New Privacy and Data Security Guidance and Rules on Tap for 2017


Regulators and agencies for a broad mix of industries issued new data security and privacy rules and guidance in the final days of 2016 and first week of 2017 that will likely shape how companies prepare for and respond to data security incidents and inquiries from data protection authorities.

State Regulatory Changes

At the state level, the New York Department of Financial Services (NYDFS) revised its proposed cybersecurity rule on December 28, 2016, and extended compliance with the rule until March 1, 2017. The changes to the rule follow extensive comments by regulated entities and include:

As we have noted in previous alerts, while the NYDFS’s rules apply to New York-regulated financial institutions, including insurers, money services businesses, and virtual currency companies, it is likely that New York’s rules will continue to operate as a guide for other regulators across the country.

Guidance for Federal Agencies

This week, the Office of Management and Budget (OMB) issued a memorandum setting forth guidance for federal agencies in protecting against and responding to data security incidents, including breaches. While the memo applies to federal agencies, aspects relate to agencies’ dealings with private companies, including:

Beyond these two requirements, the OMB’s risk-based approach to data security may also be viewed by U.S. regulators as a road map or best practices for certain private companies guarding against and responding to data security incidents. 

European General Data Protection Regulation

Finally, the Article 29 Data Protection Working Party, representatives of various European data protection authorities tasked with implementing rules related to among other things the EU-US Privacy Shield, issued new guidance on three important issues relating to:

While this guidance provides some additional clarity for companies maintaining significant operations in Europe, complying with European data protection authorities’ requirements remains a complicated path, as noted in our previous alerts related to the EU-US Privacy Shield (see alerts from February and August 2016). 


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National Law Review, Volume VII, Number 5