100+ datasets found
  1. Challenges to adapt privacy compliance changes for companies in the EU and...

    • statista.com
    • ai-chatbox.pro
    Updated Jun 23, 2025
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    Statista (2025). Challenges to adapt privacy compliance changes for companies in the EU and UK 2023 [Dataset]. https://www.statista.com/statistics/1403394/eu-uk-firms-challenge-consumer-data-privacy-law/
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    Dataset updated
    Jun 23, 2025
    Dataset authored and provided by
    Statistahttp://statista.com/
    Time period covered
    Apr 2023 - May 2023
    Area covered
    European Union, United Kingdom
    Description

    A survey conducted in April and May 2023 revealed that around ** percent of the companies that do business in the European Union (EU) and the United Kingdom (UK) found it challenging to adapt to new or changing requirements of the General Data Protection Regulation (GDPR) or Data Protection Act 2018 (DPA). A further ** percent of the survey respondents said it was challenging to increase the budget because of the changes in the data privacy laws.

  2. Privacy laws impact on U.S. and UK companies transferring data...

    • statista.com
    Updated Aug 4, 2023
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    Statista (2023). Privacy laws impact on U.S. and UK companies transferring data internationally 2023 [Dataset]. https://www.statista.com/statistics/1403400/us-uk-firms-transfer-data-internationally-impact-law/
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    Dataset updated
    Aug 4, 2023
    Dataset authored and provided by
    Statistahttp://statista.com/
    Time period covered
    Apr 2023 - May 2023
    Area covered
    United Kingdom, United States
    Description

    A survey conducted in April and May 2023 revealed that around 35 percent of organizations in the United States and 40 percent of organizations in the United Kingdom pay higher costs for international data transfers due to data privacy regulations, but they also find it manageable. Furthermore, approximately 35 percent of respondents from both countries think the regulations encourage businesses by guaranteeing that the data will be safeguarded in other countries.

  3. National Data Guardian feedback on 'Data: a new direction': proposed...

    • gov.uk
    • s3.amazonaws.com
    Updated Nov 22, 2021
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    National Data Guardian (2021). National Data Guardian feedback on 'Data: a new direction': proposed government reforms to the UK data protection regime [Dataset]. https://www.gov.uk/government/publications/national-data-guardian-feedback-on-data-a-new-direction-proposed-government-reforms-to-the-uk-data-protection-regime
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    Dataset updated
    Nov 22, 2021
    Dataset provided by
    GOV.UKhttp://gov.uk/
    Authors
    National Data Guardian
    Area covered
    United Kingdom
    Description

    This is the National Data Guardian’s (NDG’s) formal response to the Department for Digital, Culture, Media and Sport’s consultation Data: a new direction on the proposed reforms to data protection law in the UK.

    This is not an exhaustive review of all the government’s proposals, but rather the NDG’s considerations and recommendations on those areas of the reforms that may impact the health and social care sector.

    The appropriate use of data is essential to ensure continuous improvements in health and social care. The NDG is supportive of the government’s aim of building an improved data protection regime. As such, this response is intended to provide advice and feedback on areas of the consultation where the NDG believes further consideration might be necessary if the government is to achieve its stated aim.

  4. Compliance actions for U.S. state privacy laws in U.S. and UK companies 2023...

    • statista.com
    • ai-chatbox.pro
    Updated Aug 3, 2023
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    Statista (2023). Compliance actions for U.S. state privacy laws in U.S. and UK companies 2023 [Dataset]. https://www.statista.com/statistics/1403267/us-uk-companies-privacy-measures-implementation/
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    Dataset updated
    Aug 3, 2023
    Dataset authored and provided by
    Statistahttp://statista.com/
    Time period covered
    Apr 2023 - May 2023
    Area covered
    United Kingdom, United States
    Description

    A survey conducted in April and May 2023 found that less than half of the surveyed organizations in the United States and the United Kingdom (UK) had completed selected actions to comply with state data privacy laws in the United States. Around 40 percent of the respondents had made a comparison of the United States' state-level privacy law frameworks. A further 30 percent said they were in the process of doing so. Furthermore, 41 percent of the respondents said they had updated privacy policies, while almost 30 percent were in the process of planning and conducting data assessments.

  5. w

    Dataset of books called Data protection : a practical guide to UK and EU law...

