ML23338A088
| ML23338A088 | |
| Person / Time | |
|---|---|
| Issue date: | 11/15/2023 |
| From: | NRC/OCIO, NRC/OGC |
| To: | |
| Butler J | |
| References | |
| Download: ML23338A088 (22) | |
Text
U.S. Nuclear Regulatory Commission Privacy Impact Assessment Integrity Office of the General Counsel (OGC)
Office of the Chief Information Officer (OCIO)
Version 1.0 11/15/2023 Template Version 2.0 (08/2023)
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 Document Revision History Date Version PIA Name/Description Author 11/15/2023 1.0 Integrity - Office of General Counsel OGC / OCIO Oasis Systems, LLC 10/25/2023 DRAFT Integrity - Draft Release OGC / OCIO Oasis Systems, LLC
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 Table of Contents 1
Description 1
2 Authorities and Other Requirements 3
3 Characterization of the Information 4
4 Data Security 6
5 Privacy Act Determination 8
6 Records and Information Management-Retention and Disposal 9
7 Paperwork Reduction Act 12 8
Privacy Act Determination 15 9
OMB Clearance Determination 16 10 Records Retention and Disposal Schedule Determination 17 11 Branch Chief Review and Concurrence 18
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 1 The agency is subject to the requirements of the E-Government Act and is committed to identifying and addressing privacy risks whenever it develops or makes changes to its information systems. The questions below help determine any privacy risks related to the E-Government Act or later guidance by the Office of Management and Budget (OMB) and the National Institute of Standards and Technology (NIST).
Name/System/Subsystem/Service Name: Integrity.
Data Storage Location (i.e., Database Server, SharePoint, Cloud, Other Government Agency, Power Platform) Integrity is owned by the U.S. Office of Government Ethics (OGE) and hosted in the U.S. Department of Agriculture (USDA) Digital Infrastructure Services Center (DISC) Government Community Cloud.
Date Submitted for review/approval: November 15, 2023.
1 Description 1.1 Provide the description of the system/subsystem, technology (i.e., Microsoft Products), program, or other data collections (hereinafter referred to as project).
Explain the reason the project is being created.
Integrity is a secure, controlled-access, web-based information system created by the U.S. OGE for the executive branch of the U.S. Federal Government for electronically filing and reviewing public financial disclosure reports. The system is used to collect, manage, process, and store financial disclosure information from select members of the public in anticipation of nomination by the President and approval by the Senate and certain federal employees. Authorized agency ethics officials use the collected data to identify and resolve potential conflicts of interest between an employee's official duties and his or her private financial interests and affiliations.
OGE contracted with the U.S. Department of Agriculture (USDA) DISC, formerly known as the USDA National Information Technology Center (NITC), to host Integrity in a secure cloud environment. The USDA DISC is a federally owned Cloud Service Provider (CSP) authorized by the Federal Risk and Authorization Management Program (FedRAMP).
Please mark appropriate response below if your project/system will involve the following:
PowerApps Public Website Dashboard Internal Website SharePoint None Other: Government Community Cloud-based system owned by OGE
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 2 1.2 Does this privacy impact assessment (PIA) support a proposed new project, proposed modification to an existing project, or other situation? Select options that best apply in table below.
Mark appropriate response.
Status Options
New system/project
Modification to an existing system/project.
If modifying or making other updates to an existing system/project, provide the ADAMS ML of the existing PIA and describe the modification.
Annual Review If making minor edits to an existing system/project, briefly describe the changes below.
The PIA has been transferred into the latest template.
Other (explain) 1.3 Points of
Contact:
Project Manager System Owner/Data Owner/Steward ISSO Business Project Manager Technical Project Manager Executive Sponsor Name Jay Hosseini Tison Campbell Jonathan Butler Tracy Hurston N/A Mary Spencer Office
/Division
/Branch Office of the Chief Information Officer (OCIO)
/Governance &
Enterprise Management Services Division (GEMSD)
/Architecture, Portfolio, &
Investment Branch (APIB)
/Project Management Team (PMT)
Office of the General Counsel /
Legislation, Ethics, and Administrative Law Office of the Chief Information Officer (OCIO)
/ Cyber and Infrastructure Security Division (CISD)
United States Office of Government Ethics (OGE)
N/A Office of the General Counsel /
Legislation, Rulemaking and Agency Administration Telephone 301-415-0021 301-287-9290 301-415-2560 202-482-9251 N/A 301-287-9161
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 3 2 Authorities and Other Requirements 2.1 What specific legal authorities and/or agreements permit the collection of information for the project?
