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PRI-19.2: Automated Decision-Making Technology (ADMT) Opt-Out Consent

PRI 6 — Medium Protect

Mechanisms exist to provide concise, unambiguous and understandable instructions on how data subjects can opt-out of Automated Decision-Making Technology (ADMT).

Control Question: Does the organization provide concise, unambiguous and understandable instructions on how data subjects can opt-out of Automated Decision-Making Technology (ADMT)?

US (1)
Framework Mapping Values
US - CA CCPA 2025 7010(d) 7221(a) 7221(b) 7221(b)(1) 7221(b)(1)(A) 7221(b)(1)(B) 7221(b)(2) 7221(b)(2)(A) 7221(b)(2)(B) 7221(b)(3) 7221(b)(3)(A) 7221(b)(3)(B) 7221(c) 7221(d) 7221(e) 7221(f) 7221(g) 7221(h) 7221(m) 7221(n) 7221(n)(1) 7221(n)(2)

Capability Maturity Model

Level 0 — Not Performed

There is no evidence of a capability to provide concise, unambiguous and understandable instructions on how data subjects can opt-out of Automated Decision-Making Technology (ADMT).

Level 1 — Performed Informally

C|P-CMM1 is N/A, since a structured process is required to provide concise, unambiguous and understandable instructions on how data subjects can opt-out of Automated Decision-Making Technology (ADMT).

Level 2 — Planned & Tracked

C|P-CMM2 is N/A, since a well-defined process is required to provide concise, unambiguous and understandable instructions on how data subjects can opt-out of Automated Decision-Making Technology (ADMT).

Level 3 — Well Defined

Privacy (PRI) efforts are standardized across the organization and centrally managed, where technically feasible, to ensure consistency. CMM Level 3 control maturity would reasonably expect all, or at least most, the following criteria to exist:

  • A Chief Privacy Officer (CPO), or similar function with technical competence to address data privacy concerns, analyzes the organization's business strategy to develop and publish authoritative guidance on the organization's data privacy program.
  • A Privacy program, run by a CPO, or similar role, ensures that applicable statutory, regulatory and contractual data privacy obligations are properly identified and implemented to limit and secure Personal Data (PD) that the organization stores, transmits and processes.
  • As part of the organization's data privacy program, the CPO publishes a clear set of “data privacy principles”, based on leading data privacy practices, that systems, applications, services, processes and third-parties must adhere to.
  • A Project Management Office (PMO), or project management function, ensures both cybersecurity and data privacy principles are identified and implemented within ongoing or planned projects.
  • The Chief Information Security Officer (CISO), or similar function with technical competence to address cybersecurity concerns, analyzes the organization's business strategy to determine prioritized and authoritative guidance for cybersecurity-related data privacy practices.
  • The CISO, or similar function, develops a security-focused Concept of Operations (CONOPS) that documents management, operational and technical measures to apply defense-in-depth techniques across the enterprise for cybersecurity-related data privacy practices.
  • A Governance, Risk & Compliance (GRC) function, or similar function, provides governance oversight for the implementation of applicable statutory, regulatory and contractual cybersecurity and data protection controls to protect the confidentiality, integrity, availability and safety of the organization's applications, systems, services and data with regards to data privacy.
  • A steering committee is formally established to provide executive oversight of the cybersecurity and data privacy program.
  • Data/process owners operationalize data privacy controls into the processes they control.
  • Third-party contracts included data protection requirements, including flow-down requirements to subcontractors.
  • Data Protection Officers (DPOs) are assigned to work closely with business units and project teams to ensure data privacy principles are being implemented.
  • CPO and DPO determine and document the legal authority that permits the collection, use, maintenance and sharing of PD, either generally or in support of a specific program or system need.
Level 4 — Quantitatively Controlled

See C|P-CMM3. There are no defined C|P-CMM4 criteria, since it is reasonable to assume a quantitatively-controlled process is not necessary to provide concise, unambiguous and understandable instructions on how data subjects can opt-out of Automated Decision-Making Technology (ADMT).

Level 5 — Continuously Improving

See C|P-CMM4. There are no defined C|P-CMM5 criteria, since it is reasonable to assume a continuously-improving process is not necessary to provide concise, unambiguous and understandable instructions on how data subjects can opt-out of Automated Decision-Making Technology (ADMT).

Assessment Objectives

  1. PRI-19.2_A01 data subject-focused instructions pertaining to Automated Decision-Making Technology (ADMT) are documented.
  2. PRI-19.2_A02 data subjects are provided concise, unambiguous and understandable instructions on how a data subjects can opt-out of Automated Decision-Making Technology (ADMT).

Technology Recommendations

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