DSCI DCPLA DSCI Certified Privacy Lead Assessor Online Training
DSCI DCPLA Online Training
The questions for DCPLA were last updated at Feb 13,2025.
- Exam Code: DCPLA
- Exam Name: DSCI Certified Privacy Lead Assessor
- Certification Provider: DSCI
- Latest update: Feb 13,2025
CORRECT TEXT
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VPI
As a starting point, the consultants undertook a visibility exercise to understand the type of personal information (PI) being dealt with within the organization and also by third parties and the scope was to cover all the client relationships (IT services and BPM both) and functions. They met with the client relationship and business function owners to collect this data. The consultants did a mapping exercise to identify PI and associated attributes including whether company directly collects the PI, how it is accessed, transmitted, stored and what are the applicable regulatory and contractual requirements. Given the enormous scale of the exercise (enterprise wide), the consultant classified the PI as financial information, health related information, personally identifiable information, etc. and collected the rest of the attributes against this classification. When understanding the underlying technology environment, the consultants restricted themselves only to the technology environment that was under company’s ownership and premises and did not continue the exercise for client side environment. This was done because relationship owners seemed reluctant to share such client specific details. Only in 2 relationships, were the relationship heads proactive to introduce the consultants to the clients and get the requisite information. The analysis of the environment in these 2 relationships revealed that even though lots of restrictions were imposed at the company side, the same restrictions were not available at the client side.
Many business functions were also availing services from third party service providers. Though these functions were aware of the type of PI dealt by third parties, they were not aware of the technology environment at the third parties. In one odd case, personal information of a company employee was accidentally leaked by the employee of the third party through the social networking site. The consultants relied on whatever information was provided by the functions w.r.t. third parties. After finishing the data collection, the consultant used the information to create information flow maps highlighting the flow of information across systems deployed at the company premises. This work helped them have a high level view of PI dealt by the company. The data collection exercise has been conducted only once by the consultants. The visibility exercise empowered the management to have a company-wide view of PI and how it flows across the organization. This information was coupled with the security controls / practices deployed at the relationship or function level to derive the risk posture of the PI.
(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.
Was the visibility exercise adequately carried out? What gaps did you notice? (250 to 500
words)
Classify the following scenario as major or minor non-conformity.
“The organization is aware of the PI dealt by it at a broad level based on the business services provided but does not have the detailed view of which business functions, processes or relationships deal with what types of PI including usage, access, transmission, storage, etc.”
- A . Major
- B . Minor
- C . Both Major & Minor
- D . None of the above
As a newly appointed Data Protection officer of an IT company gearing up for DSCI’s privacy certification, you are trying to understand what data elements are involved in each of the business process, function and if these data elements can be classified as sensitive personal information.
What is being accomplished with this effort?
- A . Organization to get “Visibility” over its exposure to sensitive personal information
- B . It is a part of the annual exercise per the organization’s privacy policy / processes
- C . Information security controls for confidential information being reviewed
- D . Gathering inputs to restructure privacy function
Which of the following are the key factors that need to be considered for determining the applicability of the privacy principles? (Choose all that apply.)
- A . The role of the organization in determining the purpose of the data collection
- B . How and where the data is coming in the organization
- C . Requirements stipulated by the local authorities from where the organization operating
- D . Organization’s commitment to the external stakeholder with respect to privacy
‘Map the legal and compliance requirements to each data element that an organization is dealing with in all of its business processes, enterprise and operational functions, and client relationships.’
This an imperative of which DPF practice area?
- A . Visibility over Personal Information (VPI)
- B . Privacy Organization and Relationship (POR)
- C . Regulatory Compliance Intelligence (RCI)
- D . Privacy Policy and Processes (PPP)
Arrange the following techniques in decreasing order of the risk of re-identification:
I) Pseudonymization
II) De-identification
III) Anonymization
- A . I, II
- B . III, II, I
- C . II, III, I
- D . All have equal risk of re-identification
XYZ bank has recently decided to start offering online banking services. For doing so, the bank has outsourced its IT operations and processes to various third parties. Acknowledging privacy concerns, bank has decided to implement a privacy program.
Assuming you have been tasked to deploy this framework for the bank, which of the following would most likely be your first step?
- A . Create an inventory of business processes that deal with personal information and identify the associated data element
- B . Ensure that bank is equipped to test the relevance of each legal and compliance requirement in its environment
- C . Assign privacy roles and responsibilities for process owners
- D . None of the above
Which of the following are classified as Sensitive Personal Data or Information under Section 43A of ITAA, 2008? (Choose all that apply.)
- A . Password
- B . Financial information
- C . Sexual orientation
- D . Caste and religious beliefs
- E . Biometric information
- F . Medical records and history
A newly appointed Data Protection officer is reviewing the organization’s existing privacy policy.
Which of the following would be the most critical factor for the review process?
- A . Awareness of the business units about the privacy policy
- B . Changes in the legal/regulatory regime
- C . Privacy policies of industry peers
- D . Foreseeable challenges in the effective implementation of the policy
What are the two phases of DSCI Privacy Third Party Assessment?
- A . Initial and Detailed
- B . Primary and Secondary
- C . Initial and Final
- D . None of the above