Skip to content

Menu

LexBlog, Inc. logo
NetworkSub-MenuBrowse by SubjectBrowse by PublisherJoin the NetworkGet StartedSubscribeSupportContact
Search
Close

California Attorney General: CCPA Enforcement on Schedule Despite COVID-19

By Anthony Q. Le on March 30, 2020
Email this postTweet this postLike this postShare this post on LinkedIn

COVID-19 is delaying just about everything these days—except the CCPA.

In letters submitted on March 17 and March 20, a coalition of nearly sixty business and organizations called on California Attorney General Xavier Becerra to temporarily defer CCPA enforcement by six months to January 2, 2021 due to COVID-19. The coalition, which spans a range of industries including tech, telecommunications, advertising, retail, insurance, transportation and real estate, argued that a deferral of enforcement would allow businesses to prioritize the needs of their workforce during the global pandemic. The coalition also pointed to the still-changing nature of the CCPA’s regulations as grounds for a temporary enforcement hiatus, contending that businesses need time to implement the final CCPA requirements.

Despite the growing list of disruptions caused by COVID-19 and the still-evolving nature of the CCPA, the AG stated that his office is committed to enforcing the CCPA “upon finalizing the rules or July 1, whichever comes first.” Indeed, the AG cited the heightened value of protecting consumer’s privacy during this time of crisis and urged business to be “particularly mindful of data security in this time of emergency.” Notably, the AG’s remarks regarding potential pre-July 1 enforcement appear to contradict the CCPA itself, which states that enforcement shall not begin until “six months after the publication of the final regulations…or July 1, 2020, whichever is sooner.” Civ. Code Section 1798.85(c). In any event, businesses should strive to make efforts to comply with the CCPA as they will be hard pressed to cite COVID-19 as a reason for noncompliance.

For more information on the CCPA, check out our ongoing coverage of this statute.

  • California Attorney General’s Second Set of Modified CCPA Regulations: Undoing, Redoing, Clarifying
  • Industry Insight: The CCPA’s Elusive “Reasonable Security” Safe Harbor
  • California Attorney General’s Modified CCPA Regulations: Top Ten Changes

Please contact the authors for additional guidance on how these issuances and other COVID-19 considerations will affect the delivery of patient care and the related rules. McGuireWoods has published additional thought leadership related to how companies across various industries can address crucial coronavirus-related business and legal issues.

Photo of Anthony Q. Le Anthony Q. Le

Anthony has a broad array of experiences assisting with compliance issues, regulatory and enforcement matters, internal investigations, and individual and class litigation. His diverse practice helps him achieve the most efficient and practical results for his clients spanning the financial services, technology, automobile…

Anthony has a broad array of experiences assisting with compliance issues, regulatory and enforcement matters, internal investigations, and individual and class litigation. His diverse practice helps him achieve the most efficient and practical results for his clients spanning the financial services, technology, automobile, and retail sectors.

Read more about Anthony Q. LeEmail
Show more Show less
  • Posted in:
    Privacy and Cybersecurity
  • Blog:
    Password Protected
  • Organization:
    McGuireWoods LLP
  • Article: View Original Source

Call us at 1-800-913-0988 or email sales@lexblog.com.

Facebook LinkedIn Twitter RSS
The Library at LexBlog
  • About LexBlog
  • The Field We Built
  • Library at LexBlog
  • Our Beliefs
  • Our Team
  • Contact LexBlog
  • Disclaimer
  • Editorial Policy
  • Terms of Service
  • Get Started
  • Publishing Solutions
  • Compass
  • Submit a Request
  • Support Center
  • System Status
Copyright © 2026, LexBlog, Inc. All Rights Reserved.
Law blog design & platform by LexBlog LexBlog Logo