Anti-Spam Legislation: A Comparative Review

Computer Law Review International, Issue 3
June 15, 2011


This paper contrasts the anti-spam legislation in Canada to that in the United States, and in one representative European jurisdiction (i.e. the United Kingdom), in order to highlight the differences in approach regarding the types of e-mail communications targeted by the legislation, the level of consent required from the receiver, and the type and severity of penalties levied.