In the second installment of our newsletter series, we delve deeper into the key changes introduced by Amendment No. 13 to the Israeli Privacy Protection Law, recently enacted by the Israeli Knesset, addressing the following key questions:
- What is the new definition of "data controller," and how has the definition of "data processor" been updated?
- What happened to the "database manager" under this amendment?
- What is the significance of the new requirement to appoint a Data Protection Officer (DPO)?
- When does an information security officer (CISO) need to be appointed and what are the interfaces with the DPO?
For a detailed analysis of these changes, please refer to the newsletter (in Hebrew).
Click here to read the first newsletter of the series.