    • workwithdata.com
    Updated Apr 17, 2025
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    Work With Data (2025). Dataset of books called Data protection : a practical guide to UK and EU law [Dataset]. https://www.workwithdata.com/datasets/books?f=1&fcol0=book&fop0=%3D&fval0=Data+protection+%3A+a+practical+guide+to+UK+and+EU+law
    Explore at:
    Dataset updated
    Apr 17, 2025
    Dataset authored and provided by
    Work With Data
    License

    Attribution 4.0 (CC BY 4.0)https://creativecommons.org/licenses/by/4.0/
    License information was derived automatically

    Area covered
    United Kingdom, European Union
    Description

    This dataset is about books. It has 4 rows and is filtered where the book is Data protection : a practical guide to UK and EU law. It features 7 columns including author, publication date, language, and book publisher.

  6. Your information rights when DfE collects your personal data

    • gov.uk
    Updated Mar 18, 2025
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    Department for Education (2025). Your information rights when DfE collects your personal data [Dataset]. https://www.gov.uk/government/publications/your-information-rights-when-dfe-collects-your-personal-data
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    Dataset updated
    Mar 18, 2025
    Dataset provided by
    GOV.UKhttp://gov.uk/
    Authors
    Department for Education
    Description

    We must have a valid reason to collect your personal data. These reasons are called the lawful basis in the UK GDPR.

    UK GDPR gives you certain rights about how your information is collected and used.

    This document tells you about:

    • each lawful basis that we rely on for processing your personal data
    • the rights you have under that lawful basis
  7. Animals in Science Procedures e-Licensing: Data Protection Impact Assessment...

    • gov.uk
    • s3.amazonaws.com
    Updated Dec 11, 2020
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    Home Office (2020). Animals in Science Procedures e-Licensing: Data Protection Impact Assessment [Dataset]. https://www.gov.uk/government/publications/animals-in-science-procedures-e-licensing-data-protection-impact-assessment
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    Dataset updated
    Dec 11, 2020
    Dataset provided by
    GOV.UKhttp://gov.uk/
    Authors
    Home Office
    Description

    These assessments, in line with data protection legislation, assess the privacy impacts of the Animals in Science Regulation Unit’s e-Licensing system.

  8. g

    London Privacy Register

    • gimi9.com
    • data.europa.eu
    + more versions
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    London Privacy Register [Dataset]. https://gimi9.com/dataset/uk_london-privacy-register/
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    Area covered
    London
    Description

    This dataset is a central catalogue of Data Protection Impact Assessments (DPIAs) of smart city projects that collect personal information in public spaces. By publishing this in one place for the first time, it will enable public transparency and support good practice among operators. A DPIA helps to identify and minimise the risks of a project that uses personal data. Further information: DPIA registration form: https://www.london.gov.uk/dpia-register-form Information Commissioner DPIA: https://ico.org.uk/for-organisations/guide-to-data-protection/guide-to-the-general-data-protection-regulation-gdpr/accountability-and-governance/data-protection-impact-assessments/

  9. Data from: Human Rights Big Data and Technology: Digital Policing and Human...

    • beta.ukdataservice.ac.uk
    Updated 2024
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    datacite (2024). Human Rights Big Data and Technology: Digital Policing and Human Rights, 2023 [Dataset]. http://doi.org/10.5255/ukda-sn-856742
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    Dataset updated
    2024
    Dataset provided by
    UK Data Servicehttps://ukdataservice.ac.uk/
    DataCitehttps://www.datacite.org/
    Description

    The main project aims were to examine the human rights implications of rapidly developing technologies. As noted above, in an increasingly digitised world, technological developments and the collection, storage and use of 'big data' pose unprecedented challenges for the protection of human rights. The aim of the project was to examine the intersection of such technological developments and the ideals of human rights protection. The work focused on both positive and negative aspects of this relationship. As noted above, the core research aims were organised on these issues that cut across the threats and opportunities:1) How is the use of ICT and big data shaping the content and scope of rights? (2) How does the use of ICT and big data shape operational practices across state and non-state activities? What new theoretical questions and implications for human rights are generated? (3) What methodologies are needed to identify and document the misuse of modern technologies and the failure to comply with rights-based obligations? (4) How can the use of ICT and big data best support evidence-based approaches to human rights protection and advocacy? (5) What possibilities and limitations exist for regulating the collection, storage and use of ICT and big data by states and non-state actors? The deposited data largely focuses on interviews with law enforcement and security agency representatives about uses of digital technology. We found that an enthusiastic embrace of technnology often existed yet this was not always accompanied by the development of codes of practice, regulatory frameworks and operational guidence on how they should be used. In addition to a potential regulatory vacuum, such disconnects also placed additional burdens on law enforcement themselves as they sought to apply existing rules and regulations. This is something we have described in publications as 'surveillance arbitration'. We also include interviews with civil society actors and lawyers that interrogate these issues and associated digital rights campaigning matters in more detail.

