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CIPM Vce Download, Valuable CIPM Feedback

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IAPP Certified Information Privacy Manager (CIPM) Sample Questions (Q162-Q167):NEW QUESTION # 162
When devising effective employee policies to address a particular issue, which of the following should be included in the first draft?
  • A. Points of contact for the employee.
  • B. Explanation of how the policy is applied within the organization.
  • C. Roles and responsibilities of the different groups of individuals.
  • D. Rationale for the policy.
Answer: D
Explanation:
Explanation
When devising effective employee policies to address a particular issue, it is important to include the rationale for the policy in the first draft, as it explains why the policy is needed and what benefits it brings to the organization and its employees. The rationale can also help to gain support and buy-in from the management and staff, as well as to align the policy with the organizational values and goals. The other options are also important elements of an employee policy, but they can be added or refined in later drafts. References: CIPM Body of Knowledge, Domain IV: Privacy Program Communication Activities, Task 2: Develop internal communication plans.

NEW QUESTION # 163
There are different forms of monitoring available for organizations to consider when aligning with their privacy program goals.
Which of the following forms of monitoring is best described as 'auditing'?
  • A. Assisting in the completion of attesting reporting for SOC2, ISO, or BS7799.
  • B. Evaluating operations, systems, and processes.
  • C. Tracking, reporting and documenting complaints from all sources.
  • D. Ensuring third parties have appropriate security and privacy requirements in place.
Answer: B

NEW QUESTION # 164
What is the key factor that lays the foundation for all other elements of a privacy program?
  • A. The applicable privacy regulations
  • B. The structure of a privacy team
  • C. A privacy mission statement
  • D. A responsible internal stakeholder
Answer: D
Explanation:
Explanation
This answer is the key factor that lays the foundation for all other elements of a privacy program, as it can help to establish leadership, accountability and support for the privacy program within the organization. A responsible internal stakeholder is a person or group who has authority, influence or interest in the organization's data processing activities, such as senior management, board members, business units or departments. A responsible internal stakeholder can help to define and communicate the organization's vision, mission and goals for privacy protection, allocate resources and budget for the privacy program, approve and endorse privacy policies and procedures, monitor and evaluate privacy program performance and compliance, and resolve any issues or conflicts that may arise from data processing activities.

NEW QUESTION # 165
When devising effective employee policies to address a particular issue, which of the following should be included in the first draft?
  • A. Explanation of how the policy is applied within the organization.
  • B. Roles and responsibilities of the different groups of individuals.
  • C. Points of contact for the employee.
  • D. Rationale for the policy.
Answer: C

NEW QUESTION # 166
SCENARIO
Please use the following to answer the next QUESTION:
Manasa is a product manager at Omnipresent Omnimedia, where she is responsible for leading the development of the company's flagship product, the Handy Helper. The Handy Helper is an application that can be used in the home to manage family calendars, do online shopping, and schedule doctor appointments.
After having had a successful launch in the United States, the Handy Helper is about to be made available for purchase worldwide.
The packaging and user guide for the Handy Helper indicate that it is a "privacy friendly" product suitable for the whole family, including children, but does not provide any further detail or privacy notice. In order to use the application, a family creates a single account, and the primary user has access to all information about the other users. Upon start up, the primary user must check a box consenting to receive marketing emails from Omnipresent Omnimedia and selected marketing partners in order to be able to use the application.
Sanjay, the head of privacy at Omnipresent Omnimedia, was working on an agreement with a European distributor of Handy Helper when he fielded many Questions about the product from the distributor. Sanjay needed to look more closely at the product in order to be able to answer the Questions as he was not involved in the product development process.
In speaking with the product team, he learned that the Handy Helper collected and stored all of a user's sensitive medical information for the medical appointment scheduler. In fact, all of the user's information is stored by Handy Helper for the additional purpose of creating additional products and to analyze usage of the product. This data is all stored in the cloud and is encrypted both during transmission and at rest.
Consistent with the CEO's philosophy that great new product ideas can come from anyone, all Omnipresent Omnimedia employees have access to user data under a program called Eureka. Omnipresent Omnimedia is hoping that at some point in the future, the data will reveal insights that could be used to create a fully automated application that runs on artificial intelligence, but as of yet, Eureka is not well-defined and is considered a long-term goal.
What element of the Privacy by Design (PbD) framework might the Handy Helper violate?
  • A. Failure to obtain opt-in consent to marketing.
  • B. Failure to integrate privacy throughout the system development life cycle.
  • C. Failure to implement the least privilege access standard.
  • D. Failure to observe data localization requirements.
Answer: B
Explanation:
The Handy Helper might violate the element of the Privacy by Design (PbD) framework that requires integrating privacy throughout the system development life cycle. According to the PbD framework, privacy should be embedded into the design and architecture of IT systems and business practices, not added as an afterthought1 This means that privacy should be considered at every stage of the system development life cycle, from planning to analysis to design to development to implementation to maintenance2 However, the Handy Helper seems to have been developed without involving Sanjay, the head of privacy, or conducting a privacy impact assessment (PIA) to identify and mitigate potential privacy risks3 The product also lacks a clear and transparent privacy notice that informs users about what data is collected, how it is used, where it is stored, who has access to it, and what choices they have4 These issues could expose the product to legal and reputational challenges, especially in regions with strict data protection regulations, such as Europe. References: 1: Privacy by Design - The LIFE Institute; 2: System Development Life Cycle - GeeksforGeeks; 3: [Privacy Impact Assessment (PIA) | NZ Digital government]; 4: [Privacy Notices under EU Data Protection Law | Privacy International]

NEW QUESTION # 167
......
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