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17 Oct 2018, 4:19 pm by Cynthia Marcotte Stamer
  Anthem, Inc. also separately already reportedly also has paid more than $115 million to settle other statutory and contractual liabilities arising from the breach separate as well as substantial investigatory and defense costs in addition to the HIPAA liabilities settled under the resolution agreement announced Monday. [read post]
16 Oct 2018, 3:55 pm by Cynthia Marcotte Stamer
In addition to the impermissible disclosure of ePHI, OCR’s investigation revealed that Anthem failed to conduct an enterprise-wide risk analysis, had insufficient procedures to regularly review information system activity, failed to identify and respond to suspected or known security incidents, and failed to implement adequate minimum access controls to prevent the cyber-attackers from accessing sensitive ePHI, beginning as early as February 18, 2014. [read post]
The cases, listed newest to oldest, and the Court’s summaries are as follows: Union of Medical Marijuana Patients, Inc. v. [read post]
4 Sep 2018, 3:35 pm by Kevin LaCroix
Supreme Court issued its unanimous decision in Cyan, Inc. v. [read post]
20 Jul 2018, 8:59 am by Camilla Alexandra Hrdy
However, none of the more recent arguments add all that much to the analysis. [read post]
The cases, listed newest to oldest, and the Court’s summaries are as follows: Union of Medical Marijuana Patients, Inc. v. [read post]
12 Apr 2018, 7:01 pm by Cynthia Marcotte Stamer
   However, the risk of enforcement is particularly acute for businesses in the following industries, designed for heightened enforcement and other attention as “Low Wage High Violation Industriesbased on their particularly high record of noncompliance:  Agriculture, Amusement, Apparel Manufacturing, Auto Repair, Child Care Services, Construction, Food Services, Guard Services, Hair, Nail & Skin Care Services, Health Care, Hotels and… [read post]
2 Apr 2018, 4:03 pm by Kevin LaCroix
 These risks, of course, can and do vary by industry and nature of business. [read post]
8 Mar 2018, 4:00 am by David Stanton, Wenqing Zhao
” The USTR’s criticism centered on the 2017 Cybersecurity Law and on a directive (EN/CN) issued last January by China’s Ministry of Industry and Information Technology (MIIT) prohibiting the use of unlicensed virtual private networks (VPNs) to send or receive data from abroad. [read post]
5 Jan 2018, 5:35 am by Cynthia Marcotte Stamer
Based on OCR’s subsequent investigation into these breaches, OCR found: 21CO impermissibly disclosed certain PHI of 2,213,597 of its patients in violation of 45 C.F.R. [read post]
12 Dec 2017, 4:36 pm by Kevin LaCroix
” This week the SEC filed an administrative action against a California-based company selling digital tokens to investors to raise capital for its block chain-based food review service. [read post]
5 Dec 2017, 12:01 pm by ligitsec
Bain, Wiley, Rein & Fielding, Washington, D.C., for amici Ad Hoc Copyright Coalition; Commercial Internet Exchange; Computer & Communications Industry Association; Information Technology Association of America; Netcoalition.com; United States Internet Industry Association, and United States Telecommunications Association. [read post]
26 Sep 2017, 6:41 am by Dan Carvajal
Introduction With cat-like tread, Ohio’s Commercial Activity Tax (CAT) strode into view in 2005, unleashing a torrent of criticism, concerns, timid defenses, and regrettable puns. [read post]
17 Aug 2017, 4:03 pm by Cynthia Marcotte Stamer
For instance, because the report relies heavily upon Medicare data to conduct the analysis, the analysis does not reflect the experience of typical patients under 65. [read post]
10 May 2017, 3:14 pm by Cynthia Marcotte Stamer
In conducting this analysis and risk assessment, it will be important that Covered Entities include, but also look beyond the four corners of their Privacy Policies to ensure that their review and risk assessment identifies and assesses and addresses compliance risks on an entity wide basis [read post]
26 Apr 2017, 6:14 pm by Cynthia Marcotte Stamer
Review and, to the extent necessary, revise, its current Security Rule Policies and Procedures (“Policies and Procedures”) based on the findings of the Risk Analysis and the implementation of the Risk Management Plan to comply with the HIPAA Security Rule. [read post]