Section 7 requires Data Fiduciaries to provide Data Principals with the business contact information of a designated representative. But what specific details must be shared, and how should they be communicated? Does this requirement apply only to larger organizations, or must all Data Fiduciaries designate a representative?
For instance, if a company operates globally, should they provide a local representative’s contact details for each jurisdiction, or is a centralized contact point sufficient? Are there best practices for making this information accessible, such as privacy policies, customer support channels, or automated systems. What to do?