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Borderlines in Private Law

Edited by: William Day, Julius Grower
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The Right to Privacy in Employment: A Comparative Analysis


ISBN13: 9781509927906
Published: April 2019
Publisher: Hart Publishing
Country of Publication: UK
Format: Paperback (Hardback in 2016)
Price: £37.99
Hardback edition , ISBN13 9781509906116



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At the beginning of the twenty­first century the term ‘privacy’ gained new prominence around the world, but in the legal arena it is still a concept in ‘disarray’. 

Enclosing it within legal frameworks seems to be a particularly difficult task in employment context, where encroachments upon privacy are not only potentially more frequent, but also, and most importantly, qualitatively different than those taking place in other areas of modern society.

This book suggests that these problems can only be addressed by development of a holistic approach to its protection i.e. an approach that addresses the issue of not only contemporary regulation but also the conceptualization, adjudication, and common (public) perception of employees’ privacy.

The book draws on a comprehensive analysis of the conceptual as well as regulatory convergences and divergences between European, American and Canadian models of privacy protection, to reconsider the conceptual and normative foundations of the contemporary paradigm of employees’ privacy and to elucidate the pillars of a holistic approach to the protection of right to privacy in employment.

Subjects:
Employment Law
Contents:
1. Employee Privacy: United States Law
I. Introduction
II. The Origins of the American Framework of Privacy Protection
III. The Constitutional Right to Privacy
IV. Statutory Protection of Workplace Privacy Rights
V. Employees' Right to Privacy Under Tort Law
VI. Privacy and the 'Law of the Shop'
VII. The American Model of Employee Privacy Protections
VIII. Summary
2. The Right to Privacy: In Search of the European Model of Protection I. Introduction
II. The Genealogy of the European Framework of Privacy Protection
III. Convention for the Protection of Human Rights and Fundamental Freedoms
IV. The 1995 European Data Protection Directive
V. Charter of Fundamental Rights of the European Union
VI. The European Model of Protection of Privacy
VII. Summary
3. Employee Privacy in Canada
I. Introduction
II. The Evolution of Privacy Law in Canada
III. The Right to Privacy Under the Canadian Charter of Rights and Freedoms
IV. Federal Legislation on the Protection of Personal Information
V. Employees' Privacy in Arbitral Jurisprudence
VI. Canadian Model of Protection of Employee Privacy
VII. Summary
4. The Right to Privacy in Employment: An Enquiry into the Conceptual and Normative Foundations of the Contemporary Paradigm of Employees' Privacy
I. Introduction
II. Theoretical Conceptions of Privacy: Towards a Better Understanding in Law
III. A Contemporary Paradigm of Employee Privacy