Hong Kong
Summary
Law: Personal Data (Privacy) Ordinance (Cap. 486) as amended in 2021 (PDPO)
Regulator: The Office of the Privacy Commissioner for Personal Data (PCPD)
Summary: On October 8, 2021, the Personal Data (Privacy) Ordinance (Cap. 486) as amended in 2021 (PDPO) came into effect. The initial Act, enacted on December 20, 1996, introduced data subject rights in Hong Kong, specifying obligations for data controllers, and overseeing the collection, processing, holding, and use of personal data through six data protection principles. In 2012, significant amendments were made to the Act, effective from October 1, 2012, primarily focused on governing the use and provision of personal data in direct marketing. Further, the current 2021 amended PDPO specifically targeted the unauthorized disclosure of personal data without consent, addressing the issue commonly referred to as 'doxxing.'
In addition, the PDPO does not explicitly outline requirements for data processors, data protection officers, or mandatory breach notifications in the event of a breach. Furthermore, Section 33 of the PDPO, intended to regulate data transfers, has not yet come into effect, leaving a lacuna in the implementation of the law. Therefore, the Office of the Privacy Commissioner for Personal Data (PCPD), responsible for overseeing compliance with the PDPO, has issued various guidelines and codes of practice to fill the gap, such as the Guidance Note on the Recommended Model Contractual Clauses for Cross-border Transfers of Personal Data (2022 Guidance).
Notably, on January 5, 2020, the PCPD, in collaboration with the Legislative Council of Hong Kong, clarified in a discussion paper that the enforcement of Section 33 had been postponed due to concerns raised by the business sector, encompassing worries about its operational impact, challenges in compliance, and the need for additional time to implement measures aligning with Section 33. Additionally, the paper proposed more amendments to the PDPO, including the introduction of requirements for processors and breach notifications, along with the potential conferment of new enforcement powers to the PCPD.