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Protecting personal information
You cant protect PII unless you can identify it, says NISTs Erika McCallister, a co-author of the new work. The new NIST publication provides practical guidelines for implementing a basic definition of PII established by the governments Office and Management and Budget (OMB) in a 2007 memo: information which can be used to distinguish or trace an individuals identity* either all by itselfsuch as fingerprints, which are uniqueor in combination with other information, such as date of birth, which can belong to multiple people but can be narrowed down to an individual in connection with other data. Echoing former national security advisor McGeorge Bundy, who once stated, If we guard our toothbrushes and diamonds with equal zeal, we will lose fewer toothbrushes and more diamonds, McCallister and her co-authors observe that, All PII is not created equal. A telephone area code holds less specific information about an individual than a social security number, so you dont need to protect things the same way, McCallister says. The NIST team recommends tailoring safeguards to the level of risk involved in holding personal information. PII should be graded by PII confidentiality impact level, the degree of potential harm that could result from the PII if it is inappropriately revealed. For example, an organization might require appropriate training for all individuals who are granted access to PII, with special emphasis on moderate- and high-impact PII, and might restrict access to high-impact PII from mobile devices, such as laptops and cellphones, which are generally at greater risk of compromise than non-portable devices, such as desktop computers at the organizations headquarters. The publication also recommends basic actions that organizations should take: identify all the PII they maintain, minimize the amount of PII they collect to what is strictly necessary to accomplish their mission, and develop incident response plans to handle breaches of PII. Such plans would include elements such as determining when and how individuals should be notified, and whether to provide remedial services, such as credit monitoring, to affected individuals. Posted by: Ethen Source |
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