Proposed California Consumer Privacy Act Regulations (CCPA Rules)

Published on:
December 6, 2019
Submitted to:
California Attorney General
Submitted by:
SIFMA

Summary

SIFMA provided comments to the California Attorney General in response to the request for comments under the California Consumer Privacy Act.

Excerpt

December 6, 2019

VIA EMAIL TO: [email protected]

The Honorable Xavier Becerra

Attorney General, State of California

1300 I Street

Sacramento, CA 95814

Privacy Regulations Coordinator

California Office of the Attorney General

300 South Spring Street, First Floor

Los Angeles, CA 90013

Re: Proposed California Consumer Privacy Act Regulations

Dear Attorney General Becerra,

The Securities Industry and Financial Markets Association (SIFMA)1 appreciates this opportunity to comment on the proposed California Consumer Privacy Act (CCPA) regulations.

I. Executive Summary

In promulgating regulations under the CCPA, it is important that the Attorney General’s office endeavor to create clear and consistent rules that businesses can meaningfully rely on in their efforts to comply with the CCPA and provide consumers with additional clarity about the collection, use, and sharing of their personal information. To that end, SIFMA requests that the Attorney General’s office delay enforcement of the CCPA until January 1, 2022, to allow for businesses to appropriately implement the complex systems of accepting, verifying, and responding to consumers’ requests in accordance with the regulations’ requirements.

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1 SIFMA is the leading trade association for broker-dealers, investment banks and asset managers operating in the U.S. and global capital markets. On behalf of our industry’s nearly 1 million employees, we advocate for legislation, regulation and business policy, affecting retail and institutional investors, equity and fixed income markets and related products and services. We serve as an industry coordinating body to promote fair and orderly markets, informed regulatory compliance, and efficient market operations and resiliency. We also provide a forum for industry policy and professional development. SIFMA, with offices in New York and Washington, D.C., is the U.S. regional member of the Global Financial Markets Association (GFMA).

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