Articles
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1 month ago |
jdsupra.com | Andrew Baer |Christopher C. Dodson
“Dark patterns” have increasingly been the focus of legislative and regulatory scrutiny. Yet the phrase is never used in business. No business designs a website, mobile app, or business process with the instruction, “let’s create a dark pattern.” But recent state comprehensive privacy laws and regulatory actions blending privacy and consumer protection law make it clear that using a dark pattern is a legally risky action.
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1 month ago |
cozen.com | Andrew Baer |Christopher C. Dodson
“Dark patterns” have increasingly been the focus of legislative and regulatory scrutiny. Yet the phrase is never used in business. No business designs a website, mobile app, or business process with the instruction, “let’s create a dark pattern.” But recent state comprehensive privacy laws and regulatory actions blending privacy and consumer protection law make it clear that using a dark pattern is a legally risky action.
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1 month ago |
lexology.com | Andrew Baer |Christopher C. Dodson
“Dark patterns” have increasingly been the focus of legislative and regulatory scrutiny. Yet the phrase is never used in business. No business designs a website, mobile app, or business process with the instruction, “let’s create a dark pattern.” But recent state comprehensive privacy laws and regulatory actions blending privacy and consumer protection law make it clear that using a dark pattern is a legally risky action.
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Oct 30, 2024 |
jdsupra.com | Andrew Baer |Christopher C. Dodson
With the governor’s signature, Colorado has enacted a new consumer protection law focused on artificial intelligence (“AI”) systems. The “Colorado AI Act” will go into effect on February 1, 2026. It will have a minor impact on developers and deployers of all public-facing AI systems used by Colorado residents and a more significant impact on developers and deployers of AI systems deemed to be high-risk under the law.
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Oct 28, 2024 |
mondaq.com | Andrew Baer |Robert W. Rubenstein
On October 16, 2024, the New York Department of Financial Services (NYDFS) issued an Industry Letter that discusses the cybersecurity risks associated with the use of artificial intelligence (AI) and outlines strategies to manage these risks. The Industry Letter, which only applies to those entities regulated by the NYDFS (Covered Entities), does not introduce any additional requirements beyond those outlined in 23 NYCRR Part 500 (the NYDFS Cybersecurity Regulation).
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