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Personal Information Protection Law (PIPL) Reporting Requirements

Dacheng

China Introduces Filing Threshold for Minors’ Personal Information Protection Audit: Regulatory Interpretation and Practical...

Dacheng on

On December 29, 2025, the Cyberspace Administration of China ("CAC") officially released the Notice on the Filing of Compliance Audit Results for the Protection of Minors’ Personal Information ("Filing Notice")....more

Hogan Lovells

China announces audit reporting requirements for minors’ data

Hogan Lovells on

On December 29, 2025, the Cyberspace Administration of China (CAC) issued the Announcement on the Reporting of Minors' Personal Information Protection Compliance Audit Status, which requires personal information handlers to...more

DLA Piper

CHINA: new mandatory reports to regulator on children’s data , initial deadline 31 January 2026

DLA Piper on

All data controllers processing personal data under the age of 14 (“minors“) must now submit an annual report to Chinese data regulator, the Cyberspace Administration of China (“CAC“). For 2025, the report must be submitted...more

Hogan Lovells

China PIPO reporting obligation: Post-implementation practical guidelines & compliance checklist

Hogan Lovells on

On 18 July 2025, the Cyberspace Administration of China (“CAC”) issued the Announcement on the Reporting of Personal Information Protection Officer Information (“CAC PIPO Reporting Announcement”), which launched a centralized...more

Dacheng

China Monthly Data Protection Update: August 2025

Dacheng on

This monthly report outlines key developments in China’s data protection sector for August. The following events merit special attention: CAC Summons NVIDIA Over Cybersecurity Concerns Related to H20 Chip: On July 31, CAC...more

Sheppard Mullin Richter & Hampton LLP

China Initiates Mandatory Reporting Regime for Personal Information Protection Officers

On July 18, 2025, the Cyberspace Administration of China (the “CAC”) issued the Notice on Launching the Reporting Mechanism for Personal Information Protection Officers (the “Notice ”). This development marks a significant...more

Fisher Phillips

Transferring Employee or Customer Data Out of China Without Proper Reporting May Have Criminal Consequences: A 4-Step Compliance...

Fisher Phillips on

The compliance grace period for China’s cross-border data security assessment measures has expired — but many international companies with operations or employees in China are still not compliant. In light of the diminishing...more

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