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With passage of the new FTC Safeguards Rule, there are lots of questions about the Rule’s requirement to either implement continuous monitoring OR to perform annual penetration tests and semi-annual vulnerability assessments. Today, we’re going to try and clear up some of the confusion.
By Erik Nachbahr & Jeff MasonWith passage of the new FTC Safeguards Rule, there are lots of questions about the Rule’s requirement to either implement continuous monitoring OR to perform annual penetration tests and semi-annual vulnerability assessments. Today, we’re going to try and clear up some of the confusion.