Merseyside · England

We need a UK GDPR compliance review - Southport

Firms in Southport, Merseyside that work on privacy compliance review matters for businesses, with 7 firms currently listed. Every firm shown is regulated by the Solicitors Regulation Authority.

Firms in Southport

B

SRA number 555488 · Recognised body

Offices
Southport
Sectors
Not supplied
  • Banking and finance
  • Commercial litigation
  • Commercial property
  • Corporate law

Regulatory data last updated: 4 August 2026

H

SRA number 534326 · Licensed body (ABS)

Offices
Southport
Sectors
Not supplied
  • Commercial contracts
  • Commercial litigation
  • Commercial property
  • Corporate law

Regulatory data last updated: 4 August 2026

H

SRA number 635538 · Recognised body

Offices
Southport
Sectors
Not supplied
  • Commercial contracts
  • Commercial litigation
  • Commercial property
  • Corporate law

Regulatory data last updated: 4 August 2026

J

Jackson Lees Group Ltd

SRA: Authorised

SRA number 567726 · Licensed body (ABS)

Offices
Southport
Sectors
Not supplied
  • Commercial contracts
  • Commercial litigation
  • Commercial property
  • Corporate law

Regulatory data last updated: 4 August 2026

M

SRA number 640490 · Recognised body

Offices
Southport
Sectors
Not supplied
  • Commercial contracts
  • Commercial litigation
  • Commercial property
  • Corporate law

Regulatory data last updated: 4 August 2026

N

Napthens LLP

SRA: Authorised

SRA number 462103 · Recognised body

Offices
Southport
Sectors
Not supplied
  • Commercial contracts
  • Commercial litigation
  • Commercial property
  • Corporate law

Regulatory data last updated: 4 August 2026

T

SRA number 647187 · Licensed body (ABS)

Offices
Southport
Sectors
Not supplied
  • Commercial contracts
  • Corporate law
  • Data protection and privacy
  • Insolvency and restructuring

Regulatory data last updated: 4 August 2026

What this usually involves

A compliance review turns data protection from an abstract risk into a prioritised action list, which is often required by enterprise customers and insurers.

  • Reviewing privacy notices and lawful bases
  • Records of processing and retention schedules
  • Direct marketing and cookie compliance

Common questions

Do we need a data protection officer?
Only in defined cases, though many businesses appoint a responsible person voluntarily.
How often should this be repeated?
Annually, or whenever you launch a product or start a new type of processing.

Nearby towns and cities