Forget all the stuff out there that says the GDPR protects EU citizens. This is a question of jurisdiction and enforcement. Say I run a blog under a business registered in the US funded by advertisers in the US. A EU citizen that comments on posts issues a GDPR request that I ignore. Their government fines me. I tell them to get bent, I am out of their jurisdiction. What can they do at that point?

15 points
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0 points

Incorrect.

The current data agreement between the US and EU is neither a law nor a treaty. It is an executive order, which means it did not pass through Congress and simply reflects the policy of the current administration. Like any other executive order, it could be ignored or overturned by a subsequent administration.

Furthermore, it does not mean “GDPR is actually the law in the US”. It means that the current US administration will cooperate in enforcing certain privacy rights. It does not give EU citizens the same rights they have in the EU under the GDPR. For example, it does not allow private individuals to sue US companies for damages in US courts.

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-17 points

I am a US citizen, I know how our laws are made, and find the explanation a little condescending, but this is the best answer so far that there is a treaty about it. I couldn’t find that anywhere. Thanks.

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1 point

“You read that condescension into it by yourself. You are asking a question and that is the answer I have no idea about your context.” That is fair. I hadn’t had my coffee and have been dealing with an unusually high amount of unpleasant individuals lately, hence the short fuse.

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0 points

No he didn’t. The context was “as a US citizen” per the post. You gave him a 6th grade civics lesson about how bills turn into laws a-la school house rock before even sort of addressing the question. The next step would’ve been explaining what laws even are.

That’s a little condescending, assuming a citizen of a nation doesn’t know how their own laws are created. It isn’t a LOT condescending but it is a little.

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-1 points
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-1 points

There is no treaty. And the GDPR is not “law” in the US. You cannot sue a company for damages in the US like in the EU.

However, there is an executive order that allows you to file a complaint if you think your privacy rights have been violated.

You can find a good explainer here.

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-2 points
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3 points

Your advertisers who most likely sell stuff to EU people will become party to your noncompliance, and will be unable to use the data you sell them, and may cut ties for liability reasons.

Also some jurisdictions in the EU reserve the right to submit incassos directly to the SWIFT system, but that’s mostly used for eg. speeding tickets.

For example if you come here to my country from the US with your car and get a speeding ticket that you refuse to pay, my government will just take it out of your US bank account unilaterally. GDPR fines are criminal fines just as speeding tickets are.

Realistically though, if you don’t have massive wealth to bribe people in the US, the US authority will just enforce the fine on you.

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2 points

This is a good article on whether non-EU websites have to obey the GDPR. It boils down to two criteria:

If your business is offering goods or services, irrespective of whether a payment of the data subject is required, to such data subjects in the EU

or

If your business monitors the behavior of EU citizens and their behavior takes place within the union.

The latter includes use of advertising cookies, location tracking, etc.

If neither of those apply, you can probably ignore the GDPR.

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1 point

That is an interesting article, but it doesn’t answer the question of jurisdiction because it refers to the GDPR itself. I.e. it doesn’t answer whether an EU country itself actually has the authority to enforce it on a US citizen. The US could pass a law that says a website operator must eat a dog turd every time anyone, anywhere, a website runs an ad that a US person sees. Say someone in Romania runs a site with ads and the US government wants to enforce this. The law could even state that it applies anywhere in the world, but that doesn’t make it so because the US does not have jurisdiction everywhere in the world. The Romanian government will rightly refuse to make their citizen eat the dog turd.

So the spirit of my question is, where is the stick to actually enforce anything on a US entity operating in the US under the GDPR? There is an agreement via an EO. Is there anything else in US law that could be used to enforce this if a US citizen refused an EU country trying to enforce the GDPR in the US? Using the text of it is NA because the EU can only do things that apply to EU countries and their citizens.

For those that aren’t familiar with how the US gov functions, an EO is not even remotely close to a treaty, which has the same supremacy as our constitution. All an EO does is tell federal employees or federal executive agencies what to do. Our president could issue an EO telling everyone in the US to wear yellow hats when not in a building and for the FBI to arrest anybody with a yellow hat. Those arrested would have charges dropped the second it reaches the court because such a law does not exist and it is outside the scope of power of the president. EOs can only act within already existing laws.

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2 points

Probably nothing.

You would need an international law expert to be sure of the exact consequences, but if you have failed to pay a court ordered file then you would probably be unable to travel to an EU country or a country with an extradition treaty. You would certainly face issues if you ever wanted to expand your business overseas.

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2 points

Then they block your site and prevent you ever doing business in one of the world’s largest markets. I’m not sure how liability works but the CEO may also be unable to travel to the EU also

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