Following the Schrems II decision and the subsequent recommendations by the European Data Protection Board, it is clear organisations should not rely on standard contractual clauses to transfer personal data to third countries. The IAPP has published a table listing the various derogations under Article 49 of the EU General Data Protection Regulation. The table includes all of the Article 49 derogations, conditions for using the derogations, examples of data types that may or may not be used in each situation, and additional requirements and factors to consider when transferring data.
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