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Reference

Privacy & analytics compliance — by jurisdiction

An editorial atlas of cookie-consent rules, GA4 status, applicable laws, vendor restrictions, and recent enforcement — sourced from regulator decisions, court rulings, and statutory text. Browse the matrix or filter the corpus from above.

Editorial research — not legal advice
Region
Framework
GA4
Posture
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Consent model

Vendor restrictions

Atlas index

Sortable · select any two for side-by-side comparison · click row to open

Select Frameworks Vendor risk
Japan JP 1mo ago APPI Lawful w/ consent Moderate M T F C
South Korea KR 1mo ago PIPA Lawful w/ consent Moderate M T F C
Czech Republic CZ 1mo ago GDPRePrivacy Lawful w/ consent No public record M T F C
Hungary HU 1mo ago GDPRePrivacy Lawful w/ consent Moderate M T F C
Poland PL 1mo ago GDPRePrivacy Lawful w/ consent Moderate M T F C
Romania RO 1mo ago GDPRePrivacy Lawful w/ consent Moderate M T F C
Mexico MX 1mo ago Lawful w/ consent Moderate M T F C
California US-CA 1mo ago CCPA/CPRA Lawful w/ consent Moderate M T F C
Canada CA 1mo ago PIPEDA Lawful w/ consent Moderate M T F C
Quebec CA-QC 1mo ago Quebec Law 25PIPEDA Lawful w/ consent Moderate M T F C
Texas US-TX 1mo ago TDPSA Lawful w/ consent Moderate M T F C
Virginia US-VA 1mo ago VCDPA Lawful Moderate M T F C
Denmark DK 1mo ago GDPRePrivacy Lawful w/ consent Moderate M T F C
Estonia EE 1mo ago GDPRePrivacy Lawful w/ consent No public record M T F C
Finland FI 1mo ago GDPRePrivacy Lawful w/ consent No public record M T F C
Norway NO 1mo ago GDPRePrivacy Lawful w/ consent Moderate M T F C
Sweden SE 1mo ago GDPRePrivacy Lawful w/ consent Moderate M T F C
Australia AU 1mo ago AU Privacy Act Lawful w/ consent Moderate M T F C
Argentina AR 1mo ago Lawful w/ consent Moderate M T F C
Brazil BR 1mo ago LGPD Lawful w/ consent Moderate M T F C
Colombia CO 1mo ago Lawful w/ consent Moderate M T F C
Singapore SG 1mo ago PDPA (SG) Lawful w/ consent Moderate M T F C
India IN 1mo ago DPDPA Lawful w/ consent Moderate M T F C
Greece GR 1mo ago GDPRePrivacy Lawful w/ consent Moderate M T F C
Italy IT 1mo ago GDPRePrivacy Lawful w/ consent Active M T F C
Portugal PT 1mo ago GDPRePrivacy Lawful w/ consent Moderate M T F C
Slovenia SI 1mo ago GDPRePrivacy Lawful w/ consent No public record M T F C
Spain ES 1mo ago GDPRePrivacy Lawful w/ consent Moderate M T F C
Austria AT 1mo ago GDPRePrivacy Lawful w/ consent Active M T F C
Belgium BE 1mo ago GDPRePrivacy Lawful w/ consent Moderate M T F C
France FR 1mo ago GDPRePrivacy Lawful w/ consent Active M T F C
Germany DE 1mo ago GDPRePrivacy Lawful w/ consent Active M T F C
Ireland IE 1mo ago GDPRePrivacy Lawful w/ consent Active M T F C
Netherlands NL 1mo ago GDPRePrivacy Lawful w/ consent Moderate M T F C
Switzerland CH 1mo ago Swiss FADP Lawful Moderate M T F C
United Kingdom UK 1mo ago UK GDPRPECR Lawful w/ consent Moderate M T F C
Open geographic atlas SSR choropleth · Natural Earth 110m
Posture Active Moderate No public record Not classified
Week of Jun 19, 2026

Notes from the desk

Korea's PIPC closed out the SK Telecom USIM-breach file in late August with a ₩134.5B penalty — the largest single PIPA fine against a domestic operator on record. The April 2025 disclosure had hit roughly 27 million subscriber-authentication records; the final order cites inadequate access controls, weak key encryption, and slow breach notification. We've moved South Korea from "investigation pending" to a closed entry and re-tagged the enforcement bucket. Posture remains moderate-trending-active; expect a closer look at session-replay vendors through 2026.

Two adjacent files refreshed this week. France: CNIL's €150M SHEIN decision (1 Sept 2025) is now the largest cookie-consent fine on record, tied with Google 2021 — banner-level reject button missing on first layer, cookies persisting after refusal. Ireland: DPC × TikTok €530M (May 2025) for EEA→China transfers under SCCs without adequate supplementary measures, plus DPC × Meta €251M (Dec 2024) on the 2018 "View As" breach. Both files now carry the 2025 cycle in full. No new countries this pass — corpus stays at 36.

Two US-side updates worth pinning. California: the CPPA's ADMT, risk-assessment, and cybersecurity-audit regulations cleared the board in late September — phased compliance dates run through 2027-28. Texas: the Google CUBI matter ($1.375B) settled in May and finalized 31 October — three claims (face-grouping in Photos, Incognito tracking, geolocation-after-disable), all under pre-TDPSA CUBI + UDAP theories. The takeaway for analytics teams: state AGs are now matching EU-scale numbers without needing the privacy statute itself to do the work.

How we classify · Methodology

Active — at least one regulator decision or court ruling against analytics or cookie practices in the last 24 months, with sectoral sweeps or six-figure fines.

Moderate — clear guidance and warning letters but no recent decisions of public note.

No public record — DPA active and funded; no enforcement publicly tied to analytics, cookies, or CMP issues in the last 24 months.

Not classified — insufficient primary-source evidence.

Verdicts come from primary regulator decisions, court judgments, and statutory text — not vendor blogs. If a country's last review is older than 180 days, it carries an amber freshness pill in the matrix.

Editorial research, not legal advice. SetupAnalytics is a free, ad-free public utility maintained by independent editors. Country-level conclusions are general orientation; consult qualified counsel for any specific deployment, transfer, or contract. Report an inaccuracy →