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FDIC, FRB and OCC Issue Interagency Guidance on Third-Party Relationships

Hunton Privacy

On June 6, 2023, the Federal Deposit Insurance Corporation (“FDIC”), the Board of Governors of the Federal Reserve System (“FRB”) and the Office of the Comptroller of the Currency (“OCC”) issued their final Interagency Guidance on Third-Party Relationships (“Guidance”).

Risk 64
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UK: The rise of privacy group action risk

DLA Piper Privacy Matters

Two recent developments in the United Kingdom highlight the growing risk of privacy litigation and “group actions” which is likely to further increase following the enactment of the General Data Protection Regulation (“ GDPR “) in May 2018.

Risk 40
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Centre for Information Policy Leadership Discusses Privacy Risk Management at the OECD Working Party on Security and Privacy in the Digital Economy

Hunton Privacy

The meeting was attended by governmental and regulatory officials from most OECD member countries, with various other participants and observers. The meeting was attended by governmental and regulatory officials from most OECD member countries, with various other participants and observers.

Privacy 40
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FRANCE: CNIL adopts new single authorization on fraud prevention systems

DLA Piper Privacy Matters

Pursuant to several provisions of the French Code Monétaire et Financier , entities from the banking and financial sector are required to implement processes and strategies to detect, measure and manage operational risks within their group (on a consolidated basis). Parent companies of financing companies.

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New HIPAA Omnibus Rule: A Compliance Guide

Hunton Privacy

On January 17, 2013, the Department of Health and Human Services’ (“HHS’”) Office for Civil Rights (“OCR”) released its long-anticipated megarule (“Omnibus Rule”) amending the HIPAA Privacy, Security, Breach Notification and Enforcement Rules. the extent to which the risk to the PHI has been mitigated. The wait is over.

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An Approach to Cybersecurity Risk Oversight for Corporate Directors

Data Matters

More and more, directors are viewing cyber-risk under the broader umbrella of corporate strategy and searching for ways to help mitigate that risk. Despite the plethora of cyber-risk guidance that has surfaced in recent years, however, there is no “silver bullet” for cyber incident response and prevention.

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The debate on the Data Protection Bill in the House of Lords

Data Protector

That is compounded by the fact that this is a Lords starter Bill that comes to us without the benefit of consideration in the other place, and particularly without the usual evidence-taking sessions that ensure that a Bill meets the needs of those affected by it.

GDPR 120