No because that's not informed consent. Different countries have different requirements, so the minimum varies by country, but all countries require some level of information about cookies for the consent to be "informed". At a minimum you'd need to link to more information about what cookies are and how they are used.
If the cookies do not involve personal data, then GDPR does not apply, and a popup/pushdown/modal with text, a link, an accept button, and a reject button is all you need.
If the cookies do involve personal data (e.g., IP address), then GDPR applies. For cookies where GDPR applies, the legal requirements depend on the purpose for using the cookie. Wach purpose for using cookies requires its own consent. For example, cookies used for analytics require separate consent from cookies used for third party advertising. If a website only used cookies for a single purpose, the consent window could be pretty small. If there are multiple purposes, it's basically going to be a privacy policy just for cookies.
There are several billion dollar lawsuits against online adtech because it's not clear under GDPR whether anonymous but unique cookieIDs are personal data. If they are, the entire industry violates GDPR.
If the cookies do not involve personal data, then GDPR does not apply, and a popup/pushdown/modal with text, a link, an accept button, and a reject button is all you need.
If the cookies do involve personal data (e.g., IP address), then GDPR applies. For cookies where GDPR applies, the legal requirements depend on the purpose for using the cookie. Wach purpose for using cookies requires its own consent. For example, cookies used for analytics require separate consent from cookies used for third party advertising. If a website only used cookies for a single purpose, the consent window could be pretty small. If there are multiple purposes, it's basically going to be a privacy policy just for cookies.
There are several billion dollar lawsuits against online adtech because it's not clear under GDPR whether anonymous but unique cookieIDs are personal data. If they are, the entire industry violates GDPR.