Thailand to Postpone Data Privacy Law
Thailand Postpones
Effective Date of Data Privacy Law
By
Attorneys Naytiwut
Jamallsawat & John Formichella
Background
The Thai Cabinet, on May 19, 2020, approved a Royal Decree on
Organizations and Businesses which shall be exempted from compliance with the
Personal Data Protection Act B.E. 2562 (2019) ("Royal Decree")
to delay the enforcement date of the Personal Data Protection Act B.E. 2562
(2019) ("PDPA"). The Royal Decree has been published in the
Royal Gazette on May 21, 2020, and will be effective from May
27,2020 to May 31, 2021. It provides exemptions to data controllers listed
under the Royal Decree to certain chapters and section under the PDPA which include:
- Chapter 2 (data
controllers' obligations relating to the use, collection, and disclosure of
personal data, privacy notices, consent requirements, exemptions and
cross-border of data privacy);
- Chapter 3 (data subject
rights, data protection officer and record of processing);
- Chapter 5 (complaints
and administrative punishments);
- Chapter 6 (civil
penalties and punitive damages);
- Chapter 7 (criminal
liabilities and administrative punishments); and
- Section 95 (transitional
matter).
Data controllers who shall obtain the exemptions under the Royal
Decree are as follows:
1) Government authorities;
2) Foreign public
authorities and international organizations;
3) Foundations,
associations, religious organizations, and non-profit organizations;
4) Agricultural businesses;
5) Industrial businesses;
6) Commercial businesses;
7) Medical and public
health businesses;
8) Energy, steam, water and
waste disposal businesses, including their related business;
9) Construction businesses;
10) Repair and maintenance
businesses;
11) Transportation,
logistic, and warehouse business;
12) Tourist businesses;
13) Communication,
telecommunication, computer, and digital businesses;
14) Financial, banking and
insurance business;
15) Real estate businesses;
16) Professional businesses;
17) Management and support
services business;
18) Scientific and
technological, academic social welfare and artistic businesses;
19) Educational businesses;
20) Entertainment and
recreational businesses;
21) Security business; and
22) Household and community
enterprise businesses whose activities cannot be clearly classified.
If there is any question as to whether particular organizations
or businesses are fallen under the above list, the Personal Data Protection
Committee (PDPC) shall consider and render its final decision at its
sole discretion.
The main reason as specified in the Royal Decree is to provide
more time for the business operators, which shall be regarded as data
controllers by the PDPA, to prepare themselves to be fully compliant with the
PDPA. The Royal Decree further specifies that business operators, including
private and government sectors, are not ready to be in compliance with the
PDPA. This was mainly due to requests from the private sector filed with the
government indicating problems with the economy and within their organizations,
such as the economic impact and other restrictions due to the Covid-19 situation.
The extension is not to be interpreted that the Government of
Thailand is relaxing its readiness to implement the PDPA. An essential action
by the Thai government is that the PDPC committee has been appointed and will
start the process of formulating regulations and an enforcement culture
surrounding the PDPA. The list of the PDPC members approved by the
Cabinet, as announced on 19 May 2020, are as
follows (note that this list is not official until published in The Government
Gazette):
1) The Chairman: Mr.
Thienchai Na Nakorn
Professor of faculty of law, Sukhothai Thammatirat Open
University
Former Constitution Drafting Committee (CDC)
The former senior member of various committees (e.g. Committee of
Official Information Commission, Committee of National Institute of Educational
Testing Service (NIETS) and secretary-general of Political Development
Council).
2) Senior committee (personal
data protection): Mr. Nawanan Theera-Ampornpunt
Technocrat on health informatics;
Deputy dean on practitioner level of faculty of medicine,
Ramathibodi Hospital.
3) Senior committee
(consumer protection): Pol.Lt.Col Thienrath Vichiensan
Senior committee of Official Information Commission;
Former chief of inspector of Prime Minister Office;
Director of the Official Information Commission.
4) Senior Committee
(Information and communication technology): Mr. Pansak Siriruchatapong
Former Vice Minister of Ministry of Digital Economy and Society;
Former director of National Electronics and Computer Technology
Center (NECTEC)
5) Senior committee (social
science): Asst. Prof. Tossapon Tassanakunlapan
Professor and researcher of faculty of law, Chiang Mai
University
6) Senior committee
(legal): Ms. Thitirat Thipsamritkul
Teacher of faculty of law, Thammasat University
7) Senior committee
(legal): Prof. Supalak Pinitpuvadol
Professor of faculty of law, Chulalongkorn University
8) Senior committee
(health): Prof. Prasit Watanapa
Dean of faculty of medicine, Siriraj Hospital
9) Senior Committee
(finance): Ms. Ruenvadee Suwanmongkol
Secretary-general of the Securities and Exchange Commission
10) Senior Committee
(Government Information Management): Mrs. Methinee Thepmanee
Former secretary-general, Office of the Civil Service Commission
(OCSC);
Former permanent secretary, Ministry of Information and
Communication Technology (ICT).
In addition to the abovementioned members, please note that the
PDPA requires that the PDPC must appoint the permanent secretary of the MDES as the
vice-president of the PDPC, together with 5 additional board members which
include (i) the permanent secretary of the Prime Minister Office, (ii) the
secretary-general of the juridical council, (iii) the secretary-general of the
office of consumer protection board, (iv) the director-general of the Rights
and Liberties Protection Department, and (v) the attorney-general. Please note
that as of the writing of this article 27 May 2020, the official list of the
PDPC members are not yet published in The Government Gazette.
The above is for general information purposes only and should
not be relied upon as legal advice.
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