
Free DCPLA pdf Files With Updated and Accurate Dumps Training
Top-Class DCPLA Question Answers Study Guide
NEW QUESTION # 15
Which of the following statement is incorrect?
- A. A privacy policy once framed cannot be changed before the specified review period
- B. Privacy policy may be derived from outcomes of privacy impact assessment
- C. Misuse of personal information available in public domain may be construed as a privacy violation
- D. None of the Above
Answer: A
NEW QUESTION # 16
Which of the following statements is true with respect to organization's privacy training and awareness program?
- A. It should cover employees of service provider dealing with personal information
- B. It should necessarily cover officials from Law Enforcement Agencies that request lawful access to personal information
- C. None of the above
- D. It should define roles and responsibilities of personnel in privacy function
Answer: D
NEW QUESTION # 17
As a privacy assessor, what would most likely be the first artefact you would ask for while assessing an organization which claims that it has implemented a privacy program?
- A. Records of deployed privacy notices and statements
- B. Personal information management policy
- C. Records of privacy specific training imparted to the employees handling personal information
- D. Privacy risk management framework
Answer: D
NEW QUESTION # 18
__________ calls for inclusion of data protection from the onset of the designing of systems.
- A. Privacy by Design
- B. Logical Design
- C. Agile Model
- D. Safeguarding Approach
Answer: A
NEW QUESTION # 19
FILL BLANK
PPP
Based on the visibility exercise, the consultants created a single privacy policy applicable to all the client relationships and business functions. The policy detailed out what PI company deals with, how it is used, what security measures are deployed for protection, to whom it is shared, etc. Given the need to address all the client relationships and business functions, through a single policy, the privacy policy became very lengthy and complex. The privacy policy was published on company's intranet and also circulated to heads of all the relationships and functions. W.r.t. some client relationships, there was also confusion whether the privacy policy should be notified to the end customers of the clients as the company was directly collecting PI as part of the delivery of BPM services. The heads found it difficult to understand the policy (as they could not directly relate to it) and what actions they need to perform. To assuage their concerns, a training workshop was conducted for 1 day. All the relationship and function heads attended the training. However, the training could not be completed in the given time, as there were numerous questions from the audiences and it took lot of time to clarify.
(Note: Candidates are requested to make and state assumptions wherever appropriate to reach a definitive conclusion) Introduction and Background XYZ is a major India based IT and Business Process Management (BPM) service provider listed at BSE and NSE. It has more than 1.5 lakh employees operating in 100 offices across 30 countries. It serves more than 500 clients across industry verticals - BFSI, Retail, Government, Healthcare, Telecom among others in Americas, Europe, Asia-Pacific, Middle East and Africa. The company provides IT services including application development and maintenance, IT Infrastructure management, consulting, among others. It also offers IT products mainly for its BFSI customers.
The company is witnessing phenomenal growth in the BPM services over last few years including Finance & Accounting including credit card processing, Payroll processing, Customer support, Legal Process Outsourcing, among others and has rolled out platform based services. Most of the company's revenue comes from the US from the BFSI sector. In order to diversify its portfolio, the company is looking to expand its operations in Europe. India, too has attracted company's attention given the phenomenal increase in domestic IT spend esp. by the government through various large scale IT projects. The company is also very aggressive in the cloud and mobility space, with a strong focus on delivery of cloud services. When it comes to expanding operations in Europe, company is facing difficulties in realizing the full potential of the market because of privacy related concerns of the clients arising from the stringent regulatory requirements based on EU General Data Protection Regulation (EU GDPR).
To get better access to this market, the company decided to invest in privacy, so that it is able to provide increased assurance to potential clients in the EU and this will also benefit its US operations because privacy concerns are also on rise in the US. It will also help company leverage outsourcing opportunities in the Healthcare sector in the US which would involve protection of sensitive medical records of the US citizens.
The company believes that privacy will also be a key differentiator in the cloud business going forward. In short, privacy was taken up as a strategic initiative in the company in early 2011.
Since XYZ had an internal consulting arm, it assigned the responsibility of designing and implementing an enterprise wide privacy program to the consulting arm. The consulting arm had very good expertise in information security consulting but had limited expertise in the privacy domain. The project was to be driven by CIO's office, in close consultation with the Corporate Information Security and Legal functions.
Given the confusion among relationship and function heads, how would you proceed to address the problem and ensure that policy is well understood and deployed? (250 to 500 words)
Answer:
Explanation:
In order to address the confusion among relationship and function heads, it is important to ensure that the privacy policy is effectively communicated and understood by all stakeholders. The following steps can be taken towards this end:
1. Awareness Campaigns - In order to educate the stakeholders about the importance of data privacy, various awareness campaigns should be launched through digital media, print media, and seminars. These campaigns must include topics such as why data privacy is important, the consequences of not adhering to the policy, and how to comply with it.
2. Training - In addition to awareness campaigns, proper training should be provided to all stakeholders on data privacy policies and procedures. The training should also focus on best practices such as secure coding, encryption techniques etc., so that they understand the importance of these security measures in protecting data from unauthorized access.
3. Policies and Procedures - All stakeholders should have access to a clear set of policies and procedures governing their actions related to data privacy. Such guidelines should include information about the types of sensitive information which needs to be kept confidential, what constitutes a violation of the policy, and how to take corrective measures if a violation occurs.
4. Auditing - The effectiveness of all the policies and procedures should be regularly audited in order to ensure that the data privacy policy is being followed properly. Any discrepancies or violations must be reported immediately so that appropriate action can be taken.
5. Reporting Mechanism - A reporting mechanism should also be put into place for stakeholders to report any suspected errors or breaches in data privacy policies. This will help in identifying potential risks early on and taking corrective action as soon as possible.
