Cookie Consent + Consent Management Platform → UAE (Federal PDPL 2021) 🇦🇪
Federal Decree-Law No. 45 of 2021 · UAE Data Office
- 35,000-145,000 บาท
- Starting Fee
- Transparent pricing
- 7-21 working days
- Turnaround
- Typical delivery
- 168
- Destinations
- Apostille + embassy chain
- 12+
- Years Experience
- Since 2013
- 4.9
- Client Rating
- From verified cases
- 6
- Steps
- Documented workflow
ที่มา / Source: NYC Online Translation — Verified by MFA Thailand, Lawyers Council of Thailand & embassy registrations.
UAE (Federal PDPL 2021) is regulated by UAE Data Office under Federal Decree-Law No. 45 of 2021 — breach notification within 72 hours.
Partner network — Bird & Bird, OneTrust, BSI, DNV — for ISO certification, cross-border SCC, EU representative service.
UAE (Federal PDPL 2021) legal regime: Federal Decree-Law No. 45 of 2021 — enforced by UAE Data Office with max fines of AED 5M. DIFC + ADGM have separate free-zone privacy laws + EU adequacy pending.
Breach notification: 72 hours — 24/7 incident hotline available.
End-to-end: Cookie Consent + Consent Management Platform → mapping → control implementation → UAE Data Office registration (where applicable) → ongoing audit.
GDPR fine avoidance — 0 enforcement actions in 4 years (n=42 EU-facing clients) via proactive DPIA + SCC + Art. 27 representative.
Coverage
How it works — Cookie Consent + Consent Management Platform → UAE (Federal PDPL 2021) 🇦🇪
- Map Federal Decree-Law No. 45 of 2021
Compliance plan aligned with UAE Data Office.
- Prepare Cookie Consent + Consent Management Platform
7-21 working days at 35,000-145,000 บาท.
- Transfer mechanism
SCC + BCR + TIA + adequacy assessment as required.
- Local representative
Local DPO or representative per destination law.
- DPA registration
Notification/filing with UAE Data Office where required.
- Ongoing monitoring
Quarterly review + annual audit + breach drill + DSAR queue monitoring.
Frequently asked questions
Which law applies in UAE (Federal PDPL 2021)?
Federal Decree-Law No. 45 of 2021
Supervisory authority?
UAE Data Office
Maximum fine?
AED 5M
Breach window?
Within 72 hours.
Market-specific caution?
DIFC + ADGM have separate free-zone privacy laws + EU adequacy pending.
Local representative required?
Depends on scope of processing.
Cross-border transfer requirements?
SCC + TIA + (for CN/RU) data localisation + government security assessment.