Tag: 2021

  • UPDATE – New Proposed Cyber Incident Notification Rules Finalized

    UPDATE – New Proposed Cyber Incident Notification Rules Finalized

    Last updated March 30, 2022. Currently, financial institutions are required to report a cyber event to their primary federal regulator under very specific circumstances. This requirement dates back to GLBA, Appendix B to Part 364 and states that FI incident response plans (IRP’s) should contain procedures for: “Notifying its primary Federal regulator as soon as…

  • New Proposed Cyber Incident Notification Rules

    New Proposed Cyber Incident Notification Rules

    Update: Since publishing this post, these rules have been finalized. We have a new post covering those details here. We first wrote about incident notification over ten years ago, and based on feedback from our cyber testing experience, financial institutions are still struggling with the issue of whether or not to notify their customers and…

  • A Look Back at 2020 and a Look Ahead to 2021: A Regulatory Compliance Update

    A Look Back at 2020 and a Look Ahead to 2021: A Regulatory Compliance Update

    From SafeSystems.com/Safe-Systems-Blog Safe Systems recently published a two-part regulatory compliance blog series that looked back at 2020 and ahead to 2021. In Part 1, we explored how regulations related to the Pandemic dominated the compliance landscape early in 2020 forcing financial institutions to make adjustments to their procedures and practices on the fly. In Part…