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香港六合彩
 

香港六合彩

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,象是上帝故意安排的.

,象是上帝故意安排的.
香港六合彩抄小路走.春末夏初的季节,一路上风景如画,所以香港六合彩尽量装着欣赏风景的样子不说话.反正也没说什么话,我就插点儿景物描写吧:那山,绿油油的;那水,绿油油的;那树,绿油油的;那草,绿油油的——反正都象是给大地戴上了顶绿帽子!
到了那片无人的山林中后,香港六合彩在地上铺了一大张塑料桌布,聊以当床——还好地上草厚,倒也舒服.香港六合彩默默坐着一起欣赏了一下山下的湘江,仍然没说话.那湘江缓缓地流淌,一幅从容不迫的样子.
歇了口气后,赵玉便闷声不吭地把自己拔了个精光躺倒在塑料布上,象只大白兔!——当赵玉真准备豁出去了的时候,香港六合彩胆儿比我还大!
我几乎是目瞪口呆地望着香港六合彩,从树叶缝隙中泄下的光斑在香港六合彩几近完

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香港六合彩 香港六合彩 Presentation Transcript

  • Privacy and Security in the Information Age Conference, Melbourne, Australia August 16, 2001 The United States Government’s Approach to Privacy: The EU Directive and the Safe Harbor Framework Patricia M. Sefcik U.S. Department of Commerce
  • Privacy in Europe and the U.S.
    • The European privacy system is based on comprehensive legislation.
    • The U.S. privacy system is based on self regulation and sector specific legislation in highly sensitive areas such as financial, medical, children’s and genetic information.
  • Historical Overview: Safe Harbor
    • OCTOBER 1998
      • EU’s sweeping privacy directive went into effect
    • JULY 2000
      • Safe Harbor principles are deemed adequate
    • NOVEMBER 1, 2000
      • Safe Harbor becomes effective
      • DOC launches safe harbor website http://www.export.gov/safeharbor
    • JANUARY 4, 2001
      • Official Department of Commerce roll-out
    • JANUARY-AUGUST, 2001
      • Outreach events
  • Safe Harbor Implementation
    • What are the Benefits?
    • Who Can Join and How?
    • How and Where will Safe Harbor be Enforced?
  • The Safe Harbor Framework
    • 7 Privacy Principles
    • 15 FAQ’s
    • European Commission’s adequacy determination
    • Letters between U.S. Dept. of Commerce and the European Commission
    • Letters from U.S. Dept. of Transportation and Federal Trade Commission
  • The 7 Safe Harbor Principles
    • Notice
    • Choice
    • Onward Transfer
    • Security
    • Data Integrity
    • Access
    • Enforcement
  • The Safe Harbor Principles
    • (1) NOTICE
    • Inform individuals about the purpose for which the information is being collected.
    • Inform individuals about how to contact the organizations with inquiries or complaints.
    • Provide information on the types of third parties to which information is being disclosed, and the choices and means offered for limiting its use and disclosure.
  • The Safe Harbor Principles
    • (2) CHOICE
    • An organization must offer individuals the opportunity to choose (opt out) whether their personal information is (a) to be disclosed to a third party, or (b) to be used for a purpose that is incompatible with the purposes for which it was originally collected or subsequently authorized by the individual.
    • Individuals must be provided with clear and conspicuous, readily available, and affordable mechanisms to exercise choice.
  • The Safe Harbor Principles
    • CHOICE: Sensitive Information
    • For sensitive information (i.e. medical/ health conditions; racial/ethnic origin; political opinions; religious/ philosophical beliefs; trade union membership; sex life), individuals must be given affirmative or explicit (opt in) choice if the information is to be disclosed to a third party or used for a purpose other than those for which it was originally collected or subsequently authorized.
  • The Safe Harbor Principles
    • (3) ONWARD TRANSFER
    • To disclose information to a third party, organizations must apply the notice and choice principles.
    • Notice and Choice are not required for data transfers to an agent (someone who acts on behalf of the transferor) if it is first determined by the organization that the agent complies with the safe harbor principles, or is subject to the directive or another adequacy finding, or enters into a written agreement with the organization .
  • The Safe Harbor Principles
    • (4) SECURITY
    • Organizations creating, maintaining, using or disseminating personal information must take reasonable precautions to protect it from loss, misuse and unauthorized access, disclosure, alteration and destruction.
    • Organizations must take more care to protect sensitive information, as it is defined in the principles.
  • The Safe Harbor Principles
    • (5) DATA INTEGRITY
    • Personal information must be relevant for the purposes for which it is to be used. An organization may not process personal information in a way that is incompatible with the purposes for which it has been collected or subsequently authorized by the individual.
    • To the extent necessary for those purposes, an organization should take reasonable steps to ensure that data is reliable for its intended use, accurate, complete, and current.
  • The Safe Harbor Principles
    • (6) ACCESS
    • Individuals must have access to personal information about them that an organization holds and be able to correct, amend, or delete that information where it is inaccurate, except where the burden or expense of providing access would be disproportionate to the risks to the individual’s privacy in the case in question, or where the rights of persons other than the individual would be violated.
  • The Safe Harbor Principles
    • (7) ENFORCEMENT
    • Follow-up procedures for verifying that safe harbor policies and mechanisms have been implemented;
    • Readily available and affordable independent recourse mechanisms to investigate and resolve complaints brought by individuals;
    • Obligations to remedy problems arising out of a failure by the organization to comply with the principles.
    • DIRECT COMPLIANCE WITH
    • THE EU DIRECTIVE
    • CONSENT
    • ENTERING INTO A MODEL CONTRACT
    Other Ways To Comply With The Directive:
  • Safe Harbor: Next Steps
    • Mid-Year Review
    • “ Visual” Compliance
    • Financial Service Negotiations
    • DPA Visit
    • EU Directive Review
  • CONCLUSION
    • Additional resources are available on the safe harbor website www.export.gov/safeharbor
    • Safe Harbor List (updated regularly)
    • Safe Harbor Workbook
    • Safe Harbor Documents (including Principles, FAQ’s, correspondence)
    • Historical Documents (including public comment)
  • Contact Information
    • Patricia Sefcik, Director
    • Office of Electronic Commerce
    • International Trade Administration U.S. Department of Commerce
    • Room 2003
    • 14th & Constitution Avenues, NW
    • Washington, DC 20230
    • Tel: (202) 482-0216
    • Fax: (202) 482-5522
    • E-Mail: patty_sefcik@ita.doc.gov