
About
Guided customization of your privacy practice profile — change one thing without re-running the whole cold-start interview. Adjust risk posture, escalation contacts, DPA playbook, privacy policy commitments, PIA house style, DSAR process, or matter workspace paths. Use when the user says "change my [thing]", "update my profile", "edit my playbook", or "customize".
/customize
When this runs
The user typed /privacy-legal:customize. They want to change something in
their privacy profile — a risk posture, an escalation contact, a DPA
position, a PIA section, a DSAR timeline — without re-running the whole
cold-start interview and without hand-editing YAML.
What to do
-
Read the config. Read
~/.claude/plugins/config/claude-for-legal/privacy-legal/CLAUDE.md(and~/.claude/plugins/config/claude-for-legal/company-profile.mdone level up). If the plugin config does not exist or still contains[PLACEHOLDER]values, say:You haven't run setup yet. Run
/privacy-legal:cold-start-interviewfirst — customize is for adjusting a profile you already have. -
Show the customizable map. List what's in the profile, grouped, with a one-line summary of the current value:
- Company / who you are — name, industry, jurisdictions, stage, practice
setting, controller vs. processor orientation (shared across all 12
plugins — changes flow through
company-profile.md) - Risk posture — conservative / middle / aggressive, what each means for processor obligations, cross-border transfers, and retention
- People — DPO, privacy team, engineering liaison, outside counsel, escalation chain
- DPA playbook — positions on sub-processor notice, deletion, audit, liability, international transfers, SCCs — as processor and as controller
- Privacy policy commitments — the commitments your privacy notice
has made that
/policy-monitorwatches practice against - PIA house style — section order, risk scoring, stakeholder framing, when DPIA triggers apply
- DSAR process — verification, statutory timelines per regime, exemption application, template response structure
- Workflow — intake path, matter workspaces, policy-monitor sweep cadence
- Integrations — document storage / privacy tool / Slack status, fallbacks
- Company / who you are — name, industry, jurisdictions, stage, practice
setting, controller vs. processor orientation (shared across all 12
plugins — changes flow through
-
Ask what they want to change.
What would you like to adjust? Pick a section, or describe the change in your own words.
-
Make the change. Show the current value, ask for the new value, explain what changes downstream, confirm, write it to the config.
Examples:
- Sub-processor notice 30 days → 14 days: "
/review-dpawill now flag anything shorter than 14 days as a deviation. Existing DPAs stay as logged." - New DSAR exemption in the playbook: "
/draft-dsarwill surface this exemption in the assessment step where the facts match." - Risk posture middle → conservative: "I'll flag more activities for PIA escalation, recommend stricter SCC clauses, and be more conservative on retention."
- Sub-processor notice 30 days → 14 days: "
-
For shared-profile changes (company name, industry, jurisdictions, practice setting, stage): write to
~/.claude/plugins/config/claude-for-legal/company-profile.mdand note:This change affects all 12 plugins — any plugin that reads your jurisdiction footprint now sees [new value].
-
Close.
Done. Your next output will reflect the change. Anything else? You can run
/privacy-legal:customizeanytime.
Guardrails
- Never delete a section. If the user wants to "remove" a regime from
scope, offer to mark it
[Not currently in scope]and explain what flagging drops. - Flag internal inconsistency. If the change would make the profile inconsistent (e.g., "processor only" + controller playbook positions active; or "no EU nexus" + SCCs in the default template), flag the tension.
- Flag guardrail degradation. The
[需审查]flag, source attribution tags,[verify]tags on cited regulations, and the DPIA-trigger mandatory-check on/triageare load-bearing — do not remove. If statutory DSAR timelines are adjusted below the regulatory minimum, refuse and explain why. - One change at a time. Don't re-ask the whole interview.
