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Brunei

Last updated : December 29, 2025

Digital ID Overview

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Brunei’s digital ID system is the e-Darussalam Account, which has been implemented as a means of accessing the pre-existing e-Darussalam digital public infrastructure (DPI).[14] According to a presentation by Brunei’s e-Government National Centre, the government and private sectors are involved in overseeing the development of Brunei’s digital ID and DPI.[15] According to the Strategic Plan for the Ministry of Transport and Infocommunications 2025 (MTIC 2025), the government aimed to have all systems connected to Digital ID by 2024.[16] Data from 2023 shows that Brunei’s DPI connected 322 services with 225,774 registered users, making up about 50% of Brunei’s total population of 450,500.[17]

The digital ID system in Brunei functions as both a foundational and functional ID.[18] The e-Darussalam Account acts as both a means of identity verification and as a central digital authentication key for accessing a range of government services online, including: government job applications, land application and registration, electric bill payments, vehicle and driving license renewal, education, health care, and employment, among others.[19] As a foundational ID, it serves as a primary means of identity verification for citizens and residents, integrating various forms of legal identification, such as the Smart Identity Card.[20] In Brunei, the possession of an e-Darussalam Account is essential as it is required to access certain public services.[21]

Although the digital ID is a part of Brunei’s legal identity framework it is only administered to individuals with national identity cards (yellow, purple, or green).[22] The digital ID system is thus accessible to citizens, permanent residents, and foreign citizens, including stateless persons with permanent resident status.[23] Stateless persons without permanent residence in Brunei cannot acquire the e-Darussalam Account, and are therefore barred from access to the public services that require it.[24] Notably, since non-citizens in Brunei can also access digital ID, it does not serve as a marker of citizenship.[25]

Law

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Domestic Law and Policy

While the intention to develop policies and regulations is included in Brunei’s Digital Economy Masterplan 2025,[26] there is currently no legislation for data protection or regulations for the digital ID system.[27] As such, there is no definition provided for digital ID in Brunei’s legislation. However, there are plans to amend the National Registration Act (2002) to accommodate digital ID.[28]

Data Protection

The e-Darussalam Account digital ID is protected through blockchain technology with biometric authentication through facial recognition.[29] The sharing of personal data between government agencies is governed by existing legislation. The government has plan to develop this legislative and policy framework further.[30] While Brunei does not currently have legislation specific to data protection, existing legislation applicable to government use and  protection of personal data includes the Internal Security Act (1983), the Official Secrets Act (1940), the Computer Misuse Act (2000), the Electronic Transactions Act (2001), Brunei’s Data Protection Policy, as well as sectoral laws on personal data management.[31] Under the Personal Data Sharing Agreement, data between government agencies does not require an application form whereas sharing data with entities outside of government does.[32] Similarly, under the Personal Data Sharing Guideline, data can be shared to the private sector through an orderly process and according to set procedures, e.g. data sharing request forms and contractual agreements.[33] Personal data may be shared by the government without consent in circumstances demanded by legal obligation, national security, public health, public order, public safety, public task, research purposes, to protect a person’s life, and when there is a disclosure in line with government policies.[34] With national security reasons allowing for the use of users’ data without consent,[35] it should be noted that migrants are at higher risk of being portrayed as a threat to national security.[36] Stateless persons tend to be at greater risk of violation of their right to privacy as their data can be obtained for national security concerns, a result of national security reasons allowing for the use of users’ data without consent.

Brunei has a law called the Personal Data Protection Order (PDPO) as well as a Data Protection Policy.[37] The PDPO has been enacted to govern the collection, use and disclosure of personal data by private organizations. It provides a framework that balances the private sector’s need to collect and use personal data with individuals’ right to protect their personal information.[38] The Data Protection Policy aims to protect information collected on individuals and to facilitate data sharing within the Government.[39] Together, the PDPO and Data Protection Policy establish a dual framework in Brunei, safeguarding personal data in the private sector while enabling secure government data sharing, in line with the Personal Data Protection Order 2025’s phased implementation.[40]

International Commitments

Brunei has ratified several major human rights treaties such as CEDAW, CRC and CPRD. Under the CRC, Brunei is also obligated to uphold the right to education for children.[41] Moreover, General Comment No. 25 by the Committee on the Rights of the Child states that digital ID systems should be created to enable all children to safely access essential digital public services and educational services without discrimination.[42] Exclusion of stateless children without permanent residence from accessing the health and education services tied to legal identity violates this obligation.[43] The exclusion of certain stateless children from legal identity raises concerns regarding the full realization of the principle of non-discrimination, protected under Article 7 of the UDHR.[44]

Regionally, the ASEAN Framework on Personal Data Protection and Framework on Digital Data Governance set out non-binding principles to facilitate coordination and raise standards on data protection, privacy, and secure digital economies. These principles encourage member states to adopt national data protection laws and support mutual recognition. However, they do not establish binding commitments or specific requirements for digital ID systems, nor do they include provisions addressing  the protection of stateless persons.[45]

Designed to Include?

