DSPANZ provided a submission to the Statutory Review of the Consumer Data Right (CDR) on 23 May 2022.
In this submission, we raised the following issues:
Revising the definition of CDR derived data to create a clear boundary between when data is or is not acting as CDR-related data;
Reasonably participating in the CDR continues to be a complex and costly process which may make it inaccessible to smaller players
interested in accreditation;
Moving forward, the ACCC and Treasury should proactively consult with payroll, accounting and superannuation software providers to limit the
unintended consequences and ensure that the outcomes are workable for the different parties in the CDR ecosystem; and
- The Treasury and ACCC should be more transparent about what is and what is not working in the rollout of the CDR.
Access a full copy of this submission here.