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Data Protection Addendum
"I need a Data Protection Addendum for a Malaysian technology company that will be processing customer data through cloud services, with planned implementation by March 2025 and including provisions for cross-border data transfers to Singapore and Australia."
1. Parties: Identification of the data controller and data processor, including their registered addresses and company details
2. Background: Context of the existing relationship between parties and purpose of the addendum
3. Definitions: Definitions of key terms including Personal Data, Processing, Data Subject, etc. aligned with Malaysian PDPA 2010
4. Scope and Purpose of Processing: Detailed description of the personal data being processed and the specific purposes for processing
5. Data Protection Obligations: Core obligations of both parties regarding data protection, including compliance with PDPA principles
6. Security Measures: Technical and organizational measures required to protect personal data
7. Confidentiality: Obligations regarding confidentiality of personal data and training of personnel
8. Data Breach Notification: Procedures and timeframes for reporting and handling data breaches
9. Sub-processing: Conditions and requirements for engaging sub-processors
10. Data Subject Rights: Procedures for handling data subject requests and ensuring their rights
11. Term and Termination: Duration of the addendum and conditions for termination
12. Return or Destruction of Data: Requirements for handling personal data upon termination
1. Cross-border Data Transfers: Requirements for international data transfers, necessary when data will be transferred outside Malaysia
2. Specific Industry Requirements: Additional requirements for specific sectors (e.g., financial services, healthcare)
3. Data Protection Impact Assessment: Requirements for conducting DPIAs, necessary for high-risk processing activities
4. Audit Rights: Detailed audit procedures, recommended for complex processing arrangements
5. Insurance Requirements: Specific insurance obligations for data protection, relevant for high-risk processing
6. Privacy by Design: Requirements for implementing privacy by design principles, relevant for new systems or processes
1. Schedule 1 - Categories of Personal Data: Detailed list of personal data categories being processed
2. Schedule 2 - Processing Activities: Detailed description of all processing activities and purposes
3. Schedule 3 - Technical and Organizational Measures: Detailed security measures and controls implemented
4. Schedule 4 - Approved Sub-processors: List of approved sub-processors and their processing activities
5. Schedule 5 - Data Transfer Mechanisms: Details of mechanisms used for international data transfers
6. Appendix A - Data Breach Response Plan: Detailed procedures for handling and reporting data breaches
7. Appendix B - Security Standards: Specific security standards and certifications required
Authors
Technology and Software
Financial Services
Healthcare
E-commerce
Education
Telecommunications
Professional Services
Manufacturing
Retail
Insurance
Hospitality
Transportation and Logistics
Legal
Compliance
Information Security
IT
Risk Management
Data Protection
Procurement
Operations
Privacy
Information Governance
Vendor Management
Chief Privacy Officer
Data Protection Officer
Legal Counsel
Compliance Manager
Information Security Manager
IT Director
Risk Manager
Chief Information Security Officer
Procurement Manager
Contract Manager
Chief Technology Officer
Operations Director
Chief Legal Officer
Privacy Analyst
Information Governance Manager
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