Telecommunications Act of 1996 (Section 222) Flashcards

1
Q

Sector

A

Telecommunications

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2
Q

Year Passed/Amended

A

1996; most recent rules promulgated 2007

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3
Q

Original Purpose

A

Govern privacy of customer information provided to telecommunications carriers

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4
Q

Primary Requirements

A

Can’t sell customer data to third parties without consent; multiple restrictions on access, use and disclosure

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5
Q

Entities subject to law

A

Telecommunications carriers and voice-over-internet protocol (VoIP) providers; ISPs; broadband providers (per the FCC Broadband Privacy Rule)

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6
Q

Term for relevant PII or regulated data

A

customer proprietary network information (CPNI)

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7
Q

Definition of relevant PII or regulated data

A

Information collected by carriers related to their subscribers. Includes subscription info, services used, network and billing info, phone features and capabilities, and call log data.

DOES NOT include name, telephone number, and address.

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8
Q

Civil or criminal?

A

Civil only

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9
Q

Enforcing authority - civil

A

FCC

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10
Q

Penalties - civil

A

[not mentioned in the book]

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11
Q

Preemption?

A

Unclear–not mentioned in the book, and it looks case-by-case based on some light independent research

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12
Q

Private right of action?

A

Not mentioned in the book

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13
Q

FIP individual rights addressed

A

Notice, choice and consent, access (i.e., all)

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14
Q

Notice requirements

A

Breach notifications: carriers must notify law enforcement within seven days of breach

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15
Q

Choice and consent provisions

A

Can only use CPNI with customer consent.

Internal: opt-out (due to First Amendment rights of holders)

External (third party, joint venture partners and independent marketing contractors): opt-in

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16
Q

Exceptions for consent

A

(a) as required by law;
(b) can use, disclose, or provide marketing offerings among service categories to which customers already subscribe;
(c) billing and collections;
(d) fraud prevention;
(e) customer service;
(f) emergency services

17
Q

Access requirements

A

Customers get access; must be password-protected

18
Q

FIP Information Control principles addressed

A

None (not information security or information quality)

19
Q

FIP Information Lifecycle principles addressed

A

Use and retention, disclosure (not collection/disposal)

20
Q

Use and retention provisions

A

Discussed as part of the exceptions for consent. Do not need consent for uses among service categories to which customers already subscribe; billing and collections; fraud prevention; customer service; and emergency services.

21
Q

Disclosure provisions

A

Discussed as part of the exceptions for consent. Do not need consent for disclosures for services to which customers already subscribe; billing and collections; fraud prevention; customer service; and emergency services.

22
Q

FIP management principles addressed

A

Administration; monitoring and enforcement (so, both)

23
Q

Administration requirements

A

Detailed compliance requirements (not discussed in book)

24
Q

Monitoring and enforcement requirements

A

Must certify compliance annually, explain how their systems ensure compliance and provide an annual summary of consumer complaints related to unauthorized disclosure of CPNI