Uruguay
Coverage plannedAlso: Ley 18.331, URCDP
VERIFIED 2026-09-17 · REVIEW BY 2027-03-16
Holds an EU adequacy decision, which matters for transfers.
Instruments
No instrument recorded for Uruguay yet.
Regulator
Exercisable rights
Access, rectification and deletion, with habeas data available in court
Through each lens
End user / data subject
What can I actually do about this today, and what does it cost me.
No end user / data subject analysis for Uruguay yet.
Business
What does this obligate us to build, and by when.
No business analysis for Uruguay yet.
Government
Government is one lens carrying two sub-lenses, each with judicial reviewability analysis.
No government analysis for Uruguay yet.
Policymaker
What did the drafters intend, and what did the text achieve.
No policymaker analysis for Uruguay yet.
Regulator / enforcer
What can this authority make stick on appeal.
No regulator / enforcer analysis for Uruguay yet.
Certifying body
What is the scope of what we are attesting to.
No certifying body analysis for Uruguay yet.
Front-line staff
What do I do when this lands on my desk.
No front-line staff analysis for Uruguay yet.
Human rights / privacy advocate
Who does this regime fail, and can that be shown.
No human rights / privacy advocate analysis for Uruguay yet.
Legal effects
No legal effect of any certification is recorded for Uruguay yet.
Sources
- Ley Nº 18.331 de Protección de Datos Personales, arts. 14, 15 and 38 · retrieved 2026-09-17 · https://www.impo.com.uy/bases/leyes/18331-2008
- Commission Implementing Decision 2012/484/EU (adequacy of Uruguay), Art. 1; in force · retrieved 2026-09-17 · https://eur-lex.europa.eu/eli/dec_impl/2012/484/oj/eng