The E.U. breach notification scheme is more fragmented than it appears, while the U.S. regime may be more cohesive even without a national law, panelists at a recent seminar at the Incident Response Forum Europe 2020 said. Attorneys from Sidley, Perkins Coie, Orrick, Alston & Bird and Debevoise compared the U.S. and E.U. approaches to incident response, breach notification and the attorney-client privilege, and also discussed best practices when dealing with various regulators. See “A Practical Look at the GDPR’s Data Breach Notification Provision” (Jan. 17, 2018).