  10. Implementation status of data privacy measures in U.S. and UK companies 2023...

    • statista.com
    • ai-chatbox.pro
    Updated Jun 23, 2025
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    Statista (2025). Implementation status of data privacy measures in U.S. and UK companies 2023 [Dataset]. https://www.statista.com/statistics/1403185/us-uk-companies-privacy-measures-implementation/
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    Dataset updated
    Jun 23, 2025
    Dataset authored and provided by
    Statistahttp://statista.com/
    Time period covered
    Apr 2023 - May 2023
    Area covered
    United Kingdom, United States
    Description

    A survey conducted in April and May 2023 among companies in the United States and the United Kingdom (UK) showed that ***** in ** organizations had designated an internal manager or owner to lead and implement data privacy measures. Additionally, almost ** percent conducted regular training of all staff on data privacy and compliance.

  11. n

    FOI-01976 - Datasets - Open Data Portal

    • opendata.nhsbsa.net
    Updated Jun 27, 2024
    + more versions
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    (2024). FOI-01976 - Datasets - Open Data Portal [Dataset]. https://opendata.nhsbsa.net/dataset/foi-01976
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    Dataset updated
    Jun 27, 2024
    Description

    This is because it would breach the first data protection principle as: a) It is not fair to disclose these people’s personal details to the world and is likely to cause damage or distress to staff b) These details are not of sufficient interest to the public to warrant an intrusion into their privacy. Please click the below web link to see the exemption in full: https://www.legislation.gov.uk/ukpga/2000/36/section/40

  12. Data Protection Statement /Job Applicant Privacy Notice (the “Notice”)

    • gov.uk
    • s3.amazonaws.com
    Updated Jul 8, 2024
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    Student Loans Company (2024). Data Protection Statement /Job Applicant Privacy Notice (the “Notice”) [Dataset]. https://www.gov.uk/government/publications/data-protection-statement-job-applicant-privacy-notice-the-notice
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    Dataset updated
    Jul 8, 2024
    Dataset provided by
    GOV.UKhttp://gov.uk/
    Authors
    Student Loans Company
    Description

    This Privacy Notice sets out:

    1. Why we process your data;
    2. What data we might process; and
    3. How your data is processed as part of the candidate application and recruitment process.
  13. FOI-02001 - Datasets - Open Data Portal

    • opendata.nhsbsa.net
    Updated Jul 12, 2024
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    nhsbsa.net (2024). FOI-02001 - Datasets - Open Data Portal [Dataset]. https://opendata.nhsbsa.net/dataset/foi-02001
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    Dataset updated
    Jul 12, 2024
    Dataset provided by
    NHS Business Services Authority
    Description