Provide all statutory and regulatory authorities for operating the project, including the authority to collect the information; NRC internal policy is not a legal authority. Please mark appropriate response in table below.
Mark with an X on all that apply.
Authority Citation/Reference
Statute Ethics in Government Act of 1978 (EIGA) as amended, 5 U.S.C. §101, 103(1)
The Stop Trading on Congressional Knowledge Act of 2012 (STOCK Act),
Pub. L. No. 112-105, 125 Stat. 191, 298-99 (2012), as amended
Executive Order Executive Order 12674 (April 12, 1989), as modified by Executive Order 12731 (October 17, 1990)
Federal Regulation 5 C.F.R. Part 2634 5 C.F.R Part 2635 5 C.F.R. Part 2638 5 C.F.R. Part 5801.102
Memorandum of Understanding/Agreement Memorandum of Acknowledgements between the U.S. OGE & the Nuclear Regulatory Commission (ML15352A085)
Other (summarize and provide a copy of relevant portion) 2.2 Explain how the information will be used under the authority listed above (i.e., enroll employees in a subsidies program to provide subsidy payment).
The purpose of this executive branch-wide system is to electronically collect, manage, process, measure, and store reported financial and related information used in the OGE Form 278e and the OGE Form 278-T. Authorized OGE and NRC users will use the collected information to identify, prevent, and resolve conflicts of interest in accordance with Ethics in Government Act of 1978 (EIGA).
If the project collects Social Security numbers, state why this is necessary and how it will be used.
N/A.
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 4 3 Characterization of the Information In the table below, mark the categories of individuals for whom information is collected.
Category of individual
Federal employees
Contractors
Members of the Public (any individual other than a federal employee, consultant, or contractor)
Licensees
Other In the table below, is a list of the most common types of Personally Identifiable Information (PII) collected. Mark all PII that is collected and stored by the project/system. If there is additional PII not defined in the table below, a comprehensive listing of PII is provided for further reference in ADAMS at the following link: PII Reference Table 2023.
Categories of Information
Name
Resume or curriculum vitae
Date of Birth
Driver's License Number
Country of Birth
License Plate Number
Citizenship
Passport number
Nationality
Relatives Information
Race
Taxpayer Identification Number
Home Address
Credit/Debit Card Number
Social Security number (Truncated or Partial)
Medical/health information
Gender
Alien Registration Number
Ethnicity
Professional/personal references
Spouse Information
Criminal History
Personal e-mail address
Biometric identifiers (facial images, fingerprints, iris scans)
Personal Bank Account Number
Emergency contact e.g., a third-party to contact in case of an emergency
Personal Mobile Number
Accommodation/disabilities information
Marital Status
Children Information
Mother's Maiden Name
Other: agency, business address, and official email address. Filers using the system provide their official position title and reportable personal financial information.
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 5 3.1 Describe how the data is collected for the project. (i.e., NRC Form, survey, questionnaire, existing NRC files/ databases, response to a background check).
The purpose of this executive branch-wide system is to electronically collect, manage, process, measure, and store reported financial and related information used in the OGE Form 278e and the OGE Form 278-T. Authorized OGE and NRC users will use the collected information to identify, prevent, and resolve conflicts of interest in accordance with Ethics in Government Act of 1978 (EIGA).
3.2 If using a form to collect the information, provide the form number, title and/or a link.
The forms that are used to collect information are the OGE Form 278e (OGE Form 278e) and the OGE Form 278-T (OGE Form 278-T).
3.3 Who provides the information? Is it provided directly from the individual or a third-party.
The information is provided by the individual.
