IAPP CIPM Certified Information Privacy Manager (CIPM) Online Training
IAPP CIPM Online Training
The questions for CIPM were last updated at Nov 26,2024.
- Exam Code: CIPM
- Exam Name: Certified Information Privacy Manager (CIPM)
- Certification Provider: IAPP
- Latest update: Nov 26,2024
SCENARIO
Please use the following to answer the next QUESTION:
As the Director of data protection for Consolidated Records Corporation, you are justifiably pleased with your accomplishments so far. Your hiring was precipitated by warnings from regulatory agencies following a series of relatively minor data breaches that could easily have been worse. However, you have not had a reportable incident for the three years that you have been with the company. In fact, you consider your program a model that others in the data storage industry may note in their own program development.
You started the program at Consolidated from a jumbled mix of policies and procedures and worked toward coherence across departments and throughout operations. You were aided along the way by the program’s sponsor, the vice president of operations, as well as by a Privacy Team that started from a clear understanding of the need for change.
Initially, your work was greeted with little confidence or enthusiasm by the company’s "old guard" among both the executive team and frontline personnel working with data and interfacing with clients. Through the use of metrics that showed the costs not only of the breaches that had occurred, but also projections of the costs that easily could occur given the current state of operations, you soon had the leaders and key decision-makers largely on your side. Many of the other employees were more resistant, but face-to-face meetings with each department and the development of a baseline privacy training program achieved sufficient "buy-in" to begin putting the proper procedures into place.
Now, privacy protection is an accepted component of all current operations involving personal or protected data and must be part of the end product of any process of technological development. While your approach is not systematic, it is fairly effective.
You are left contemplating:
What must be done to maintain the program and develop it beyond just a data breach prevention program? How can you build on your success?
What are the next action steps?
What stage of the privacy operational life cycle best describes Consolidated’s current privacy program?
- A . Assess.
- B . Protect.
- C . Respond.
- D . Sustain.
SCENARIO
Please use the following to answer the next QUESTION:
As the Director of data protection for Consolidated Records Corporation, you are justifiably pleased with your accomplishments so far. Your hiring was precipitated by warnings from regulatory agencies following a series of relatively minor data breaches that could easily have been worse. However, you have not had a reportable incident for the three years that you have been with the company. In fact, you consider your program a model that others in the data storage industry may note in their own program development.
You started the program at Consolidated from a jumbled mix of policies and procedures and worked toward coherence across departments and throughout operations. You were aided along the way by the program’s sponsor, the vice president of operations, as well as by a Privacy Team that started from a clear understanding of the need for change.
Initially, your work was greeted with little confidence or enthusiasm by the company’s "old guard" among both the executive team and frontline personnel working with data and interfacing with clients. Through the use of metrics that showed the costs not only of the breaches that had occurred, but also projections of the costs that easily could occur given the current state of operations, you soon had the leaders and key decision-makers largely on your side. Many of the other employees were more resistant, but face-to-face meetings with each department and the development of a baseline privacy training program achieved sufficient "buy-in" to begin putting the proper procedures into place.
Now, privacy protection is an accepted component of all current operations involving personal or protected data and must be part of the end product of any process of technological development. While your approach is not systematic, it is fairly effective.
You are left contemplating:
What must be done to maintain the program and develop it beyond just a data breach prevention program? How can you build on your success?
What are the next action steps?
What practice would afford the Director the most rigorous way to check on the program’s compliance with laws, regulations and industry best practices?
- A . Auditing.
- B . Monitoring.
- C . Assessment.
- D . Forensics.
SCENARIO
Please use the following to answer the next QUESTION:
As the Director of data protection for Consolidated Records Corporation, you are justifiably pleased with your accomplishments so far. Your hiring was precipitated by warnings from regulatory agencies following a series of relatively minor data breaches that could easily have been worse. However, you have not had a reportable incident for the three years that you have been with the company. In fact, you consider your program a model that others in the data storage industry may note in their own program development.
You started the program at Consolidated from a jumbled mix of policies and procedures and worked toward coherence across departments and throughout operations. You were aided along the way by the program’s sponsor, the vice president of operations, as well as by a Privacy Team that started from a clear understanding of the need for change.
