Policy proposal

Draft foreseeable, combined and non-user risks

Sections25E/26A extend assessment beyond named labels to reasonably foreseeable risks and combined/non-user harms. Absence of a general misinformation label does not settle all future scope.

What the records show

Australia digital duty of care — exposure draftDraft foreseeable, combined and non-user risks

would assess foreseeable risks including combined and non-user harms

25E/26A: named-category absence is insufficient to exhaust assessment scope. Context with existing25Hprivacy/practicability and26(7)private-consenting-adult duty exception; no blanket exclusion of lawful adult speech or all other powers.

Further reading

Australia Digital Duty of Care: operative authority and adult choice

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What the connections say

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Australia digital duty of care — exposure draftwould assess foreseeable risks including combined and non-user harmsDraft foreseeable, combined and non-user risks

25E/26A: named-category absence is insufficient to exhaust assessment scope. Context with existing25Hprivacy/practicability and26(7)private-consenting-adult duty exception; no blanket exclusion of lawful adult speech or all other powers.

Read the original source 1