3.4 Explain how the accuracy of the data collection is validated. If the project does not check for accuracy, please explain why.
All information about a subject individual will be provided by the subject individual. Individual users are responsible for ensuring the information they enter is accurate and are required to certify to the accuracy of the information. The system will generate an error message and highlight incomplete required fields.
3.5 Will PII data be used in a test environment? If so, explain the rationale.
N/A.
3.6 What procedures are in place to allow the subject individual to correct inaccurate or erroneous information?
All the information about a subject individual will be provided by the subject individual when they submit the OGE Form 278e or 278-T. Individuals are able to make corrections to the data if necessary.
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 6 4 Data Security 4.1 Describe who has access to the data in the project (i.e., internal NRC, system administrators, external agencies, contractors, public).
Only system-registered, authorized users will be granted access to the system. The system will be used by OGC who will manage accounts and roles for other NRC users who are required to use Integrity to file public financial disclosure reports.
4.2 If the project/system shares information with any other NRC systems, identify the system, what information is being shared and the method of sharing.
Integrity does not share information with other NRC systems.
4.3 If the project/system connects, receives, or shares information with any external non-NRC partners or systems, identify what is being shared.
OGE owns and maintains the system and has access to system information.
Identify what agreements are in place with the external non-NRC partner or system in the table below.
Agreement Type
Contract Provide Contract Number:
License Provide License Information:
Memorandum of Understanding Provide ADAMS ML number for MOU: Memorandum of Acknowledgements between the U.S. OGE & the Nuclear Regulatory Commission (ML15352A085)
Other
None 4.4 Describe how the data is accessed and describe the access control mechanisms that prevent misuse.
OGE is responsible for ensuring physical controls are implemented and in place to mitigate the privacy risks for unauthorized access. Electronic controls, such as multi-factor authentication, are in place to protect the data. Access to the system is controlled. Access to system information is role-based. Executive branch agencies control their users access to information.
Only users who are registered with credentials at MAX.gov or use PIV/CAC card can access the system. Detailed information regarding system security controls is documented in the agencys Integrity System Security Plan.
The data view is role-based. Only certain roles have access to the filers data. Agencies using the system appoint agency role assignment administrators who assign users roles (e.g., filer, reviewer, group administrator) in the system.
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 7 4.5 Explain how the data is transmitted and how confidentiality is protected (i.e.,
encrypting the communication or by encrypting the information before it is transmitted).
A system users information is encrypted when in transit using the highest available level of encryption currently supported by web browsers.
4.6 Describe where the data is being stored (i.e., NRC, Cloud, Contractor Site).
Integrity is hosted by the USDA DISC in a secure cloud environment. The USDA DISC is a FedRAMP authorized cloud service provider.
4.7 Explain if the project can be accessed or operated at more than one location.
No. The system is hosted in a U.S. Government Community Cloud.
4.8 Can the project be accessed by a contractor? If so, do they possess an NRC badge?
Yes. Contractors are involved in the design and development of this system. Contractors sign Confidentiality and Non-Disclosure Agreements. No they do not possess an NRC badge.
In addition, OGEs Privacy Act System of Records includes a routine that allows agencies, including OGE, to disclose information to contractors performing or working on a contract for the federal government, when necessary, to accomplish an agency function related to the System of Records Notice.
4.9 Explain the auditing measures and technical safeguards in place to prevent misuse of data.
Integrity system components, including operating system, database, and application components, generate audit logs. Auditing is configured in accordance with FISMA and NIST requirements.
4.10 Describe if the project has the capability to identify, locate, and monitor (i.e.,
trace/track/observe) individuals.
No, Integrity does not have the capacity to identify, locate, and monitor individuals.
4.11 Define which FISMA boundary this project is part of.
OGE issued an Authorization to Operate (ATO) for Integrity on September 13, 2021. NRC authorized Integrity as a subsystem of Third-Party System (TPS) on November 17, 2021. Both agencies perform independent security assessments for their systems annually.
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 8 4.12 Is there an Authority to Operate (ATO) associated with this project/system?