These initiatives will not only reduce confusion among relationship and function heads but will also help build trust with customers by ensuring proper implementation of enterprise-wide privacy program, which in turn will help the company in leveraging outsourcing opportunities. Lastly, by following all these measures, the company will be able to demonstrate its commitment towards privacy and create a secure environment for its customers.
In conclusion, in order to ensure that policy is well understood and deployed, it is important to take appropriate steps such as launching awareness campaigns, providing training to stakeholders on data privacy policies, auditing policies and procedures regularly, and setting up a reporting mechanism for errors or breaches. Doing so will reduce confusion among relationship and function heads and help build trust with customers by ensuring proper implementation of an enterprise-wide privacy program.
NEW QUESTION # 20
What is a Data Subject? (Choose all that apply.)
- A. An individual whose data/information is processed
- B. An individual who provides his/her data/information for availing any service
- C. A company providing PI of its employees for processing
- D. An individual who collects data from illegitimate sources
- E. An individual who processes the data/information of individuals for providing necessary services
Answer: A,B
NEW QUESTION # 21
Which of the following does the 'Privacy Strategy & Processes' layer in the DPF help accomplish? (Choose all that apply.)
- A. Privacy Policy and Processes
- B. Visibility over Personal Information
- C. Information Usage and Access
- D. Personal Information Security
- E. Regulatory Compliance Intelligence
Answer: A,B,C,D
NEW QUESTION # 22
What is the maximum compensation that can be imposed on an organization for negligence in implementing reasonable security practices as defined in Section 43A of ITAA, 2008?
- A. 15 crores or 4% of the global turnover
- B. 5 lakhs
- C. Uncapped compensation
- D. 5 crores
Answer: A
NEW QUESTION # 23
Which of the following is outside the scope of an organization's privacy incident management plan?
- A. Defers data access rules for business users
- B. Communication of privacy incidents
- C. Detection of leakage of personal information
- D. Remediation of incidents
Answer: A
NEW QUESTION # 24
With respect to privacy monitoring and incident management process, which of the following should be a part of a standard incident handling process?
I) Incident identification and notification
II) Investigation and remediation
III) Root cause analysis
IV) User awareness training on how to report incidents
- A. I and II
- B. I, II and III
- C. All of the Above
- D. III and IV
Answer: C
NEW QUESTION # 25
Categorize the following statements as: Visibility/ Capability /Enforcement /Demonstration Problems
"The network is unable to restrict unwanted external connections carrying sensitive information."
- A. Capability
- B. Enforcement
- C. Visibility
- D. Demonstration
Answer: A
NEW QUESTION # 26
Your district council releases an interactive of map of orange trees in the district which shows that the locality in which your house is located has the highest concentration of orange trees. Does the council map contain your personal information?
- A. No - Orange trees are not a person and so it can't have personal information.
- B. Yes - your ownership of the property is a matter of public record.
- C. It depends - on the context of other information associated with the map.
- D. None of the above.
Answer: C
NEW QUESTION # 27
What are the two phases of DSCI Privacy Third Party Assessment?
- A. Initial and Final
- B. None of the above
- C. Primary and Secondary
- D. Initial and Detailed
Answer: A
NEW QUESTION # 28
Create an inventory of the specific contractual terms that explicitly mention the data protection requirements.
This an imperative of which DPF practice area?
- A. Privacy Contract Management (PCM)
- B. Visibility over Personal Information (VPI)
- C. Information Usage and Access (IUA)
- D. Regulatory Compliance Intelligence (RCI)
Answer: A
NEW QUESTION # 29
"Data which cannot be attributed to a particular data subject without use of additional information." Which of the following best describes the above statement?
- A. Metadata
- B. Anonymized Data
- C. None of the above
- D. Pseudonymized Data
Answer: D
NEW QUESTION # 30
From the following list, identify the technology aspects that are specially designed for upholding privacy:
I) Data minimization
II) Intrusion prevention system
III) Data scrambling
IV) Data loss prevention
V) Data portability
VI) Data obfuscation
VII) Data encryption
VIII) Data mirroring
- A. Only I, III, IV, VI and VII
- B. Only I, II, III, VII and VIII
- C. Only I, III, V, VII and VIII
- D. Only II, V, VI, VII and VIII
Answer: A
NEW QUESTION # 31
The method of personal data usage in which the users must explicitly decide not to participate.
- A. Opt-In
- B. Data mining
- C. Data matching
- D. Opt-out
Answer: D
NEW QUESTION # 32
______________ is used to identify and reduce privacy risks by analyzing what is processed by the entity and the policies in place to protect the data.
- A. Threat Hunting
- B. Minimization
- C. Privacy Impact Assessment
- D. Anonymization
Answer: C
NEW QUESTION # 33
Which of the following mechanisms can be used to transfer personal data outside of a country?
- A. All of the above
- B. Standard contractual clauses
- C. Binding corporate rules
- D. Adequacy decision
Answer: A
NEW QUESTION # 34
Entities should collect personal information from user that is adequate, relevant and limited to what is necessary in relation to the purposes for which they are processed. This Privacy Principle is called:
- A. Accountability
- B. Use Limitation
- C. Storage Limitation
- D. Collection Limitation
Answer: D
NEW QUESTION # 35
......
Real Updated DCPLA Questions & Answers Pass Your Exam Easily: https://www.free4dump.com/DCPLA-braindumps-torrent.html
Easily To Pass New DCPLA Verified & Correct Answers: https://drive.google.com/open?id=1XH6dTO6ZPLR-OSq1-PoyhbeRIM_SI1Zj