GDPR and Mailchimp: In March 2021 the Bavarian supervisory authority declared that transferring personal data to the US with Mailchimp is unlawful. In particular, the DPA held Mailchimp not compliant with the outcome of the Schrems II ruling, which deemed the PrivacyShield invalid.
What should a company using Mailchimp do now? How much this decision may influence other DPAs (In Germany and in the EU)? Learn this and more by listening this privacyespresso