EDPB Publishes Report of Outcome of the Cookie Banner Taskforce
On January 18, 2023, the European Data Protection Board (“EDPB”) published its Report on the work undertaken by the Cookie Banner Taskforce (the “Report”).
The positions reflected in the Report result from the coordinated response of EU data protection authorities (“DPAs”) to the complaints filed by the non-governmental organization co-founded by privacy activist Max Schrems, None of Your Business (“NOYB”), that related to the requirements of cookie banners in the EU.
Key Takeaways from the Report
The Report addresses and presents the EDPB’s position on a number of practices that have been under the radar of EU DPAs. Key takeaways from the Report include:
The EDPB recalls that the one-stop-shop mechanism introduced by the EU General Data Protection Regulation (“GDPR”) does not apply to cookie-related issues, as cookie rules are set forth under the ePrivacy Directive.
Deceptive practices that consist in using different button colors and contrast with a view to highlight the “accept all” button over the available options are prohibited. While the validity of a design should be assessed on a case-by-case basis, all buttons should ideally use the same size, color, font and contrast so as to ensure that consent is freely given.
Website owners should put in place easily accessible solutions allowing users to withdraw their consent at any time, such as through the use of a small hovering and permanently visible icon, or a link placed on a visible and standardized place.
Inadequately categorizing cookies that serve purposes which would not be considered as “strictly necessary” under the “strictly necessary” cookie bucket is prohibited. The taskforce however recognized the practical difficulty of classifying cookies used on a website, particularly as cookie features change regularly.
The EDPB clarified that the positions laid down in the Report reflect “a minimum threshold” in implementing cookie rules in the EU and “do not constitute stand-alone recommendations or findings to obtain a greenlight from a competent authority.” This means that the Report is independent from the decisions that have been or will be taken in relation to NOYB’s complaints. The content of the Report is however expected to inform or influence DPAs’ decisions about cookies in the future.
Read the Report.