Authorization Status
Unknown
No If no, please note that the authorization status must be reported to the Chief Information Security Officer (CISO) and Computer Security Organization (CSOs)
Point of Contact (POC) via e-mail quarterly to ensure the authorization remains on track.
In Progress provide the estimated date to receive an ATO.
Estimated date:
Yes Indicate the data impact levels (Low, Moderate, High, Undefined) approved by the Chief Information Security Officer (CISO)
Confidentiality-Moderate Integrity-Moderate Availability-Moderate 4.13 Provide the NRC system Enterprise Architecture (EA)/Inventory number. If unknown, contact EA Service Desk to get the EA/Inventory number.
Integrity is a subsystem of TPS; EA number is 20180002.
5 Privacy Act Determination 5.1 Is the data collected retrieved by a personal identifier?
Mark the appropriate response.
Response
Yes, the PII is retrieved by a personal identifier (i.e., individuals name, address, SSN, etc.)
List the identifiers that will be used to retrieve the information on the individual.
The data is retrievable by a filers name, date, and/or form type (e.g., OGE Form 278e, OGE Form 278-T).
No, the PII is not retrieved by a personal identifier.
If no, explain how the data is retrieved from the project.
5.2 For all collections where the information is retrieved by a personal identifier, the Privacy Act requires that the agency publish a System of Record Notice (SORN) in the Federal Register. As per the Privacy Act of 1974, "the term 'system of records' means a group of any records under the control of any agency from which information is retrieved by the name of the individual or by some other personal identifier assigned to the individual.
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 9 Mark the appropriate response in the table below.
Response
Yes, this system is covered by an existing SORN. (See existing SORNs:
https://www.nrc.gov/reading-rm/foia/privacy-systems.html )
Provide the SORN name, number, (List all SORNs that apply):
Government-wide, OGE/GOVT-1 SORN.
SORN is in progress
SORN needs to be created
Unaware of an existing SORN
No, this system is not a system of records and a SORN is not applicable.
5.3 When an individual is asked to provide personal data (i.e., form, webpage, survey), is a Privacy Act Statement (PAS) provided?
A Privacy Act Statement is a disclosure statement required to appear on documents used by agencies when an individual is asked to provide personal data. It is required for any forms, surveys, or other documents, including electronic forms, used to solicit personal information from individuals that will be maintained in a system of records.
Mark the appropriate response.
Options
Privacy Act Statement
Not Applicable
Unknown 5.4 Is providing the PII mandatory or voluntary? What is the effect on the individual by not providing the information?
Yes, it is mandatory to provide PII. Filers are required to report all requested information on the OGE Form 278e or OGE Form 278-T in order to satisfy reporting requirements.
6 Records and Information Management-Retention and Disposal The National Archives and Records Administration (NARA), in collaboration with federal agencies, approves whether records are Temporary (eligible at some point for destruction/deletion because they no longer have business value) or Permanent (eligible at some point to be transferred to the National Archives because of historical or evidential significance). Records/data and information with historical value, identified as having a
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 10 permanent disposition, are transferred to the National Archives of the United States at the end of their retention period. All other records identified as having a temporary disposition are destroyed at the end of their retention period in accordance with the NARA Records Schedule or the General Records Schedule.
These determinations are made through records retention schedules and NARA statutes (44 United States Code (U.S.C.), 36 Code of Federation Regulations (CFR)). Under 36 CFR, agencies are required to establish procedures for addressing Records and Information Management (RIM) requirements. This includes strategies for establishing and managing recordkeeping requirements and disposition instructions before approving new electronic information systems or enhancements to existing systems.
The following questions are intended to determine whether the records/data and information in the system have approved records retention schedules and disposition instructions, whether the system incorporates RIM strategies including support for NARAs Universal Electronic Records Management (ERM) requirements, and if a mitigation strategy is needed to ensure compliance.
If the project/system:
Does not have an approved records retention schedule and/or Does not have an automated RIM functionality, Involves a cloud solution, And/or if there are additional questions regarding Records and Information Management
- Retention and Disposal, please contact the NRC Records staff at ITIMPolicy.Resource@nrc.gov for further guidance.
