Skip to Main Content
Our Commitment to Diversity

Cookies: New Awareness Campaign by the French Supervisory Authority

Date: 23 February 2021
French IP/IT Alert

The French Supervisory Authority has set 31 March 2021 as the end of the “reasonable period” to bring websites and mobile applications into compliance.

Following the adoption and publication of its updated guidelines along with practical recommendations on the use of cookies on 1 October 2020 (see our alert on the subject here), the French Supervisory Authority (CNIL) reaffirmed on 4 February 2021 the need for private and public players to comply with the new obligations regarding cookies and other tracers (together, Cookies).1

To make its action plan on online advertising effective and in view targeting of the deficiencies witnessed in both the public and private sectors, the CNIL set a specific deadline for the implementation of its recommendation: 31 March 2021.

The CNIL first addressed more than 200 public stakeholders through awareness-raising letters, notably by email, to remind them of the rules applicable regarding Cookies and to encourage them to comply with these rules prior to the start date.

This reminder to public bodies is also intended to guide all private companies, particularly on the mechanism implemented for collecting users’ information through placement of Cookies on their devices prior explicit consent. Whether it is a dedicated window or a banner, this mechanism must detail each distinct purpose for which these Cookies are expected to be used, and it cannot consist of mere general information on the existence of these Cookies. Furthermore, according to the CNIL, each user must be able to easily set his or her preferences in terms of Cookies, and the consent mechanism must not tend to favor the indiscriminate acceptance of all Cookies, in particular via systems offering users either to click on a “setting” tab or to accept all Cookies (see our previous alert on the rules applicable to Cookies).

In order to increase the effectiveness of this awareness campaign, the CNIL has set up an observatory to periodically analyze the Cookie-dropping practices of the top 1,000 websites in France. This analysis focuses more specially on the Cookies used on the users’ landing pages.

Based on the results of this analysis, the CNIL notified several French websites with large audiences that were using more than six third-party Cookies on their websites without prior consent.

The K&L Gates data protection team remains available to assist you during every step of the way in achieving compliance with the rules applicable to the use of Cookies prior to this 31 March 2021 deadline.

1 See the CNIL press release of 4 February 2021 (in French)

This publication/newsletter is for informational purposes and does not contain or convey legal advice. The information herein should not be used or relied upon in regard to any particular facts or circumstances without first consulting a lawyer. Any views expressed herein are those of the author(s) and not necessarily those of the law firm's clients.

Return to top of page

Email Disclaimer

We welcome your email, but please understand that if you are not already a client of K&L Gates LLP, we cannot represent you until we confirm that doing so would not create a conflict of interest and is otherwise consistent with the policies of our firm. Accordingly, please do not include any confidential information until we verify that the firm is in a position to represent you and our engagement is confirmed in a letter. Prior to that time, there is no assurance that information you send us will be maintained as confidential. Thank you for your consideration.

Accept Cancel