“ROT - Pa” doesn’t exactly roll off the tongue. And starting the acronym with “ROT” doesn’t present positive connotations.

Grammatically, it’s also is backward and therefore unintuitive — like a “privacy impact assessment” is backward. The title actually means that it’s an assessment of the impact that privacy has, which is the exact opposite of what it is and ought to be — an assessment of the impact upon privacy that something might have. 

How about Processing Activity Record of Transparency — PART— or Privacy Processing Activity Record of Transparency — PPART.

my 2c


On Nov 5, 2023, at 5:27 AM, Mark Lizar <mark@transparencylab.ca> wrote:

.  Perhaps we should refer to this as a Digital Privacy  Record of Transparent Processing Activity (RoTPA)   ?

On 3 Nov 2023, at 18:30, Salvatore D'Agostino <sal@idmachines.com> wrote:

Yes RoPA!

From: Mark Lizar <mark@transparencylab.ca>
Sent: Friday, November 3, 2023 5:34:55 PM
To: Salvatore D'Agostino <sal@idmachines.com>
Cc: wg-ancr@kantarainitiative.org <wg-ancr@kantarainitiative.org>
Subject: Re: [WG-ANCR] csf comments
 
Nice Job Sal,

I noticed that there is little to no awareness of notice standards, that we can move beyond clear and simple language, addressing the dark patterns.  Perhaps we can work on this?  Refer to 29184 and 27560 and the DPV, which can be used on or for records of processing,  And  that the digital transparency indicators assess these elements privacy elements in security.

What do you think?
-
> On 3 Nov 2023, at 15:16, Salvatore D'Agostino <sal@idmachines.com> wrote:
>
> Of course this is last minute but I think this is enough to put us on their
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>
> Will send off if no objections comments close today.
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