If the project/system has a record retention schedule or an automated RIM functionality, please complete the questions below.
6.1 Does this project map to an applicable retention schedule in NRCs Comprehensive Records Disposition Schedule (NUREG-0910), or NARAs General Records Schedules?
NUREG-0910, NRC Comprehensive Records Disposition Schedule
NARAs General Records Schedules
Unscheduled
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 11 6.2 If so, cite the schedule number, approved disposition, and describe how this is accomplished.
System Name (include sub-systems, platforms, or other locations where the same data resides)
Integrity Records Retention Schedule Number(s)
GRS 2.8 - Employee Ethics Records GRS 2.8 item 060 - Public financial disclosure reports. Reports for individuals filing in accordance with the Ethics in Government Actand not subsequently confirmed by the U.S.
Senate.
GRS 2.8 item 061 - Public financial disclosure reports. All other reports.
GRS 2.8 item 062 - Public financial disclosure reports. Periodic transaction reports.
Approved Disposition Instructions See entries below for schedule numbers/titles and disposition instructions.
Is there a current automated functionality or a manual process to support RIM requirements? This includes the ability to apply records retention and disposition policies in the system(s) to support records accessibility, reliability, integrity, and disposition.
N/A Disposition of Temporary Records Will the records/data or a composite be automatically or manually deleted once they reach their approved retention?
OGE/GOVT-1 SORN RETENTION AND DISPOSAL:
In accordance with the NARA General Records Schedule for ethics program records, these records are generally retained for a period of six years after filing, or for such other period of time as is provided for in that schedule for certain specified types of ethics records. In cases where records are filed by, or with respect to, a nominee for an appointment requiring confirmation by the Senate when the nominee is not appointed and Presidential and Vice-Presidential candidates who are not elected, the records are generally destroyed one year after the date the individual ceased being under Senate consideration for appointment or is no longer a candidate for office.
However, if any records are needed in an ongoing investigation, they will be retained until no longer needed in the investigation. Destruction is by shredding or electronic deletion.
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 12 PIA Template (03-2021)
A filers data for the OGE Form 278e public financial disclosure reports and related records maintained in the system is identified for deletion from the system in compliance with section 105(e)(2)(d) of EIGA (5 U.S.C. app.):
1 year after the date the individual withdraws or otherwise is no longer under consideration for a Presidentially appointed, Senate-confirmed position, or 6 years after the year the report was received for other filers, or when no longer needed for active investigation, whichever is later.
Filers data related to the OGE Form 278-T Periodic Transaction Reports, mandated by the Stop Trading on Congressional Knowledge Act (STOCK Act) of 2012, is to be deleted from the system usually when 7 years old, when the related (subsequent) OGE Form 278e which they support is deleted from the system, or when no longer needed for active investigation, whichever is later.
Certain information about individuals such as name, executive branch agency, and position title will be deleted manually when all related document data has been deleted. System administration reports will be deleted when OGE determines that they are no longer needed for administrative, legal, audit, or operational purposes under General Records Schedule 3.2, Item 30.
Disposition of Permanent Records Will the records be exported to an approved format and transferred to the National Archives based on approved retention and disposition instructions?
If so, what formats will be used?
NRC Transfer Guidance (Information and Records Management Guideline - IRMG)
N/A Schedule Number and Schedule Title Disposition Instructions
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 13 GRS 2.8 item 060 Public financial disclosure reports. Reports for individuals filing in accordance with the Ethics in Government Act, as amended (5 U.S.C. app.), including the Stop Trading on Congressional Knowledge Act of 2012 (STOCK Act) (Pub. L.
112-105), and not subsequently confirmed by the U.S. Senate.
Temporary. Destroy 1 year after nominee ceases to be under consideration for the position or when no longer needed for active investigation, whichever is later. This disposition instruction is mandatory; deviations are not allowed.
GRS 2.8 item 061 Public financial disclosure reports. All other reports.
