On December 15, 2020, the Office of the Comptroller of the Currency, the Federal Reserve Board, and the Federal Deposit Insurance Corporation issued a notice of proposed rulemaking that would require substantially faster notification of cybersecurity incidents involving banking organizations, expand the list of triggering events, and impose first-of-its kind notification requirements for bank service
Latest Post
More Posts
OCIE Issues Alert on Ransomware
Expansive New California Privacy Measure Cleared for November Ballot
PLI Cybersecurity Enforcement Panel: Lessons Learned from Regulators and Law Enforcement
Navigating Cross-Border Data Transfers: Lessons from the Sedona Conference Commentary
Your IT Systems Are Coronavirus-Ready: What About Your Cyber-Risk Controls?
Your IT Systems Are Coronavirus-Ready: What About Your Cyber-Risk Controls?
Introducing a New Author to the Davis Polk Cyber Blog with His First Blog Post: What SEC Examiners Will Ask About Cybersecurity
Davis Polk Cyber Blog Wins LexBlog Excellence Award
Global Data Review Publishes Davis Polk’s Chapter on United States Cybersecurity Laws in GDR Insight Handbook
Subscribe: Subscribe via RSS
Firm/Org