Our lawyers are knowledgeable about data collection technology, including the use of cookies. We also understand the value of collecting and using data for marketing and other strategic purposes.
We are well versed in data breach response, remediation, coordination, and litigation, including investigations by the U.S. Office of Civil Rights and state AGs.
We actively attend and speak at FTC, state AG, and industry-sponsored workshops and programs on data privacy and security developments, cases, trends, and agendas. We track federal and state privacy laws and proposals to keep our team apprised on this rapidly evolving area.
We advise clients in data mapping and development of enterprise-wide privacy and security plans, and compliance with various privacy requirements as well as industry-specific regulations. We are experienced in advising clients on the sharing and transfer of collected data, whether a license arrangement, a sale, or in the bankruptcy context. We regularly structure arrangements with promoters, marketers, website exchanges, health information exchanges, and other third parties for the sharing and care of our clients' customer data.
We advise clients on practices and policies to safeguard data against accidental or deliberate disclosure, including security programs, policies, education, and implementation of administrative, technical, and physical safeguards.
We also work with clients to develop website and mobile app privacy policies and terms and conditions of use, and social media policies, practices and procedures.
Our clients include companies in all industries, including: tax-exempt organizations with significant fundraising activities, general audience websites and mobile apps, catalogue and direct marketing companies, companies with a significant offline database of customer information, computer software companies, start-up companies, companies providing remote monitoring of equipment, health care providers, hospitals and patient portal vendors, health information exchanges, utilities, manufacturing, energy, and wireless telecommunications service providers.
More Legal and Business Bylines From Data Privacy & Cybersecurity Robinson Cole
- Colorado Attorney General Issues Data Security Best Practices Guidance Document - (Posted On Thursday, February 03, 2022)
- New Poll Underscores Growing Support for National Data Privacy Legislation - (Posted On Thursday, January 27, 2022)
- FERC Seeks to Tighten Cyber Security for Electric Grid Cyber Systems - (Posted On Monday, January 24, 2022)
- Mobile Health Apps and the FTC’s Health Breach Notification Rule: New Enforcement Initiative Coming - (Posted On Thursday, January 13, 2022)
- DuckDuckGo Profits on Privacy - (Posted On Thursday, January 06, 2022)
- Recent CCPA Enforcement Actions Highlight the Importance of a CCPA-Compliant Privacy Policy - (Posted On Thursday, December 23, 2021)
- If Your Disclosure of a Data Breach Was “Late,” You May Have to Litigate - (Posted On Tuesday, December 21, 2021)
- Homeland Security Announces “Hack DHS” Program - (Posted On Thursday, December 16, 2021)
- Smart Health Cards, Vaccine Passports, and Privacy - (Posted On Thursday, December 09, 2021)
- District Court Enforces DOL Investigative Subpoena Against Plan Service Provider Concerning Alleged Cybersecurity Breaches - (Posted On Tuesday, November 23, 2021)
The Data Privacy & Cybersecurity Practice Group at Robinson & Cole LLP has been named a Go-To Thought Leader by the National Law Review. The 2022 Ukraine invasion by Russia spurred significant concerns regarding cybersecurity, malware, and cybercrime. Robinson & Cole’s Data Privacy and Cybersecurity Group provided vital insights on this matter throughout the year, writing on topics such as hackers targeting Russia in support of Ukraine, and the FBI and DHS’s repeated warnings of Russian infrastructure attacks.