Under the GDPR, be careful when you use the “C” word
The ICO has just published draft Advice (the “Advice”) on the use of consent under the General Data Protection Regulation (GDPR). All I can suggest is that readers engage with the consultation over the content of this draft Advice (especially if a data controller relies on data subject consent). What follows is a set of statements from the 40 page Advice concerning consent under the GDPR, followed by my commentary which I hope helps your understanding of the issue. This should




