Apr
24
2019
Speaking Engagement, Webinar

Vendors, GLBA, and Insurance - Oh My! The Changing Landscape of Cybersecurity Regulation in Higher Education

Co-presented with GreyCastle Security

Location:
Webinar

Date:
April 24, 2019
2:00 pm EST


HSE Privacy and Data Security Chair F. Paul Greene, CIPP/US will be joining an upcoming webinar, hosted by GreyCastle Security, titled, "Vendors, GLBA, and Insurance - Oh My! The Changing Landscape of Cybersecurity Regulation in Higher Education."

Webinar Overview:

New year, new threats, this time in the form of a changing regulatory landscape when it comes to cybersecurity. Under the Gramm-Leach-Bliley Act, many institutions are scrambling to get their policies, procedures, and practices in compliance before they receive an adverse audit finding.

With the rapid expansion of student/applicant CRMs, a new attack surface is subject to exploit: student, applicant, and alumni data maintained on SaaS platforms. And when it comes to risk transfer via insurance, coverage is changing and your policy may not cover exactly what you think it covers.

Join F. Paul Greene, Partner at Harter Secrest & Emery, and Dan Didier, Vice President of Services at GreyCastle Security, for this timely update to get real-world insight into these three crucial issues as you look forward to the rest of 2019 and plan for 2020.

This unique joint forum, encompassing both security and legal insight, will provide you with a full picture of your risks, as well as potential risk mitigation strategies, in relation to these evolving threats.

In this webinar, attendees will learn how to:

  • Navigate the changing regulatory landscape of GLBA.
  • Proactively prepare for information security audits.
  • Manage and mitigate risk within the higher education environment.

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Disclaimer

This website presents only general information not intended as legal advice. Although we encourage calls, letters and emails from prospective clients, please keep in mind that merely contacting Harter Secrest & Emery LLP (HSE) does not establish an attorney-client relationship between us. Confidential information should not be sent to HSE until you have been notified in writing by HSE that a formal attorney-client relationship has been established. Information sent to us before then may not be treated as confidential by HSE or the court.

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