. Precise geolocation can also be considered as sensitive information which, if the company needs, then they have to get permission. The disclosure of private information should be made clear. An individual shall deny giving personal information as part of the new CPRA law. CCPA vs CPRA will give awareness to deal with sensitive personal information.
INTERPRETATION OF CLAUSES - When one compares CCPA vs CPRA, they shall know that the clauses are different. The law which was enacted later provides a clear picture of the mechanism for not selling the personal information. This means that the organisation who have collected your personal information has not have the right to publish it anywhere without your permission. The owner of the personal information shall reserve the right when it comes to advertising purposes. The expanded requirements under such clauses are very clearly mentioned in the California privacy rights act. The third party also does not have the right to store the personal information and then communicate in any form from one person to another.
MECHANISM TO ASSESS RISK AND PREVENT CYBER FRAUD - CCPA vs CPRA can be done on their risk management strategies. The former law does not have the provision of privacy impact assessments. On the contrary, CPRA requires the organisation to provide a risk assessment mechanism to the protection agency in order to significantly reduce risk in collecting personal information. These laws have been drafted in order to prevent the consumer from any cyber theft. The risk assessment strategies or cyber security auditing shall be necessary in order to regulate the loss pertaining to protection of the data.
WORKING OF AN INDEPENDENT AUTHORITY FOR SUPERVISION - if you're writing down points for CCPA vs CPRA, then the role of supervisory authority is to be understood. An independent supervisory authority shall be necessary in order to enforce the laws in the best possible manner. The California consumer privacy Act does not provide a provision for such authority. Whereas, clear mention of the same has been highlighted in CPRA.
Conclusion
This post has provided some major changes which one could involve if they write down the points as CCPA vs CPRA. From the protection of data in an efficient manner to reduction of risks for the consumer, one should know the updates in laws as a conscious citizen.



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