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ACCC & DSB | CDR Implementation Call Agenda & Meeting Notes | 19th of January 2023
When: Weekly every Thursday at 3pm-4:30pm AEDT
Location: Microsoft Teams
Meeting Details: Join on your computer, mobile app or room device Click here to join the meeting
Meeting ID: 446 019 435 001
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Video Conference ID: 133 133 341 4
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Learn More | Meeting options
- Introductions
- Actions
- CDR Stream updates
- Presentation
- Q&A
- Any other business
- 5 min will be allowed for participants to join the call.
We acknowledge the Traditional Custodians of the various lands on which we work today and the Aboriginal and Torres Strait Islander people participating in this call.
We pay our respects to Elders past, present and emerging, and recognise and celebrate the diversity of Aboriginal peoples and their ongoing cultures and connections to the lands and waters of Australia.
The Consumer Data Right Implementation Calls are recorded for note taking purposes. All recordings are kept securely, as are the transcripts which may be made from them. No identifying material shall be provided without the participant's consent. Participants may [email protected] should they have any further questions or wish to have any material redacted from the record.
By participating in the Consumer Data Right Implementation Call you agree to the Community Guidelines. These guidelines intend to provide a safe and constructive space for members to discuss implementation topics with other participants and members of the ACCC and Data Standards Body.
Type | Topic | Update |
---|---|---|
2023 | We're back! Welcome to another year of the Consumer Data Right Implementation Call | |
Public Holiday | Next week 26th of January 2023 is cancelled as there is a National Public Holiday | The Outlook invitations should already have been cancelled and sent |
Standards | Version 1.21.0 published 16th of December 2022 |
Version 1.21.0 Change Log Release video 1.21.0 |
Standards | Version 1.22.0 published 23rd of December 2022 |
Version 1.22.0 Change Log Release video 1.22.0 |
Maintenance | Iteration 14 to commence on 8th of February 2022 | Invitations sent out Please get in contact if you are missing or would like an invitation |
Tooling | Java Artefacts 1.20.0 Release | 1.20.0 Release notes |
TSY Newsletter | To subscribe to TSY Newsletter | Link here |
DSB Newsletter | To subscribe to DSB Newsletter | Link here |
TSY Newsletter | 5th of December 2022 | View in browser here |
DSB Newsletter | 13th of January 2023 | View in browser here |
Consultation | Decision Proposal 229 - CDR Participant Representation | Placeholder: no close date Link to consultation |
Consultation | Decision Proposal 267- CX Standards Telco Data Language |
Feedback extended with an end date to be determined pending the making of the telco rules. Link to consultation |
Consultation | Decision Proposal 275 - Holistic Feedback on Telco Standards | No Close Date Link to consultation |
Consultation | Noting Paper 276 - Proposed v5 Rules & Standards Impacts | No Close Date Link to consultation |
Design Paper | Design Paper: Consumer Data Right Rules and Standards for the Non-Bank Lending Sector |
Feedback closes: 31st of January 2023 Link to consultation |
Consultation | Noting Paper 279 - Accessibility Improvement Plan | No Close Date Link to consultation |
Consultation | Noting Paper 280 - The CX of Authentication Uplift |
Feedback closes: 10th of February 2023 (extended) Link to consultation |
Consultation | Decision Proposal 287 - Energy C&I Consumers |
Feedback closes: 17th of February 2023 Link to consultation |
Consultation | Noting Paper 290 - Binding Statement |
Feedback closes: 3rd of February 2023 Link to consultation |
Guidance | ACCC has published guidance on: Consent continuity and transfer of ADR Software Products | CDR Support Portal |
Provides a weekly update on the activities of each of the CDR streams and their stream of work
Organisation | Stream | Member |
---|---|---|
ACCC | CDR Register | Christian Cispressi |
ACCC | CTS | Andrea Gibney |
DSB | CX Standards | Michael Palmyre |
DSB | Technical Standards - Energy | Hemang Rathod |
DSB | Technical Standards - Telecommunications | Brian Kirkpatrick |
DSB | Technical Standards - Register | James Bligh |
No presentation planned this week.
Questions will be received by the community via Microsoft Teams chat before the questions are opened to the floor. Participants can submit questions outside of the CDR Implementation Call to the CDR Support Portal.
In regards to topics for questions, we ask the participants on the call to consider the Community Guidelines when posing questions to the subject matter experts.
Ticket # | Question | Answer |
---|---|---|
1818 | Where a data holder identifies a customer seeking to share data, it is a likely indicator that the customer is at risk of leaving. Can this data be used to trigger a sales/retention call? | The CDR Rules neither prevent nor facilitate a data holder from contacting its customers in circumstances where the data holder suspects the customer is looking to switch providers. However, where a data holder has received a consumer data request from a customer (via an ADR) to share CDR data, the data holder is required to comply with rules relating to consumer data sharing – that is, the data holder must disclose the required consumer data that the data holder is authorised to disclose in response to a valid request (refer CDR Rule(s) 1.4 and 4.6). In addition, the CDR rules prohibit a data holder from doing certain things so during the authorisation process. That is, when a data holder is asking a CDR consumer to authorise the disclosure of CDR data or to amend a current authorisation, the data holder must not: provide or request additional information during the authorisation process beyond that specified in the data standards and the CDR rules, or offer additional or alternative services as part of the authorisation process (see CDR rule 4.24). For completeness, note that an accredited data recipient (ADR) can use consumer’s CDR data pursuant to a valid direct marketing consent in accordance with CDR sub-rule 7.5(3). That is, a data holder that is also an ADR may (in its capacity as an ADR) be able to use CDR data for direct marketing activities which includes offering upgraded, alternative, and new products or services, or providing information about the benefits of existing goods or services, where a valid a direct marketing consent has been provided. Chapter 7 of the OAIC Privacy Safeguard Guidelines has recently been revised and provides more information about direct marketing consents. |
View a number of informative and useful links in the Consumer Data Standards Guide on Information Links.