Like many other Health IT initiatives today, the primary driver for patient portals is regulatory in nature. Specifically, it is the Meaningful Use requirements related to view, download or transmit and …
PCI DSS
Hello PCI SSC… Can we rethink?
This is a detailed follow-up to the quick post I wrote the Friday before the Labor Day weekend, based on my read at the time of the PCI SSC’s Special Interest Group …
Hello PCI SSC…
Hello PCI SSC, You had me on board until I saw this statement in your guidance1 released yesterday. “However, using risk as the basis for an organization’s information security program …
PCI Breaches Can we at least detect them?
Almost all Payment Card Industry (PCI) breaches over the past year, including the most recent one at Supervalu appear to have the following aspects in common: 1. They involved some compromise …
That Odd Authentication Dichotomy Needs To Change
By now, it should be clear that we need to consider strong (multi factor) authentication for access to anything of value. In an age and time when most public email services …
From A Security Or Compliance StandPoint…
It is probably safe to say that we security professionals hear the phrase in the title of this post rather frequently. For one, I heard it again earlier today from …
Top 10 Pitfalls Security or Privacy Risk Assessments
Risk Assessment is a foundational requirement for an effective security or privacy program and it needs to be the basis for every investment decision in information security or privacy. To …
Compliance obligations need not stand in the way of better information security and risk management
I couldn’t help write this post when I noticed this press release based on an IDC Insights Survey of Oil & Gas Companies. I don’t have access to the full …
May we suggest some priority adjustments to your PCI DSS Compliance program?
It isn’t any news that achieving PCI DSS Compliance continues to be onerous for many merchants out there. PCI DSS is after all an all-or-nothing regulation meaning that not …