Remove category financial-privacy
article thumbnail

How to Develop an Incident Response Plan

eSecurity Planet

For example, we might nominate: The IT security manager to handle a ransomware incident; Our external accountant to investigate financial fraud; or. The building manager to handle threats to physical security at a specific office. Be in-line with insurance policies. Be in-line with insurance policies.

Insurance 122
article thumbnail

SEC Chair: Sweeping New Cybersecurity Rules Are Coming Soon

Data Matters

For example, SEC guidance from 2018 emphasizes that there is a range of factors that may affect whether an incident should be disclosed to investors beyond the bottom-line financial costs to respond to the incident. financial markets. 11 But the SEC declined to go that far when it adopted Reg SCI.

Insiders

Sign Up for our Newsletter

This site is protected by reCAPTCHA and the Google Privacy Policy and Terms of Service apply.

article thumbnail

Top Cybersecurity Startups to Watch in 2022

eSecurity Planet

Information security products , services, and professionals have never been in higher demand, making for a world of opportunities for cybersecurity startups. SECURITI’s solutions help organizations secure data while automating privacy and compliance using AI and machine learning tactics. Cape Privacy.

article thumbnail

An Approach to Cybersecurity Risk Oversight for Corporate Directors

Data Matters

Recent guidance from the Securities and Exchange Commission (SEC) on disclosure and enforcement actions by the Federal Trade Commission (FTC) make clear that cybersecurity is no longer a niche topic, but a concern significant enough to warrant the oversight of corporate boards of directors. Principle 3. Principle 4. Principle 5.

article thumbnail

GDPR is upon us: are you ready for what comes next?

Data Protection Report

We have shared below some interesting points that we’ve seen arising recently, all of which relate to how things are likely to develop from today onwards, including enforcement predictions, challenges related to operationalizing data subject access procedures, and how the GDPR may change the data privacy litigation landscape in Europe.

GDPR 40