Rajah & Tann Regional Round-Up
your snapshot of key legal developments in Asia
Issue 1 - Jan/Feb/Mar 2022
 

New Licensing Requirement on the Provision of Cloud Services Comes into Force

Pursuant to the the "Advisory Notice on Cloud Service Regulation Introduced to Increase Accountability for User Data Security and Sustainability of Services", as well as the "Information Paper on Regulating Cloud Services" issued by the Malaysian Communications and Multimedia Commission ("MCMC"), the new licensing requirement on the provision of cloud services has come into force with effect from 1 April 2022.


Under the new licensing requirement, the following cloud service providers are required to be registered under the Applications Service Providers Class ("ASP(C)") licence:


  1. a local data centre assisting foreign cloud providers to provide their Platform-as-a-Service ("PaaS") or Infrastructure-as-a-Service ("IaaS") cloud services to end users in Malaysia; or
  2. a locally incorporated company providing PaaS or IaaS cloud services to end users in Malaysia.

Where an ASP(C) licence is required, cloud service providers should immediately apply for an ASP(C) licence and put in place the relevant measures to ensure compliance with all such instruments, guidelines, technical standards, or regulatory policies as may be imposed by MCMC from time to time. Any failure by a cloud service provider to obtain an ASP(C) licence is an offence under the Communications and Multimedia Act 1998 and such service provider shall, on conviction, be liable to a fine not exceeding RM500,000 (where US$1.00 = RM4.20, approximately), or to imprisonment for a term not exceeding five years, or both. Such service provider shall also be liable to a further fine of RM1,000 for every day or part of a day during which the offence is continued after conviction.


For more information, click here to read our Legal Update.



Please note that whilst the information in this Update is correct to the best of our knowledge and belief at the time of writing, it is only intended to provide a general guide to the subject matter and should not be treated as a substitute for specific professional advice.

 

Christopher & Lee Ong
Level 22, Axiata Tower ,
No. 9 Jalan Stesen Sentral 5
Kuala Lumpur Sentral,
50470 Kuala Lumpur, Malaysia
www.christopherleeong.com


Contacts:

Yon See Ting
Partner
D +603 2278 8311
F +603 2278 8322
see.ting.yon@christopherleeong.com

Lee Hock Chye
Managing Partner
D +603 2273 1919
F +603 2273 8310
hock.chye.lee@christopherleeong.com

Fiona Sequerah
Partner
D +603 7958 8310
F +603 7958 8311
fiona.sequerah@christopherleeong.com

Lim Wee Hann
Partner
D +65 62320606
wee.hann.lim@rajahtann.com

Yau Yee Ming
Partner
D +603 2278 8311
F +603 2273 8322
yee.ming.yau@christopherleeong.com

Kuok Yew Chen
Partner
D +603 7958 8310
F +603 7958 8311
yew.chen.kuok@christopherleeong.com

Rajah & Tann Asia is a network of legal practices based in Asia.

Member firms are independently constituted and regulated in accordance with relevant local legal requirements. Services provided by a member firm are governed by the terms of engagement between the member firm and the client.

This update is solely intended to provide general information and does not provide any advice or create any relationship, whether legally binding or otherwise. Rajah & Tann Asia and its member firms do not accept, and fully disclaim, responsibility for any loss or damage which may result from accessing or relying on this update.