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Privacy & Cybersecurity Law Blog

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 European Commission Advances New Proposal to Expand Cloud Capacity and AI Infrastructure U.S. Supreme Court FTC Ruling Prompts Fresh Scrutiny of EU-U.S. Data Privacy Framework China Issues Regulations on Internet Content Multi-Channel Network Distribution Services China’s First Regulatory Framework for Virtual Companions Soon to Take Effect UK Data Protection Complaints Obligations Take Effect Vermont Enacts Significant Amendments to Data Broker Legislation Vermont Becomes 23rd State with Comprehensive Consumer Privacy Law Louisiana Enacts Comprehensive Consumer Privacy Law Connecticut Signs Comprehensive AI Bill into Law China CAC Issues Guidance on Conducting Audits Technology Companies Should Prepare for FTC Enforcement of Take It Down Act HHS Reorganizes Office for Civil Rights Oregon Prohibition on Public Body Disclosures to Data Brokers for Federal Immigration Purposes Now In Effect Connecticut Privacy Law Updates: Data Broker Rules, Geolocation Sale Ban, Surveillance Pricing Restrictions, and Genetic Data Regulations NYDFS Warns of Cybersecurity Risks from Frontier AI Models UK and Australia Announce Memorandum of Understanding on AI Security FTC Announces Settlements With Three Marketing Firms Over Allegations of Deceptive Statements About Active Listening AI-Powered Services Cybersecurity Authorities Issue Joint Guidance on the Adoption of Agentic AI Systems Colorado AI Act Amended and Effective Date Delayed European Commission Releases Draft Guidelines on High-Risk AI Under the EU AI Act Texas AG Announces Lawsuit Against Netflix for Alleged Misrepresentations Regarding User Data UK ICO Recommends Targeted Changes to PECR Rules for Online Advertising California AG Announces Record $12.75M Settlement with GM over CCPA Data Minimization and Purpose Limitation Violations Illinois Department of Human Rights Issues Regulations Governing the Use of AI in Employment Decisions Delta Dental Agrees to $2.25 Million Settlement with NYDFS Over MOVEit Data Breach Response Maryland Enacts First-of-its-Kind Ban on Surveillance Pricing for Grocery Sales UK ICO Publishes Guidance on Storage and Access Technologies CIPL Report Discusses Significant Alignment between GDPR and Global CBPR CalPrivacy Announces the Agenda for its April 30–May 1 Board Meeting CalPrivacy Requests Preliminary Comments on Notices & Disclosures, Employee Data COPPA Rule Amendment Compliance Deadline Approaches House Republicans Introduce Comprehensive Federal Privacy Bill: “SECURE Data Act” Kentucky Classifies Smart TV Data as Sensitive Alabama Becomes 21st State With Comprehensive Consumer Privacy Law CalPrivacy Director Expects CCPA Compliance Audits in 2026 Virginia Bans Sale of Geolocation Data HHS’ Office for Civil Rights Settles HIPAA Investigation of Health Care Software Company New Jersey Enacts New Restrictions on Health Care Facilities’ Use of Patient Data Washington State Enacts Law Regulating AI Companion Chatbots with Private Right of Action Guardrails for Legal AI: What California’s SB 574 Would Require of Attorneys and Arbitrators
China Issues New Measures for Network Data Security Risk Assessment
2026-06-30 · via Privacy & Cybersecurity Law Blog

On June 18, 2026, China issued the new "Measures for Network Data Security Risk Assessment" (the “Measures”). Effective August 20, 2026, the Measures establish a formal framework for conducting, supervising, and reporting network data security risk assessments in China. Below is a summary of certain of the key requirements of the Measures.

The Measures define a “network data security risk assessment” as activities such as risk identification, risk analysis, and risk evaluation conducted to ensure the security of network data and network data processing activities. The Measures distinguish between two categories of regulated entities: important data handlers and general data handlers. Important data handlers (those handling data designated as "important data" under applicable laws of China) must conduct a comprehensive risk assessment at least once a year. They must also carry out additional targeted assessments without delay whenever significant changes to the security of their data may have adverse effects. General data handlers, by contrast, are encouraged, rather than required, to conduct assessments, with a recommended cycle of at least once every three years. Important data handlers must submit their completed assessment reports to the relevant authority within 20 working days of completion.

Assessments may be conducted either internally by the data handler or the data handler may engage a third-party assessment institution. If internal assessment is chosen, a responsible person must be designated. If a third-party institution is appointed, the parties must define their respective rights and obligations through a contract or other legally binding instrument. Sub-delegation by a third-party institution to another institution is prohibited, and the same institution (or its affiliates) is not permitted to perform the annual assessment for the same data handler more than three times in a row.

Authorities at the provincial level or higher may require a data handler to engage a certified assessment institution if data processing activities pose a significant risk to national security or public interest, or if a security incident results in the leakage or theft of important data or personal information on a large scale. When a data handler commissions such an assessment, it is obliged to, amongst other things, provide the necessary support to the assessment institution to conduct the risk assessment, submit the risk assessment to the competent authorities, and rectify any issues identified in the risk assessment.  If an assessment reveals an unacceptable risk, the relevant authorities may order rectification and if such order is not complied with or proves inadequate, the authorities may suspend the relevant data processing activities.