Hi all,
I don't know if this helps....
I am a Project Manager working at an agency who have actually been working with the ICO to apply their own guidance to their own website :-)
Its been an interesting project and with full analytics in place there have been some very interesting findings - the drop out of people on the homepage was higher than anticipated. As such we are currently working on some solutions which alert people 'nicely' to the use of cookies.
We're actually doing a lunchtime seminar with the ICO speaking and with our findings and recommendations on the 24th February in Manchester. If anyone is interested email me on [log in to unmask] and I'll get you a place :-)
Kindest regards,
Diana
-----Original Message-----
From: Museums Computer Group [mailto:[log in to unmask]] On Behalf Of Matthew Cock
Sent: Wednesday, January 25, 2012 8:52 AM
To: [log in to unmask]
Subject: Re: Cookies legislation: what are you doing?
Thanks John. Precisely.And I assume that you are waiting until May 25 until you decide exactly what Tate's appetite for risk is?
Matthew
Head of Web | Department of Learning and Audiences | The British Museum | www.britishmuseum.org
Sent from Blackberry: 07971433841
----- Original Message -----
From: Museums Computer Group <[log in to unmask]>
To: [log in to unmask] <[log in to unmask]>
Sent: Tue Jan 24 20:25:48 2012
Subject: Re: Cookies legislation: what are you doing?
Hello
It's really about individual organisation's appetite for risk. The latest guidance from the ICO (pdf at http://bit.ly/sMSUvk ) specifically covers analytics cookies in the very last section. See below with my emphasis using *'s.
John
We only use analytical cookies - if nobody consents that will seriously restrict the amount of information we can get to improve and develop our website
The Regulations do not distinguish between cookies used for analytical activities and those used for other purposes. We do not consider analytical cookies fall within the 'strictly necessary' exception criteria. This means *in theory* websites need to tell people about analytical cookies and gain their consent.
*In practice* we would expect you to provide clear information to users about analytical cookies and take what steps you can to seek their agreement. This is likely to involve making the argument to show users why these cookies are useful. Although the Information Commissioner cannot *completely* exclude the possibility of formal action in any area, it is *highly unlikely* that priority for any formal action would be given to focusing on uses of cookies where there is a low level of intrusiveness and risk of harm to individuals. *Provided clear information* is given about their activities we are *highly unlikely* to prioritise first party cookies used only for analytical purposes in any consideration of regulatory action.
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