Are there any CDR directives on exactly which data properties are required to be exposed as a minimum on the Data Holder Dashboard when displaying the list of active or archived consent agreement and the details of a consent agreement for the consumer?
The DSB will soon consult on fields to present during the authorisation flow and on DH dashboards. We anticipate a proposal for DH Dashboards to display an ADR's brand name, software product name, and legal entity. We will also recommend an ADR's accreditation number be displayed on DH Dashboards. The level of obligation and compliance dates will also be subject to consultation.