    Whilst this some of the requested information is held by the NHSBSA, we have exempted some of the figures under section 40(2) subsections 2 and 3(a) of the FOIA because it is personal data of applicants to the VDPS. This is because it would breach the first data protection principle as: a - it is not fair to disclose individual’s personal details to the world and is likely to cause damage or distress. b - these details are not of sufficient interest to the public to warrant an intrusion into the privacy of the individual. https://www.legislation.gov.uk/ukpga/2000/36/section/40 Information Commissioner Office (ICO) Guidance is that information is personal data if it ‘relates to’ an ‘identifiable individual’ regulated by the UK General Data Protection Regulation (UK GDPR) or the Data Protection Act 2018. The information relates to personal data of the VDPS claimants and is special category data in the form of health information. As a result, the claimants could be identified, when combined with other information that may be in the public domain or reasonably available. Online communities exist for those adversely affected by vaccines they have received. This further increases the likelihood that those may be identified by disclosure of this information. Section 40(2) is an absolute, prejudice-based exemption and therefore is exempt if disclosure would contravene any of the data protection principles. To comply with the lawfulness, fairness, and transparency data protection principle, we either need the consent of the data subject(s) or there must be a legitimate interest in disclosure. In addition, the disclosure must be necessary to meet the legitimate interest and finally, the disclosure must not cause unwarranted harm. The NHSBSA has considered this and does not have the consent of the data subjects to release this information and believes that it would not be possible to obtain consent that meets the threshold in Article 7 of the UK GDPR. The NHSBSA acknowledges that you have a legitimate interest in disclosure of the information to provide the full picture of data held by the NHSBSA; however, we have concluded that disclosure of the requested information would cause unwarranted harm and therefore, section 40(2) is engaged. This is because there is a reasonable expectation that patient data processed by the NHSBSA remains confidential, especially special category data. There are no reasonable alternative measures that could meet the legitimate aim. As the information is highly confidential and sensitive, it outweighs the legitimate interest in the information. Section 41 FOIA This information is also exempt under section 41 of the FOIA (information provided in confidence). This is because the requested information was provided to the NHSBSA in confidence by a third party - another individual, company, public authority or any other type of legal entity. In this instance, details have been provided by the claimants. For Section 41 to be engaged, the following criteria must be fulfilled:

  14. Data Protection As A Service (DPaaS) Market Analysis North America, Europe,...

    • technavio.com
    Updated May 15, 2024
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    Technavio (2024). Data Protection As A Service (DPaaS) Market Analysis North America, Europe, APAC, South America, Middle East and Africa - US, China, Germany, UK, Japan - Size and Forecast 2024-2028 [Dataset]. https://www.technavio.com/report/data-protection-as-a-service-market-industry-analysis
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    Dataset updated
    May 15, 2024
    Dataset provided by
    TechNavio
    Authors
    Technavio
    Time period covered
    2021 - 2025
    Area covered
    Germany, United States, Global
    Description

    Snapshot img

    Data Protection As A Service Market Size 2024-2028

    The data protection as a service (DPaaS) market size is forecast to increase by USD 87.57 billion at a CAGR of 46.02% between 2023 and 2028.

    The market is experiencing significant growth due to the rising adoption of this solution among various industries in the US. The exponential growth in the volume of data being generated and collected by enterprises necessitates strong data protection measures. Deployment modes like hosted services and hybrid cloud have made DPaaS more accessible and cost-effective for businesses. In-house security teams are increasingly turning to DPaaS to enhance their data security capabilities.
    Disaster recovery is another key area where DPaaS is gaining traction, providing businesses with a reliable and efficient backup and recovery solution. Despite its benefits, the high cost of DPaaS remains a challenge for some enterprises. Overall, the DPaaS market is poised for continued growth as more organizations recognize the importance of securing their data in the digital age.
    

    What will be the Data Protection As A Service Market Size During the Forecast Period?

    Request Free Sample

    The market refers to the provision of managed data security services through cloud-based solutions. These services enable organizations to safeguard their data from cyberattacks and data breaches, ensuring business continuity and compliance with data protection regulations. In the US, the adoption of DPaaS is on the rise as businesses seek to enhance their IT infrastructure's security and scalability. DPaaS offers several benefits to organizations, including scalability, management, and recovery options. Scalability allows businesses to easily expand their data protection capabilities as they grow, while management simplifies the process of securing data through centralized control. Recovery options ensure that data can be quickly restored in the event of a cyberattack or data loss. Cloud storage is a critical component of DPaaS, providing organizations with secure, offsite data storage. DPaaS providers offer advanced security features, such as encryption, access controls, and intrusion detection, to protect data in the cloud. Data breaches and cyberattacks pose significant risks to organizations, leading to financial losses, reputational damage, and legal consequences.
    Moreover, DPaaS helps mitigate these risks by providing strong security measures and real-time threat detection and response. DPaaS can be deployed in various modes, including public, private, and hybrid clouds. The choice of deployment mode depends on the organization's size and specific security requirements. Small and medium-sized businesses may prefer public cloud solutions, while larger enterprises may opt for private or hybrid clouds for enhanced security and control. DPaaS is applicable to various industry verticals, including healthcare, finance, retail, and education. These industries handle sensitive data and are subject to stringent data protection regulations. DPaaS providers offer paid databases with threat intelligence and compliance information to help organizations stay informed and comply with regulatory requirements. Next-Generation Technologies: DPaaS solutions leverage next-generation technologies, such as artificial intelligence (AI) and machine learning (ML), to provide advanced threat detection and response capabilities.
    Additionally, these technologies enable DPaaS providers to quickly identify and respond to emerging threats, ensuring that organizations' data remains secure. IT Infrastructure Industry: The IT infrastructure industry is a significant contributor to the growth of the DPaaS market. DPaaS solutions offer businesses a cost-effective and efficient way to enhance their data security capabilities without the need for extensive IT resources or expertise. DPaaS is an essential solution for businesses looking to enhance their data security and ensure business continuity in the face of cyberattacks and data breaches. With its scalability, management, and recovery options, DPaaS offers organizations the flexibility and control they need to protect their data in the cloud. As data security becomes increasingly critical, the adoption of DPaaS is expected to continue growing in the US and beyond.
    

