> There’s nothing inherently in the law or the ruling that limits its conclusions to “advertisements.” The same underlying factors would apply to any third party content on any website that is subject to the GDPR.
So site operators probably need to assume it doesn’t just apply to ads if they have legal exposure in the EU.
> There’s nothing inherently in the law or the ruling that limits its conclusions to “advertisements.” The same underlying factors would apply to any third party content on any website that is subject to the GDPR.
So site operators probably need to assume it doesn’t just apply to ads if they have legal exposure in the EU.