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Privacy & Cybersecurity Law Blog

FTC Rescinds 2021 Policy Statement on Health App Data Breaches EU Cyber Resilience Act Reporting Obligations Take Effect for Manufacturers Dutch DPA Fines Uber Over Automated Decisions Affecting Drivers European Commission Designates ChatGPT, Reddit, and Roblox Under the Digital Services Act China Issues New Rules on Cyberspace Security Inspection Court Approves Meta Settlement With 29 States Over Alleged Harms to Children and Teens FTC Proposes Enforcement Policy Statement on Personalized Pricing New Jersey Enacts the Kids Code Act with Privacy-by-Default and Safety-by-Design Obligations White House Memorandum Establishes Framework for Government-Directed Private-Sector Cyber Operations FTC, California and Utah Sue Telehealth Company Hims & Hers for Deceptive and Unlawful Privacy Practices CalPrivacy Settles with Two Data Brokers over Registration Failures and Privacy Violations New York Attorney General Releases Final Rules for SAFE for Kids Act EDPB Adopts Guidelines on Anonymous Data, Web Scraping, and Blockchain China Publishes Official Q&A on Administrative Policies for Cross-Border Data Transfers Hawaii Enacts AI Companion Disclosure and Safety Law EDPB Calls for Review of EU-U.S. Data Privacy Framework After U.S. Supreme Court Decision on FTC Independence CNIL Issues FAQs on Recommendation for Tracking Pixels in Emails European Commission Issues Guidance on the Cyber Resilience Act European Commission Issues EU AI Act Transparency Guidelines EU Digital Omnibus on AI Enters Into Force Connecticut AG Leads Multistate Settlement With 23andMe Over 2023 Data Breach CalPrivacy Targets Gig Economy Tech Platforms in First CCPA Compliance Audit New Jersey Adopts New Data Broker Registration Regime and Sensitive Data Sale and Licensing Restrictions CISA Plans to Finalize Cyber Incident Reporting Regulations in September 2026 Illinois Governor Signs Frontier AI Model Law New Hampshire Amends the NHDPA to Prohibit the Sale of Children’s Personal Data Canada’s Proposed Social Media Ban for Children and Chatbot Regulation: Bill C-34’s Impact on Platforms European Commission Unveils Cybersecurity and AI Action Plan European Commission Refers Four Member States to CJEU Over NIS2 Transposition Delays EDPB Opens Public Consultation on New Personal Data Breach Notification Template
Delaware Expands State Privacy Law
2026-09-10 · via Privacy & Cybersecurity Law Blog

On September 2, 2026, Delaware Governor Matt Meyer signed House Bill 380 (“HB 380”), significantly expanding the scope of the Delaware Personal Data Privacy Act (“DPDPA”) effective January 1, 2027.

Among other changes, HB 380 lowers the DPDPA’s applicability threshold from 35,000 to 10,000 Delaware consumers. For businesses that derive more than 20% of their gross revenue from the sale of personal data, HB 380 lowers the applicability threshold from 10,000 to 5,000 consumers. The DPDPA as amended now will also apply to third parties that acquire personal data from controllers.

The amendments also expand consumer protections relating to sensitive data and profiling. In particular, HB 380:

  • expands the definition of sensitive data to include, among other categories, national origin, certain health information, neural data, financial account credentials and government-issued identification numbers;
  • expands the right to opt out of profiling used to make automated decisions;
  • expands the access right to include certain inferences derived from personal data; and
  • adds new contracting, due diligence and assessment requirements for certain data collection and processing activities, including the sale of personal data and the use of personal data for targeted advertising purposes.

Notably, the amendments broaden the profiling opt-out right by applying it to profiling in furtherance of “automated” decisions that produce legal or similarly significant effects, rather than only “solely automated” decisions.

Among the changes in controllers’ obligations, controllers are required to enter into contracts with third parties to whom personal data is disclosed, conduct due diligence on those third parties, and fulfill certain criteria before selling sensitive data.

Controllers that disclose reports to third parties for use in making decisions that produce legal or similarly significant effects must contractually require those third parties to provide adverse-action notices and related disclosures. Upon request, controllers must also provide Delaware consumers with certain information within 30 days, including the personal data maintained about them, the sources of personal data used in profiling them, and the identity of third parties that received reports concerning them during the preceding 24 months.

Governor Meyer also signed House Bill 381 (“HB 381”) on September 2, 2026. HB 381 separately amends Delaware’s data breach notification law to require businesses to notify the Delaware Attorney General within 60 days of determining that a breach occurred. Unlike HB 380, HB 381 took effect upon signing.

HB 380 takes effect January 1, 2027.