    How is this market segmented and which is the largest segment?

    The market research report provides comprehensive data (region-wise segment analysis), with forecasts and estimates in 'USD billion' for the period 2024-2028, as well as historical data from 2018-2022 for the following segments.

    Application
    
      STaaS
      BaaS
      DRaaS
    
    
    Business Segment
    
      Large
      Small and medium
    
    
    Geography
    
      North America
    
        US
    
    
      Europe
    
        Germany
        UK
    
    
      APAC
    
        China
        Japan
    
    
      South America
    
    
    
      Middle East and Africa
    

    By Application Insights

    The STaaS segment is est
    
  15. UK largest fines issued for violations of GDPR 2025

    • statista.com
    • ai-chatbox.pro
    Updated Feb 19, 2025
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    Statista (2025). UK largest fines issued for violations of GDPR 2025 [Dataset]. https://www.statista.com/statistics/1385746/largest-fines-issued-gdpr-uk/
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    Dataset updated
    Feb 19, 2025
    Dataset authored and provided by
    Statistahttp://statista.com/
    Time period covered
    Feb 2025
    Area covered
    United Kingdom
    Description

    As of February 2025, the largest fine issued for violation of the General Data Protection Regulation (GDPR) in the United Kingdom (UK) was more than 22 million euros, received by British Airways in October 2020. Another fine received by Marriott International Inc. in the same month was the second-highest in the UK and amounted to over 20 million euros.

  16. T

    Edinburgh Council approach: Data Protection policy

    • find.data.gov.scot
    • dtechtive.com
    pdf
    Updated Jul 31, 2024
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    The City of Edinburgh Council (uSmart) (2024). Edinburgh Council approach: Data Protection policy [Dataset]. https://find.data.gov.scot/datasets/39209
    Explore at:
    pdf(0.4521 MB)Available download formats
    Dataset updated
    Jul 31, 2024
    Dataset provided by
    The City of Edinburgh Council (uSmart)
    Area covered
    Edinburgh
    Description
  17. h

    legislation-gov-uk_en-cy

    • huggingface.co
    Updated Mar 29, 2025
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    Language Technologies, Bangor University (2025). legislation-gov-uk_en-cy [Dataset]. https://huggingface.co/datasets/techiaith/legislation-gov-uk_en-cy
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    Dataset updated
    Mar 29, 2025
    Dataset authored and provided by
    Language Technologies, Bangor University
    License

    https://choosealicense.com/licenses/cc/https://choosealicense.com/licenses/cc/

    Description

    Dataset Card for legislation-gov-uk-en-cy

      Dataset Summary
    

    This dataset consists of English-Welsh sentence pairs obtained via scraping the www.legislation.gov.uk website. The total dataset is approximately 170 Mb in size.

      Supported Tasks and Leaderboards
    

    translation text-classification summarization sentence-similarity

      Languages
    

    English Welsh

      Dataset Structure
    
    
    
    
    
      Data Fields
    

    source target

      Data Splits
    

    train… See the full description on the dataset page: https://huggingface.co/datasets/techiaith/legislation-gov-uk_en-cy.

