The proposals includes fines for non-compliance of up to the greater of £18 million or 10% of a provider’s annual global revenue.

By Gail Crawford, Rachael Astin, Alain Traill, Katie Henshall, and Amy Smyth

On 12 May 2021, the UK government published the Online Safety Bill (the Bill), which aims to establish a new regulatory regime to address illegal and harmful content online, including fines and other sanctions in the event of non-compliance. While further developments and guidance are expected, the proposed regime seemingly will have significant implications for in-scope user-to-user services and search engines.

The Bill follows the publication of the Online Harms White Paper by the Home Office and the Department for Digital, Culture, Media & Sport in April 2019. An initial government response to the consultation was published in February 2020, and a full government response in December 2020. (For more information, see Latham’s blog posts on the White Paper launch; government interim response; and government full response).

Organisations face fines of up to 10% of annual global turnover or £18 million (whichever the greater) for failure to comply.

By Gail Crawford, Rachael Astin, Alain Traill, and Katie Henshall

On 15 December 2020, the UK government published its full response to the Online Harms White Paper consultation, which sets out final proposals for the new regulatory regime. The response confirms that companies in scope will face a range of new obligations relating to both illegal and harmful content, in addition to the threat of significant fines and other sanctions in the event of non-compliance. The proposed regulatory framework will be introduced in 2021 in the form of the Online Safety Bill.

The response comes more than a year and a half after the Home Office and the Department for Digital, Culture, Media and Sport (DCMS) first published the Online Harms White Paper in April 2019, which proposed a new compliance and enforcement regime to tackle online harms. In February 2020, the government set out preliminary details of the proposed regulatory regime as an initial response to the white paper. For background to this consultation, see Latham’s previous blog posts (White Paper launch; government interim response).