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Content type: Advocacy
In an increasingly digitised world, automation, artificial intelligence and sensitive data processing present new and rapidly shifting challenges which underscore the urgent need for states to ensure that the rights of persons with disabilities are explicitly addressed and centred when it comes to the use of data and technology. Digital technologies can offer important opportunities for accessibility and the realisation of human rights of persons with disabilities, but can also present…
Content type: Long Read
Table of contentsIntroductionWeighing the (potential) benefits with the risksPrivacy rights and the right to healthThe right to healthPrivacy, data-protection and health dataThe right to health in the digital contextWhy the drive for digitalImproved access to healthcarePatient empowerment and remote monitoringBut these same digital solutions carry magnified risks…More (and more connected) dataData leaks and breachesData sharing without informed consentProfiling and manipulationTools are not…
Content type: Advocacy
In PI’s view the Revised Draft is a significant step back to the already weakened previous draft. Among the many concerns that we highlight in this analysis, we are particularly dismayed by the deletion of a principle on privacy, data protection and confidentiality in Article 3. In all previous drafts, the inclusion of such provision reflected the importance that data protection and privacy plays in any effective, modern public health policies. Failing to keep a specific principle on privacy…