Survey
* Your assessment is very important for improving the workof artificial intelligence, which forms the content of this project
* Your assessment is very important for improving the workof artificial intelligence, which forms the content of this project
Recent Privacy Developments ISACA January 12, 2012 Keith A. Cheresko and Robert L. Rothman Principals, Privacy Associates International LLC Purpose Purpose Purpose Purpose Purpose Purpose Purpose Areas or Topics of Privacy Activity • • • • • • • • • Breach Cloud Geo-location Facial Recognition BYOD Marketing Social Media OBA Consumer Financial Protection Bureau • Federal Trade Commission • COPPA • Health Care • International • EU Cookie Rules • EU Data Protection Directive • APEC • USA PATRIOT ACT • Supplier Relationships Focus on Several Items • • • • • • Social Media Breach Marketing Supplier Relationships Privacy Developments from the EU TEST! US Developments Breach PII States Continue Tightening Requirements Class Actions Proliferating Breach Notification No general national beach notification law - BUT Breach Notification • • • • Internal processes Training Policies and practices Supplier action implications Social Media Endorsements HR Implications Social Media Labor Relations Social Media NLRB Actions Social Media • • • • Policies and practices Internal processes Training Enforcement BYOD Marketing OBA – Online Behavioral Advertising Geo-Location COPPA Texting Marketing • • • • Policies and practices Internal processes Training Enforcement Facial Recognition Supplier Relationships Supplier Relationships Cloud Computing Supplier Relationships Contracts! Supplier Relationships • Contract • Allocation of liability • Responsibility for actions of others European Data Protection Directive The European Data Protection Laws Have Been a Compliance Headache for Companies Around the World Proposed New Data Protection Regulation The Good News DIRECTIVE REGULATION The Bad News Nearly Everything Else Significantly Increased Fines and Penalties Consent Narrowed Data Breach Notification Right to Be Forgotten Data Minimization Accountability Mandatory Data Privacy Officer Companies Outside Europe Potentially Subject to the Regulation Status of Regulation My Head Hurts BULL NO-BULL TEST Statements about the Update • Bull – the statement is not true • Not Bull – the statement is true • Requires audience participation –Vocalization of response –Be careful of “trick” statements Sample Statement The proposed EU privacy regulation will finally prevent the possibility of English mad cows from entering this country. BULL NO-BULL BULL Statement One The US is unique in the world by requiring notification to individuals who are affected by a security breach involving the loss of personal information. BULL NO-BULL BULL Statement Two The Proposed EU Data Privacy Regulation will require all companies to appoint an independent data protection officer to serve for a term of not less than two years. BULL NO-BULL BULL Statement Three Personal Identification Information breaches in the US are regulated by the federal breach notification statute. BULL NO-BULL BULL Statement Four Product claims made on social media are not covered by normal FTC advertising rules under the “Zuckerman” exception. BULL NO-BULL BULL Statement Five The basic rule in the EU is that personal data can not be sent to the US because the US does not have adequate privacy laws. BULL NO-BULL NO BULL Question Six A company can not contract away all its privacy responsibility to its suppliers. BULL NO-BULL NO BULL Final Statement This has been an interesting and informative and somewhat entertaining session. Contact Information Keith A. Cheresko Privacy Associates International LLC [email protected] www.privassoc.com (248) 535-2819 Robert L. Rothman Privacy Associates International LLC [email protected] www.privassoc.com (248) 880-3942