Gramm Leach Bliley Act
Safeguards Rule Intention
Ensure the protection of privacy of personal information with the creation, implementation and maintenance of an effective security program
Customer relationship
Exists when a consumer has a continuing relationship with a financial institution. Have greater protection than a consumer
Opt Out Notice
Financial Inst. that intend to share nonpublic personal information must provide consumers and customers this notice
Sent in the mail, and they can mail the completed from or call a toll free number.
How is the opt out form sent to a consumer, and how can they complete it?
30 Days
How many days does the consumer have to complete the Opt out form
Opt out of sharing information
If a financial institution plans to share consumer or customer information what must they do?
Non public personal informatoin
Personally identifiable information provided by a consumer to a financial institution, resulting from any transaction with the consumer or any service performed for the consumer, or otherwise obtained by financial institution
Annual privacy notice
Required to be sent to customers that contain the same information that is included in the initial privacy notice, including opt out and how to exercise that right
Purpose of Privacy Provisions
To ensure that financial institutions protection non-public persona information of consumers
Measured from the date on which the notice was mailed to the consumer
When does the opt out period start if the notice is mailed?
measured from the date on which the account is opened online and acknowledges the receipt of privacy notices
When does the opt out period start if the notice is sent via online account?
FTC and Federal Banking Regulatory Agencies
Who regulates GLB
Within 10 days of receiving the customers request
Within how many days of a telephoned request must an annual notice be delivered?
Affiliate
Any company that is controlled by or is under common control with another company
Consumer
An individual who obtains from a financial institution financial products or services which are to be used primarily for personal, family, or household purposes
Yes, Internet cookie information is considered PII
Is information obtained from an internet cookie considered PII?