  18. FOI-01853 - Datasets - Open Data Portal

    • opendata.nhsbsa.net
    Updated May 3, 2024
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    nhsbsa.net (2024). FOI-01853 - Datasets - Open Data Portal [Dataset]. https://opendata.nhsbsa.net/dataset/foi-01853
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    Dataset updated
    May 3, 2024
    Dataset provided by
    NHS Business Services Authority
    Description

    Under the Freedom of Information Act 2000, I request the following information: The number of individuals of all ages who were prescribed contraceptives in the financial years 2019-2020, 2021-2020, 2020-2021, 2021-2022 and 2022-2023 in community settings (GP surgeries and pharmacies) broken down by contraceptive method. I would also like the proportion these represent of contraception users. For example, X proportion of those on contraception are using the Mirena coil. If possible, I would also appreciate if this were broken down by age of those prescriptions too. To clarify, I mean patients. I also mean both contraceptive drugs and appliances/devices Response A copy of the information is attached. Please read the following information to ensure correct understanding of the data. Fewer than five Please be aware that I have decided not to release the full details where the total number of individuals falls below five. This is because the individuals could be identified, when combined with other information that may be in the public domain or reasonably available. This information falls under the exemption in section 40 subsections 2 and 3 (a) of the Freedom of Information Act (FOIA). This is because it would breach the first data protection principle as: a - It is not fair to disclose individual’s personal details to the world and is likely to cause damage or distress. b - These details are not of sufficient interest to the public to warrant an intrusion into the privacy of the individual. Please click the weblink to see the exemption in full: www.legislation.gov.uk/ukpga/2000/36/section/40 NHS Business Services Authority (NHSBSA) - NHS Prescription Services process prescriptions for Pharmacy Contractors, Appliance Contractors, Dispensing Doctors, and Personal Administration with information then used to make payments to pharmacists and appliance contractors in England for prescriptions dispensed in primary care settings (other arrangements are in place for making payments to Dispensing Doctors and Personal Administration). This involves processing over one billion prescription items and payments totalling over £9 billion each year. The information gathered from this process is then used to provide information on costs and trends in prescribing in England and Wales to over 25,000 registered NHS and Department of Health and Social Care (DHSC) users. Data Source: ePACT2 - Data in ePACT2 is sourced from the NHSBSA Data Warehouse and is derived from products prescribed on prescriptions and dispensed in the Community. The data captured from prescription processing is used to calculate reimbursement and remuneration. It includes items prescribed in England, Wales, Scotland, Northern Ireland, Guernsey/Alderney, Jersey, and Isle of Man which have been dispensed in the community in England. English prescribing that has been dispensed in Wales, Scotland, Guernsey/Alderney, Jersey, and Isle of Man is also included. The data excludes: • Items not dispensed, disallowed and those returned to the contractor for further clarification. • Prescriptions prescribed and dispensed in prisons, hospitals, and private prescriptions. • Items prescribed but not presented for dispensing or not submitted to NHS Prescription Services by the dispenser. Dataset - The data is limited to presentations prescribed in BNF sections 0703 Contraceptives and BNF section 2104 Contraceptive Devices. Data is presented at BNF Sub Paragraph and BNF Presentation level. Time Period - Financial years 2019/20, 2020/21, 2021/22, 2022/23 and 2023/24 (April 2023 - January 2024). Data is currently available up to and including January 2024. Organisation Data - The data is for prescribing in England regardless of where dispensed in the community. British National Formulary (BNF) Sub Paragraph and Presentation Code – The BNF Code is a 15-digit code in which the first seven digits are allocated according to the categories in the BNF, and the last eight digits represent the medicinal product, form, strength and the link to the generic equivalent product. NHS Prescription Services has created pseudo BNF chapters, which are not published, for items not included in BNF chapters 1 to 15. Most of such items are dressings and appliances which NHS Prescription Services has classified into four pseudo BNF chapters (20 to 23). Patient Identification - Where patient identifiable figures have been reported they are based on the information captured during the prescription processing activities. Please note, patient details cannot be captured from every prescription form and based on the criteria used for this analysis, patient information (NHS number) was only available for 98.28% of prescription items. The unique patient count figures are based on a distinct count of NHS number as captured from the prescription image. Patient ages are based on the age as captured from the prescription image and relates to the patient's age at the time of prescribing/dispensing. Please note it is possible that a single patient may be included in the results for more than one age band where a patient has received prescribing at different ages during a financial year. The figures for the number of identifiable patients should not be combined and reported at any other level than provided as this may result in the double counting of patients. For example, a single patient could appear in the results for multiple presentations or both financial years. Patient Age - Shows the age of the patient, if recorded. Data Quality for patient age - NHSBSA stores information on the age of the recipient of each prescription as it was read by computer from images of paper prescriptions or as attached to messages sent through the electronic prescription system. The NHSBSA does not validate, verify or manually check the resulting information as part of the routine prescription processing. There are some data quality issues with the ages of patients prescribed the products. The NHSBSA holds prescription images for 18 months. A sample of the data was compared to the images of the paper prescription forms from which the data was generated where these images are still available. These checks revealed issues in the reliability of age data, in particular the quality of the stored age data was poor for patients recorded as aged two years and under. When considering the accuracy of age data, it is expected that a small number of prescriptions may be allocated against any given patient age incorrectly. Application of Disclosure Control to information services (prescriptions) products- ePACT 2 data is not published statistics - it is available to authorised NHS users who are subject to Caldicott Guardian approval. We have no plans to apply disclosure control to data released to ePACT 2 users. These users are under an obligation to protect the anonymity of any patients when reusing this data or releasing derived information publicly. All requests that fall under the FOI process are subject to the NHSBSA Anonymisation and Pseudonymisation Standard. The application of the techniques described in the standard is judged on a case-by-case basis (by NHSBSA Information Governance) in respect of what techniques should be applied. The ICO typically rules on a case-by-case basis too so each case or challenge or appeal is judged on its own merits. FOI rules apply to data that we hold as part of our normal course of business.