Temporary. Destroy 6 years after receipt of the OGE Form 278 or 278e by the agency or when no longer needed for active investigation, whichever is later. This disposition instruction is mandatory; deviations are not allowed.
GRS 2.8 item 062 Public financial disclosure reports. Periodic transaction reports.
Temporary. Destroy 7 years after receipt by the agency or when the related subsequent OGE Form 278 (SF 278) is ready for destruction 6 years later. The reports may be retained longer if needed for active investigation. This disposition instruction is mandatory; deviations are not allowed.
7 Paperwork Reduction Act The Paperwork Reduction Act (PRA) of 1995 requires that agencies obtain an OMB approval in the form of a "control number"before promulgating a paper form, website, surveys, questionnaires, or electronic submission from 10 or more members of the public. If the data collection is from federal employees regarding work-related duties, then a PRA clearance is not necessary.
7.1 Will the project be collecting any information from 10 or more persons who are not Federal employees?
Potentially, yes. Nominees to PAS positions are usually members of the public who will use the system to complete a Nominee OGE Form 278e.
7.2 Is there any collection of information addressed to all or a substantial majority of an industry (i.e., Fuel Fabrication Facilities or Fuel Cycle Facilities)?
No.
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 14 7.3 Is the collection of information required by a rule of general applicability?
Yes. 5 C.F.R. Part 2634.
Note: For information collection (OMB clearances) questions: contact the NRCs Clearance Officer. Additional guidance can be found on the NRCs internal Information Collections Web page at: https://intranet.nrc.gov/ocio/33456.
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 15 8 Privacy Act Determination Project/System Name: Integrity.
Submitting Office: Office of the General Counsel (OGC).
Privacy Officer Review Review Results Action Items
This project/system does not contain PII.
No further action is necessary for Privacy.
This project/system does contain PII; the Privacy Act does NOT apply, since information is NOT retrieved by a personal identifier.
Must be protected with restricted access to those with a valid need-to-know.
This project/system does contain PII; the Privacy Act does apply.
SORN is required-Information is retrieved by a personal identifier.
Comments:
Covered by Government-wide system of records, OGE/GOVT-1, Executive Branch Personnel Public Financial Disclosure Reports and Other Name - Retrieved Ethics Program Records.
Reviewers Name Title Privacy Officer Signed by Hardy, Sally on 12/27/23
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 16 9 OMB Clearance Determination NRC Clearance Officer Review Review Results
No OMB clearance is needed.
OMB clearance is needed.
Currently has OMB Clearance. Clearance No. 3209-0001 Comments:
The clearance number is for the Nominee OGE Form 278e.
Reviewers Name Title Agency Clearance Officer Signed by Cullison, David on 12/11/23
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 17 10 Records Retention and Disposal Schedule Determination Records Information Management Review Review Results
No record schedule required.
Additional information is needed to complete assessment.
Needs to be scheduled.
Existing records retention and disposition schedule covers the system - no modifications needed.
Comments:
Reviewers Name Title Sr. Program Analyst, Electronic Records Manager Signed by Dove, Marna on 12/18/23
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 18 11 Branch Chief Review and Concurrence Review Results
This project/system does not collect, maintain, or disseminate information in identifiable form.
This project/system does collect, maintain, or disseminate information in identifiable form.
I concur with the Privacy Act, Information Collections, and Records Management reviews.
Chief Information Security Officer Chief Information Security Division Office of the Chief Information Officer Signed by Feibus, Jonathan on 12/27/23
Integrity - Office of the General Counsel Version 1.0 Privacy Impact Assessment 11/15/2023 PIA Template (08-2023) 19 ADDITIONAL ACTION ITEMS/CONCERNS Name of Project/System: Integrity Date CISD received PIA for review:
December 4, 2023 Date CISD completed PIA review:
December 21, 2023 Action Items/Concerns:
Copies of this PIA will be provided to:
Caroline Carusone Director IT Services Development and Operations Division Office of the Chief Information Officer Garo Nalabandian Deputy Chief Information Security Officer (CISO)
Office of the Chief Information Officer