On May 25th, the new privacy law for the European Union (EU), known as the General Data Protection Regulation (GDPR) will be immediately enforceable. This regulation will greatly simplify the privacy laws in the EU which while good news for email marketers, it will also be the strictest law globally. It will require that any marketer with EU consumers data will need to comply with this law, regardless of where they are headquartered.
There have been many articles published on this topic in the past year but we wanted to make sure you were aware of some of the required changes. This article from Litmus on the Top 5 things you should know about GDPR provides additional information that may be helpful as you finalize your compliance with this law.
GDPR requires that brands collect affirmative expressed consent that is “freely given, specific, informed and unambiguous” to be compliant.
To be compliant with GDPR, you must have Expressed Consent from all EU consumers before May 25th or you will need to stop emailing them. The Information Commissioner’s Office has provided consent guidance that you may want to have your legal team review to determine how your organization will decide to comply.
Many email marketers are choosing to send a re-permissioning email to capture expressed consent from EU consumers. Re-permission email examples can be found online, and some examples can be found on this article from Litmus.
It is important to note that pre-checked opt-in boxes, often part of purchase transactions, are not compliant with GDPR. If you have ever used a pre-checked box or other implied consent-based approach to build your email list, you should work to gain expressed consent from your EU consumers before May 25th.
This law applies to any company, in any country, that has data from EU consumers
Although you ultimately are responsible for compliance with GDPR, as you are with CASL, and CAN-SPAM, Ascent360 will be providing the following fields to help you comply:
If you would like to simply stop marketing to EU consumers as of May 25th, please let your Account Manager know as we can change the GDPR Permission Status on known EU consumers to No.
This information is intended to provide a high-level overview about compliance with GDPR, but it is not intended as legal advice. As with all new laws, you should contact your attorney for compliance advice specific to your organization.