The Age of the DPO

Articles 37 and 38 of the General Data Protection Regulation (GDPR) provide information on the principles and impartiality of the critical data protection officer (DPO) role, specifying the high-level rules on what can and can’t be done. But like most of the GDPR, it leaves wide open the interpretation of the how and when it is appropriate to have a DPO.

Article 29 Working Party has provided much-needed guidance on this subject, and we have been told which roles can’t hold DPO responsibilities (such as the CEO and Marketing Director, due to potential conflicts of interest). However, it does not address the first question on every organization’s lips: “Do I need to appoint an independent DPO in the first place, and if yes, when?”

The answer lies in the organization itself, or more specifically, the types of data processing activities it undertakes. For example, if you process large quantities of EU personal data (such as a small US-based web profiling firm that tracks IP addresses or web cookies for a French utility website to provide customer website stickiness), or if you hold sensitive personal records like medical histories, then your organization qualifies under GDPR rules and you therefore need to allocate someone to manage the DPO responsibilities (note: the DPO does not necessarily have to be directly employed by the organization, just qualified to hold the role).

Like the applicability of GDPR itself, the DPO role is not dependent upon number of staff or size of turnover, which is why many of the UK’s 5.7 million small-to-medium sized organizations qualify for GDPR (55 million across the EU), and why so many other organizations around the world that provide services into Europe are busy preparing themselves for GDPR compliance. This makes GDPR a truly global regulation and its implications far-reaching. For example, if as an EU citizen I wanted to exercise my rights under GDPR with an organization based in Delhi, then I’m entitled to this right (assuming my personal data is processed there), and the organization has to uphold my request.

Depending upon the size of your organization and the level of processing activities you undertake, you may choose to nominate an individual with responsibility, split the responsibilities among different roles, or even outsource the role externally. However, the only stipulation is that the DPO must be truly independent and understand the systems and processes involving personal data and/or deliver services to EU citizens and, crucially, be qualified or experienced in data protection. This is obvious when you consider the unique nature of advice given and the difficulty in interpretation of the GDPR rule book. It also precludes the role being held by a lawyer; as important it is to understand the law, it is equally important to be able to implement the law within your organization.

So, every DPO has rather a difficult job to do. DPOs need to understand the implications of the law within your organization, uphold the rights of individuals and provide careful advice surrounding the implementation of the rules. Get this wrong, and you could end up in court or face huge financial penalties. Of course, this is naturally dependent upon how much data you are processing or perhaps the risks your systems face from its daily processing activities. In other words, if your systems for processing data are complicated and stretch back to the Doomsday book – you have a lot of work to do. Conversely, if you process small amounts of EU personal data, then the impact of GDPR is nominal. The key to appointing your DPO is choosing an individual who understands law, security and privacy risk. You need someone who can determine the difference between a business decision and a true privacy/security risk (e.g., consent, rights or data encryption), and has the ability to make crucial judgements on what could attract unwanted regulator attention or cost the business in loss of trade or a missed opportunity.

The key to this role, then, not only lies in finding a knowledgeable, balanced individual who is sensible under pressure, but also an individual who understands the principles of privacy and security, can act with integrity to protect the rights of an individual, and preferably can advise on protecting personal data to avoid any harm to that individual.

Above all, whether you outsource, co-source or hire a DPO (or contactor), my strong advice is you pick someone who understands GDPR, risk and controls, and has experience in implementing mechanisms that will allow your organization to make appropriate and proportionate risk assessments (think privacy by design), and realistic recommendations that will balance the cost of compliance in doing business against the cost of growing the business.

Good luck in your search, and take your time to find the right solution for your organization.

Editor’s note: For more ISACA resources on GDPR, visit www.isaca.org/gdpr.

Steve Wright, Data Privacy & Information Security Officer, John Lewis Partnership

[ISACA Now Blog]

Tech Docs: Get Started with Traps 5.0 and the New Traps Management Servic

We recently announced Traps 5.0 cloud-delivered advanced endpoint protection and there is already quite the buzz!

The Traps 5.0 and Traps management service releases include the following key features:

  • Cloud-delivered service—The Traps management service streamlines the deployment of your endpoint security infrastructure, thus eliminating the need to build, manage, and maintain management servers.
  • Integration with the Logging Service—Centralizes Traps log collection for event management, threat hunting, and incident response.
  • Streamlined user interface—Easy-to-use dashboards to help surface critical information, events, and workflows.
  • Traps OS support extended to Linux servers—Enables customers to protect critical data center and public cloud workloads.
  • Proactive scanning—On-demand or automated scanning to identify dormant malware before it attempts to run.

If you are ready to get started, look no further than the following Traps documentation resources:

Happy reading!
Your friendly Technical Documentation team

Have questions? Contact us at documentation@paloaltonetworks.com.

[Palo Alto Networks Research Center]

Announcing Traps 5.0: Cloud-Delivered Advanced Endpoint Protection

Our recent enhancements to Traps have focused on reinforcing prevention capabilities and introducing innovative techniques for protecting against malware, exploits and ransomware. At the same time, our team has also been focused on transforming Traps into a cloud-delivered advanced endpoint protection service.

Today, we are excited to announce Traps 5.0, the most significant release for Traps to date.

Let’s take a look at what’s included in the Traps 5.0 release.

 

Traps Management Service
The multi-region, cloud-based Traps management service saves organizations from having to invest in building out their own global security infrastructures and ties into Palo Alto Networks Next-Generation Security Platform for additional integration and value. The service is simple to deploy and requires no server licenses, databases or other infrastructure to get started, enabling organizations to protect hundreds to millions of endpoints without incurring additional operating costs.

 

Palo Alto Networks Logging Service Integration
Integration into the Palo Alto Networks Logging Service allows more effective event management, threat hunting and incidence response, combining endpoint, network and cloud context.

The Traps management service and agents forward all logs to our Logging Service, which is viewable in the Traps management service itself. Logging Service becomes a central repository for the collection and storage of events and incident data captured by Traps, regardless of location.

 

Reimagined User Interface
You asked; we listened! Traps 5.0 brings a new user interface specifically designed to be more intuitive and minimize the operational challenges that are often associated with endpoint security management. This new interface delivers out-of-the-box protections that streamline the process of protecting new endpoints which come online, and key workflows that focus on policy and event management.

Some of the many capabilities delivered by the new interface include simplified workflows for creating and executing policies that follow the order of operations; sensitivity ranked alerts to enable quick and prioritized event triage; and dynamic grouping so, as new endpoints are added, policy associated with the appropriate policy group is immediately applied.

Additionally, WildFire reports are now viewable directly from security alerts within Traps. The WildFire reports contain critical event details including targeted users, application(s) that delivered the threats, URLs involved in the delivery of threats, and the behavior that was observed in WildFire dynamic analysis.

 

Linux Support
Linux rounds out the list of major OS platforms now supported by Traps, enabling customers to protect resource- and performance-sensitive cloud workloads against exploits with host-based security. With many of these Linux-based workloads moving to the cloud, the lightweight Traps agent gives you exploit protection with minimal impact on performance and system resources.

 

Proactive Scanning for Incident Response and Compliance
Previous versions of Traps focused on refining the ability to block malware as it attempted to execute. Traps 5.0 introduces the ability to periodically scan endpoints for dormant malware. If a malicious file is identified, Traps can automatically quarantine the file, ensuring it does not detonate and potentially infect the endpoint and spread to other endpoints.

 

To learn more about Traps 5.0:

 and 

[Palo Alto Networks Research Center]

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