Initially, your work was greeted with little confidence or enthusiasm by the company’s "old guard" among both the executive team and frontline personnel working with data and interfacing with clients. Through the use of metrics that showed the costs not only of the breaches that had occurred, but also projections of the costs that easily could occur given the current state of operations, you soon had the leaders and key decision-makers largely on your side. Many of the other employees were more resistant, but face-to-face meetings with each department and the development of a baseline privacy training program achieved sufficient "buy-in" to begin putting the proper procedures into place.
Now, privacy protection is an accepted component of all current operations involving personal or protected data and must be part of the end product of any process of technological development. While your approach is not systematic, it is fairly effective.
You are left contemplating:
What must be done to maintain the program and develop it beyond just a data breach prevention program? How can you build on your success?
What are the next action steps?
What analytic can be used to track the financial viability of the program as it develops?
- A . Cost basis.
- B . Gap analysis.
- C . Return to investment.
- D . Breach impact modeling.
SCENARIO
Please use the following to answer the next QUESTION:
As the Director of data protection for Consolidated Records Corporation, you are justifiably pleased with your accomplishments so far. Your hiring was precipitated by warnings from regulatory agencies following a series of relatively minor data breaches that could easily have been worse. However, you have not had a reportable incident for the three years that you have been with the company. In fact, you consider your program a model that others in the data storage industry may note in their own program development.
You started the program at Consolidated from a jumbled mix of policies and procedures and worked toward coherence across departments and throughout operations. You were aided along the way by the program’s sponsor, the vice president of operations, as well as by a Privacy Team that started
from a clear understanding of the need for change.
Initially, your work was greeted with little confidence or enthusiasm by the company’s "old guard" among both the executive team and frontline personnel working with data and interfacing with clients. Through the use of metrics that showed the costs not only of the breaches that had occurred, but also projections of the costs that easily could occur given the current state of operations, you soon had the leaders and key decision-makers largely on your side. Many of the other employees were more resistant, but face-to-face meetings with each department and the development of a baseline privacy training program achieved sufficient "buy-in" to begin putting the proper procedures into place.
Now, privacy protection is an accepted component of all current operations involving personal or protected data and must be part of the end product of any process of technological development. While your approach is not systematic, it is fairly effective.
You are left contemplating:
What must be done to maintain the program and develop it beyond just a data breach prevention program? How can you build on your success?
What are the next action steps?
What process could most effectively be used to add privacy protections to a new, comprehensive program being developed at Consolidated?
- A . Privacy by Design.
- B . Privacy Step Assessment.
- C . Information Security Planning.
- D . Innovation Privacy Standards.
Which of the following indicates you have developed the right privacy framework for your organization?
- A . It includes a privacy assessment of each major system.
- B . It improves the consistency of the privacy program.
- C . It works at a different type of organization.
- D . It identifies all key stakeholders by name.
Rationalizing requirements in order to comply with the various privacy requirements required by applicable law and regulation does NOT include which of the following?
- A . Harmonizing shared obligations and privacy rights across varying legislation and/or regulators.
- B . Implementing a solution that significantly addresses shared obligations and privacy rights.
- C . Applying the strictest standard for obligations and privacy rights that doesn’t violate privacy laws elsewhere.
- D . Addressing requirements that fall outside the common obligations and rights (outliers) on a case-by-case basis.
What is the name for the privacy strategy model that describes delegated decision making?
- A . De-centralized.
- B . De-functionalized.
- C . Hybrid.
- D . Matrix.
Which of the following controls does the PCI DSS framework NOT require?
- A . Implement strong asset control protocols.
- B . Implement strong access control measures.
- C . Maintain an information security policy.
- D . Maintain a vulnerability management program.
Which of the following privacy frameworks are legally binding?
- A . Binding Corporate Rules (BCRs).
- B . Generally Accepted Privacy Principles (GAPP).
- C . Asia-Pacific Economic Cooperation (APEC) Privacy Framework.
- D . Organization for Economic Co-Operation and Development (OECD) Guidelines.
Which of the following is an example of Privacy by Design (PbD)?
- A . A company hires a professional to structure a privacy program that anticipates the increasing demands of new laws.
- B . The human resources group develops a training program for employees to become certified in privacy policy.
- C . A labor union insists that the details of employers’ data protection methods be documented in a new contract.
- D . The information technology group uses privacy considerations to inform the development of new networking software.