The Impact of Digital ID and Legal Identity on Citizenship and Nationality Rights

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The e-Darussalam Account does not certify citizenship. Brunei’s digital ID does not, therefore, affect the scale of statelessness in the country.[46] However, the functional nature of the digital ID means that without it people, particularly stateless persons without permanent residence, cannot access 11 public services.[47] These services include: government job applications, land application and registration, electric bill payments, vehicle and driving license renewal, education, health care, and employment services, among others.[48] There is a social stigma attached to the color of one’s identity card, particularly those that are not yellow.[49]

As the e‑Darussalam system is rolled out, it may be timely for Brunei to consider expediting amendments to the National Registration Act (2002) to provide a clear legal basis for the introduction of a digital ID. In addition, to enhance the inclusivity of the system, Brunei could explore measures to ensure that stateless persons without permanent residence are able to obtain a form of national identity, enabling them to access an e‑Darussalam account and the services linked to it.

1.^

‘Brunei: Knowledge Base Profile’ (Gov.Uk, 1 May 2024) <https://www.gov.uk/government/publications/brunei-knowledge-base-profile/brunei-knowledge-base-profile> accessed 22 August 2024; ‘Immigration - Identity Card’ <https://www.immigration.gov.bn/en/SitePages/Identity%20Card.aspx> accessed 11 November 2025.

2.^

 National Registration Act 2002, s 5, 9

4.^

 ibid

5.^

ibid.

6.^

‘Yellow Identity Card Application Form’ (Government of Brunei Darussalam Immigration) <https://www.immigration.gov.bn/Borang%20PDF/FINAL%20AS%20OF%2008%20SEPT%202022%20borang%20ic%20Kuning.pdf>; ‘Purple Identity Card Application Form’ (Government of Brunei Darussalam Immigration)<https://www.immigration.gov.bn/Borang%20PDF/FINAL%20AS%20OF%2008%20SEPT%202022%20borang%20IC%20Ungu.pdf>.

7.^

 Brunei Nationality Act 2011, s 8(1); ‘Yellow Identity Card Application Form’ (n 6).

9.^

 ibid.

10.^

 National Registration Act 2002 Section 2; Kim Suan Lim, ‘Multiplicity of Membership in Brunei: The Ethnic Chinese as a Collective of Denizens’ [2020] Journal of the Graduate School of Asia-Pacific Studies 23, 27.

12.^

 Passports Regulation 2005 Section 10; Tolman (n 8); ‘Registration of Citizens in Brunei Darussalam’ (Consulate General of Brunei Darussalam in Jeddah, Kingdom of Saudi Arabia) <https://www.mfa.gov.bn/saudiarabia-jeddah/SitePages/consularservices.aspx> accessed 23 August 2024; ‘Immigration - Travel Document’ <https://www.immigration.gov.bn/en/SitePages/Travel%20Document.aspx> accessed 11 November 2025.

13.^

‘Joint Submission to the Human Rights Council at the 33rd Session of the Universal Periodic Review: Brunei Darussalam’ (n 11).

14.^

‘Digital Identity’ (GOV.BN Portal) <https://www.gov.bn/SitePages/Digital%20Identity.aspx>

accessed 14 August 2024.

19.^

‘Joint Submission to the Human Rights Council at the 33rd Session of the Universal Periodic Review: Brunei Darussalam’ (n 11).

20.^

‘Frequently Asked Questions (FAQS)’ (n 18).

21.^

 Abigail Opiah, ‘Brunei Unveils Plan to Evolve Digital Identity by 2025 | Biometric Update’ (31 July 2024) <https://www.biometricupdate.com/202407/brunei-unveils-plan-to-evolve-digital-identity-by-2025> accessed 17 December 2025.

22.^

Digital Identity’ (n 15).

23.^

 ibid; ‘Identity Card’ (n 3); Kim Suan Lim (n 10).

24.^

 ‘FAQs’ (n 21); ‘Joint Submission to the Human Rights Council at the 33rd Session of the Universal Periodic Review: Brunei Darussalam’ (n 11).

 

25.^

‘Digital Identity’ (n 15); ‘Identity Card’ (n 3); Kim Suan Lim (n 10).

27.^

International Monetary Fund. Asia and Dept P, ‘Digitalization in Brunei and Singapore’ (2023) 2023 IMF Staff Country Reports

29.^

Rosli (n 15).

30.^

ibid.

31.^

ibid.

32.^

ibid.

33.^

ibid.

34.^

ibid.

35.^

 ibid.

38.^

Rosli (n 15).

39.^

ibid.

40.^

Brunei Enacts New Law Giving Citizens Control over Personal Data (n 37).

41.^

Convention on the Rights of the Child (adopted 20 November 1989, entered into force 2 September 1990) 1577 UNTS 3 (CRC) art 3, 24.

43.^

‘Joint Submission to the Human Rights Council at the 33rd Session of the Universal Periodic Review: Brunei Darussalam’ (n 11).

44.^

Universal Declaration of Human Rights (adopted 10 December 1948) UNGA Res 217 A(III) art 6.

46.^

Universal Declaration of Human Rights (adopted 10 December 1948) UNGA Res 217 A(III) art 6.

47.^

‘FAQs’ (n 21); ‘Joint Submission to the Human Rights Council at the 33rd Session of the Universal Periodic Review: Brunei Darussalam’ (n 11).

48.^

 ‘FAQs’ (n 21); ‘Joint Submission to the Human Rights Council at the 33rd Session of the Universal Periodic Review: Brunei Darussalam’ (n 11).

49.^

Tolman (n 8).