Abstract In a vast interconnected world, the data protection which are especially personal data, has developed a foremost topic for individual persons, corporations, & the state. Rapid advancements in digital technologies have made robust legal frameworks essential for safeguarding privacy and regulating the handling of personal data. This study undertakes a detailed comparative analysis of India’s Digital Personal Data Protection Act, 2023 (DPDP Act), and the United Kingdom’s data protection regime, with particular emphasis on the UK General Data Protection Regulation (UK GDPR). Hence, this study compares India’s DPDP Act, 2023, with the UK GDPR to assess how both legal systems address privacy and personal data protection in the digital age. This research thus examines the core principles, reach, personal rights, responsibilities of data fiduciaries/controllers, enforcement strategies, and impacts on international data transfers, underscoring the shared goals and differing methods of these two important jurisdictions. Utilising a wide range of secondary sources such as legislative documents, academic papers, legal analyses, and regulatory standards, the paper seeks to offer a detailed insight into these frameworks, highlighted by pertinent case examples from India and the UK. The goal is not just to outline their similarities and differences but also to highlight the changing landscape of global data governance and the necessity for businesses to maintain compliance across various regulatory contexts.
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G Shiv Kumar Shriniwas Rao
Savitribai Phule Pune University
Savitribai Phule Pune University
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G Shiv Kumar Shriniwas Rao (Wed,) studied this question.
synapsesocial.com/papers/69bb9300496e729e62980c75 — DOI: https://doi.org/10.5281/zenodo.19061963
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