Mediartis

Voice data processing regulations and GDPR – who does it apply to in the voice production industry?

GDPR is based on accountability and imposes strict laws concerning the collection, storing and processing of European personal data for all organisations and professionals doing business in the European Union and/or working with companies situated in the EU.

GDPR has forced the audiovisual and entertainment industries to completely rethink and restructure traditional handling and processing of European personal data, including voice data (samples used in voice production).

Large production groups

Independent production companies and studios

 

GDPR vs Voice Casting Databases

Artistic Directors

Talent Agents

It’s not sufficient to have a voice production contract, or claim rights of use because samples were collected in a professional context, all voice samples used for castings must be GDPR compliant. Voice samples saved in casting databases and used for projects other than the specific one they were collected for, cannot be justified as professional data without explicit consent from the voice performer to be referenced in the casting database, used for other projects, and shared with third parties.

Contracts signed with voice actors allow for the use of audio recordings for specific durations and use. However, to use these voice samples, even partial excerpts, for other castings, companies and freelancers are obligated to obtain specific and explicit consent from the performer concerning where and how the clip will be used, how long it will be stored, etc., Consent must be granted every 2 years and performers have enforceable rights to access samples and all other personal data being stored and used by organisations and independent professionals.

Disclaimer: All data and information provided in this blog post are for informational purposes only. Mediartis makes no representation as to the accuracy, completeness, timeliness or validity of the information contained in this document. We recommend that you consult a lawyer for any legal advice regarding the respect of data protection.

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