News & Analysis as of

Data Security Service Agreements

Manatt, Phelps & Phillips, LLP

[Webinar] FTC’s Heightened Scrutiny of Health Apps: Increased Enforcement Activity; Proposed HBNR Changes - September 26th, 10:00...

With recent events underscoring the Federal Trade Commission’s (FTC) heightened scrutiny of and enforcement efforts against health app companies collecting or using consumer health information, it's imperative for these same...more

Morgan Lewis - Tech & Sourcing

Service Locations and Remote Work Following COVID-19

In a March 2020 LawFlash, we highlighted that restrictions on service delivery locations and remote work could become key issues during the pandemic. Remote work was one of our five key issues in outsourcing and managed...more

Morgan Lewis

Contract Corner: Data Safeguards in Services Agreements (Part 3)

Morgan Lewis on

In Part 1 and Part 2 of this Contract Corner, we discussed the importance of assessing and defining the types of data involved in a services agreement, and highlighted issues to consider with respect to the ownership and...more

Morgan Lewis

Contract Corner: Data Safeguards in Services Agreements (Part 1)

Morgan Lewis on

Drafting and negotiating the data protection provisions in services agreements can be one of the trickier and more time-consuming aspects of the contracting process. One of our prior Contract Corner series from 2014 discussed...more

Ballard Spahr LLP

HHS Designates Cloud Service Providers as Business Associates Under HIPAA

Ballard Spahr LLP on

Cloud service providers that process electronic protected health information (ePHI) are business associates under the Health Insurance Portability and Accountability Act of 1996 (HIPAA), even if the PHI is encrypted and the...more

Cooley LLP

Alert: FCC Releases Sweeping Privacy Order

Cooley LLP on

The Federal Communications Commission has released a 177-page order detailing new privacy and data security rules. It is important to note that these new rules not only apply to providers of broadband internet access service...more

Adams and Reese LLP

Six Steps Banks Should Implement to Ensure Their Security Procedures are Commercially Reasonable

Adams and Reese LLP on

Banks are tasked by the Uniform Commercial Code (the UCC) with using “commercially reasonable” security procedures when processing funds transfers. This responsibility is constantly evolving as bank fraud becomes more...more

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