Post-Deployment, Addressing Individuals' Requests About Personal Data
Is this legally binding?
Guidance. Voluntary guidance. Best practice, not obligation, until a contract or a regulator cites it.
GUIDANCE interpreting binding PDPA ss 21-22: Access and Correction Obligations continue to apply to personal data collected, used or disclosed for GenAI model/system development or deployment, with best practices for handling requests despite technical challenges.
What this connects to
2 relations. Official relations are the ones the source documents state; anything marked GAGE analysis is our reading, not an agency's.
Part of1
- SectionPart 5, Access to and Correction of Personal DataBinding
Guideline interprets binding PDPA provision; guideline itself is not legally binding
Cites1
- ObligationAccess and Correction Obligations Apply Despite GenAI Technical ChallengesConsultation
Structural decomposition of the source instrument
Verified against the official source on 2026-08-17. GAGE is not affiliated with or endorsed by any agency named here, and nothing on this page is legal advice. How this is built and checked.