  19. UK consumer opinions on data protection responsibilities 2022

    • ai-chatbox.pro
    • statista.com
    Updated May 30, 2023
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    Statista (2023). UK consumer opinions on data protection responsibilities 2022 [Dataset]. https://www.ai-chatbox.pro/?_=%2Fstatistics%2F1387026%2Fuk-consumer-opinion-data-protection-responsible-parties%2F%23XgboD02vawLKoDs%2BT%2BQLIV8B6B4Q9itA
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    Dataset updated
    May 30, 2023
    Dataset authored and provided by
    Statistahttp://statista.com/
    Time period covered
    Jul 5, 2022 - Jul 15, 2022
    Area covered
    United Kingdom
    Description

    A 2022 survey of UK consumers found that 54 percent of the respondents were convinced that companies should be responsible for protecting consumers' data privacy. About two in 10 said the parliamentary system was supposed to assure their online data protection, while 14 percent said individuals should take care of it themselves.

  20. e

    Packaging Regulations - Approved Reprocessors and Exporters

    • data.europa.eu
    • environment.data.gov.uk
    unknown
    Updated Dec 14, 2014
    + more versions
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    Environment Agency (2014). Packaging Regulations - Approved Reprocessors and Exporters [Dataset]. https://data.europa.eu/data/datasets/packaging-regulations-approved-reprocessors-and-exporters1?locale=en
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    unknownAvailable download formats
    Dataset updated
    Dec 14, 2014
    Dataset authored and provided by
    Environment Agency
    Description

    Contact details of approximately 350 Packaging reprocessors and exporters who have registered with the Environment Agency under the Producer Responsibility Regulations for Packaging. Complete details are available for registered companies etc. Some data is omitted for other reprocessors and exporters for data protection reasons. Attribution statement: © Environment Agency copyright and/or database right 2019. All rights reserved.

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Statista (2025). Challenges to adapt privacy compliance changes for companies in the EU and UK 2023 [Dataset]. https://www.statista.com/statistics/1403394/eu-uk-firms-challenge-consumer-data-privacy-law/
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Challenges to adapt privacy compliance changes for companies in the EU and UK 2023

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Dataset updated
Jun 23, 2025
Dataset authored and provided by
Statistahttp://statista.com/
Time period covered
Apr 2023 - May 2023
Area covered
European Union, United Kingdom
Description

A survey conducted in April and May 2023 revealed that around ** percent of the companies that do business in the European Union (EU) and the United Kingdom (UK) found it challenging to adapt to new or changing requirements of the General Data Protection Regulation (GDPR) or Data Protection Act 2018 (DPA). A further ** percent of the survey respondents said it was challenging to increase the budget because of the changes in the data privacy laws.

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