Last Updated: 2016-07-03 22:35:14 UTC
by Guy Bruneau (Version: 1)
I was reading a while back about the FDIC data lost who had 5 major breaches between Oct 30, 2015 (taxpayers’ personally identifiable information) and could have been prevented with a combination of host based and network controls to prevent sensitive data from leaving the network. According to the information released, the breaches occurred because individual copied data to USB drives which then left the premises. A strong and effective security policy restricting access to USB drive could have helped prevent this. All removable drives should be encrypted and limit who can write to a removable drive for accountability.
Here are three tips I think can help:
1- Have HR involved and provide awareness training  on a regular basis
Have the human resource (HR) department do awareness training on a regular basis with an emphasis on the organization access data policy and explain the consequences to the company and the individual when data is lost. If the data policy changes, HR must explain clearly what those changes are and why they were implemented.
2- Track, tag and audit sensitive data
It is possible to protect corporate data by tagging and classifying it properly. Employees should have access to the data they need to do their job (need to know) and nothing else. Auditing and reporting who access what help understanding if the proper controls and safeguard are working. These controls should also be applied to who print what documents. For example, if you do business in the EU, in May 2018, the EU  is implementing a new directive on data protection. This update means stiffer penalty of "[...] up to 4% of their global annual turnover."
3- Encrypt all external devices and identify who can transfer sensitive data?
First, having all external devices used to copy sensitive data encrypted is a good idea, if it get lost, it cannot be access without the proper encryption key. Next, have a policy that identify who can copy and save data sensitive data on an external media. As per Item #2, track, audit and report when that data was access or transferred and by whom.
Is Data Privacy part of your Company's Culture? Do you feel the policy use to protect data within your organization is adequate?