On April 17, 2024, the European Data Protection Board (EDPB), during its latest plenary session, issued an Opinion following a request under Article 64(2) of the GDPR, by data protection authorities from the Netherlands, Norway, and Hamburg, on how l online platforms make use of the "consent or pay" models, pressing for enhanced transparency and fairness, n how personal data is handled, particularly in the realm of behavioral advertising.
"Consent or pay" models are increasingly common nowadays, presenting users with a choice: allow the platform to use their personal data for targeted advertising, or pay a fee to use the service without such advertisements. This model has raised significant concerns about the validity of user consent under GDPR. In the official news report on the EDPB’s official website, Anu Talus, EDPB Chair, highlighted the issues with current practices saying that Online platforms should give users a real choice. The models we have today usually require individuals to either give away all their data or to pay. As a result, most users consent to the processing in order to use a service, and they do not understand the full implications of their choices.
In its current form, the EDPB asserts that these models often do not meet the strict requirements set forth by GDPR for valid consent, as they do not offer a genuinely free choice. Consent obtained under the pressure of either paying a fee or forfeiting personal data does not constitute the freely given consent outlined in GDPR.
As a recommendation, the EDPB has suggested that rather than sticking to a binary model, online platforms should strive to offer a third option—an "equivalent alternative" that involves neither fees nor extensive data processing. This could involve less invasive forms of advertising that do not depend on the extensive collection and processing of personal data.
In addition to this, the EDPB also reminded controllers that obtaining consent does not exempt them from complying with other GDPR principles, such as data minimization, purpose limitation, and fairness. Additionally, the board outlined several criterias to assess whether consent is genuinely free, including evaluating any imbalance of power between the user and the controller, and the potential detriment to users who opt not to consent.
Looking forward, the EDPB plans to develop comprehensive guidelines on "consent or pay" models. The board will engage with stakeholders to ensure these guidelines robustly protect user privacy without encumbering access to services. Chair Anu Talus emphasized the critical nature of these guidelines saying that
Controllers should take care at all times to avoid transforming the fundamental right to data protection into a feature that individuals have to pay to enjoy. Individuals should be made fully aware of the value and the consequences of their choices.
As the EDPB moves forward with these initiatives, the message is clear: the right to data protection should never be a premium feature but a fundamental right accessible to all, regardless of financial capability.
Here is a short summary of the Opinion of the EDPB: