IAPP CIPP-US EXAM DUMPS - SMART WAY TO GET SUCCESS

IAPP CIPP-US Exam Dumps - Smart Way To Get Success

IAPP CIPP-US Exam Dumps - Smart Way To Get Success

Blog Article

Tags: Reliable CIPP-US Exam Tips, CIPP-US Practice Exam Questions, Latest CIPP-US Braindumps Files, Valid CIPP-US Guide Files, Valid CIPP-US Test Discount

What's more, part of that TrainingDump CIPP-US dumps now are free: https://drive.google.com/open?id=1k5DcG2HnVFbWWi76K-39NKF3fyc_QNAq

Just choose the right TrainingDump CIPP-US exam questions format demo and download it quickly. Download the TrainingDump CIPP-US exam questions demo now and check the top features of CIPP-US Exam Questions. If you think the CIPP-US exam dumps can work for you then take your buying decision. Best of luck in exams and career!!!

When they will be giving their final examination to get IAPP CIPP-US certification they don't struggle much and do it easily. The results of the customizable CIPP-US exam dumps can then be used to identify areas of strength and weakness and to create a personalized study plan that focuses on improving in the areas that need the most work. Taking CIPP-US Practice Tests regularly could help individuals build their confidence, reduce test anxiety, and improve their overall performance.

>> Reliable CIPP-US Exam Tips <<

Reliable CIPP-US Exam Tips & Latest CIPP-US Practice Exam Questions Ensure you "Pass Guaranteed"

CIPP-US exam dumps save your study and preparation time. Our experts have added hundreds of Certified Information Privacy Professional/United States (CIPP/US) (CIPP-US) questions similar to the real exam. You can prepare for the Certified Information Privacy Professional/United States (CIPP/US) (CIPP-US) exam dumps during your job. You don't need to visit the market or any store because TrainingDump Certified Information Privacy Professional/United States (CIPP/US) (CIPP-US) exam questions are easily accessible from the website.

What is the duration, language, and format of IAPP CIPP-US: Certified Information Privacy Professional/United States (CIPP/US) Exam

  • Language: IAPP CIPP-US: Certified Information Privacy Professional/United States (CIPP/US) offered in English (U.S.), French, German
  • Passing score: 85%
  • Format: Multiple choices, multiple answers
  • Length of Examination: 150 minutes
  • Number of Questions: 90

The Certified Information Privacy Professional/United States (CIPP/US) certification exam is a globally recognized certification offered by the International Association of Privacy Professionals (IAPP). The IAPP is the largest and most comprehensive global information privacy community and resource, providing a forum for privacy professionals to share best practices, track trends, advance privacy management issues, and share knowledge and expertise.

IAPP Certified Information Privacy Professional/United States (CIPP/US) Sample Questions (Q116-Q121):

NEW QUESTION # 116
Even when dealing with an organization subject to the CCPA, California residents are NOT legally entitled to request that the organization do what?

  • A. Delete their personal information.
  • B. Disclose their personal information to them.
  • C. Correct their personal information.
  • D. Refrain from selling their personal information to third parties.

Answer: C

Explanation:
The CCPA grants California residents the right to request that a business delete, disclose, or stop selling their personal information, but it does not grant them the right to request that a business correct their personal information. However, the CPRA, which will amend and expand the CCPA in 2023, will grant California residents the right to request that a business correct inaccurate personal information. References: CCPA, CPRA, IAPP CIPP/US Study Guide (p. 62)


NEW QUESTION # 117
Which of these organizations would be required to provide its customers with an annual privacy notice?

  • A. The King County Savings and Loan.
  • B. The Breezy City Housing Commission.
  • C. The Four Winds Tribal College.
  • D. The Golden Gavel Auction House.

Answer: A

Explanation:
The annual privacy notice requirement under the Gramm-Leach-Bliley Act (GLBA) applies to financial institutions that collect nonpublic personal information from customers and disclose it to nonaffiliated third parties, unless they qualify for an exception. A financial institution is any entity that engages in activities that are financial in nature or incidental to such activities, as defined by section 4(k) of the Bank Holding Company Act of 1956. The King County Savings and Loan is a financial institution under this definition, as it engages in lending money and accepting deposits. Therefore, it is required to provide its customers with an annual privacy notice, unless it meets the conditions for an exception. The Four Winds Tribal College, the Golden Gavel Auction House, and the Breezy City Housing Commission are not financial institutions under the GLBA, as they do not engage in activities that are financial in nature or incidental to such activities. Therefore, they are not required to provide their customers with an annual privacy notice under the GLBA. References:
* Amendment to the Annual Privacy Notice Requirement Under the Gramm-Leach-Bliley Act, section I.
Background, paragraph 2.
* 17 CFR § 248.5 - Annual privacy notice to customers required., paragraph (a) (1).
* IAPP CIPP/US Study Guide, page 65.


NEW QUESTION # 118
Which of the following is NOT one of three broad categories of products offered by data brokers, as identified by the U.S. Federal Trade Commission (FTC)?

  • A. Marketing (such as appending data to customer information that a marketing company already has).
  • B. Location of individuals (such as identifying an individual from partial information).
  • C. Risk mitigation (such as information that may reduce the risk of fraud).
  • D. Research (such as information for understanding consumer trends).

Answer: B

Explanation:
Data brokers are companies that collect, analyze, and share personal information about consumers for various purposes, such as marketing, risk mitigation, and research. The U.S. Federal Trade Commission (FTC) conducted a study of nine data brokers in 2012 and published a report in 2014, titled "Data Brokers: A Call for Transparency and Accountability". In the report, the FTC identified three broad categories of products offered by data brokers, based on the primary purposes for which the products are used by their customers. The three categories are: 12
* Marketing products: These products help customers target potential customers, tailor marketing offers, measure the effectiveness of marketing campaigns, and improve customer relationships. Marketing products include data elements, segments, scores, lists, and analytics that are derived from consumer data. Data brokers may provide marketing products through direct marketing (such as postal mail,
* e-mail, or phone), online marketing (such as online display ads, social media, or mobile apps), or marketing analytics (such as measuring consumer behavior, preferences, and trends)12
* Risk mitigation products: These products help customers verify and authenticate consumers' identities, prevent fraud, and comply with legal obligations. Risk mitigation products include identity verification, identity authentication, fraud prevention, and compliance products that are based on consumer data. Data brokers may provide risk mitigation products through various methods, such as matching consumer-providedinformation with data broker records, generating questions or challenges based on consumer data, or providing scores or indicators of fraud risk or compliance status12
* Research products: These products help customers understand consumer behavior, preferences, and trends, as well as market conditions, industry developments, and economic factors. Research products include reports, studies, statistics, and insights that are derived from consumer data. Data brokers may provide research products through various formats, such as online portals, dashboards, newsletters, or custom reports12 The FTC report did not include location of individuals as one of the three broad categories of products offered by data brokers. Location of individuals may be a specific type of product or service that some data brokers provide, but it is not a primary purpose for which data brokers use consumer data. Therefore, the correct answer is C. Location of individuals (such as identifying an individual from partial information).
References:
* Data Brokers: A Call For Transparency and Accountability: A Report of the Federal Trade Commission (May 2014)
* IAPP CIPP/US Certified Information Privacy Professional Study Guide, Chapter 5: State Privacy Laws, Section 5.3: Data Broker Laws


NEW QUESTION # 119
SCENARIO -
Please use the following to answer the next question:
Miraculous Healthcare is a large medical practice with multiple locations in California and Nevad a. Miraculous normally treats patients in person, but has recently decided to start offering telehealth appointments, where patients can have virtual appointments with on-site doctors via a phone app.
For this new initiative, Miraculous is considering a product built by MedApps, a company that makes quality telehealth apps for healthcare practices and licenses them to be used with the practices' branding. MedApps provides technical support for the app, which it hosts in the cloud. MedApps also offers an optional benchmarking service for providers who wish to compare their practice to others using the service.
Riya is the Privacy Officer at Miraculous, responsible for the practice's compliance with HIPAA and other applicable laws, and she works with the Miraculous procurement team to get vendor agreements in place. She occasionally assists procurement in vetting vendors and inquiring about their own compliance practices, as well as negotiating the terms of vendor agreements. Riya is currently reviewing the suitability of the MedApps app from a privacy perspective.
Riya has also been asked by the Miraculous Healthcare business operations team to review the MedApps' optional benchmarking service. Of particular concern is the requirement that Miraculous Healthcare upload information about the appointments to a portal hosted by MedApps.
What HIPAA compliance issue would Miraculous have to consider before using the telehealth app?

  • A. HIPAA does not permit in-person appointment data to be hosted in the cloud.
  • B. HIPAA would require Miraculous and MedApps to enter into a Business Associate Agreement.
  • C. HIPAA would require Miraculous to obtain patient consent before in-person appointment data can be shared with third parties.
  • D. HIPAA does not permit healthcare providers to use cloud hosting services.

Answer: B


NEW QUESTION # 120
What is the primary purpose of the HIPAA Security Rule?

  • A. Establish a secure manner of payment processing for insurance claims.
  • B. Establish minimum security requirements for PHI collected in any form.
  • C. Establish minimum security requirement for medical facilities following the 2001 terrorist attacks.
  • D. Establish minimum security requirements for PHI collected in electronic form.

Answer: D

Explanation:
The Security Rule establishes minimum security requirements for PHI that a covered entity receives, creates, maintains, or transmits in electronic form.


NEW QUESTION # 121
......

The IAPP CIPP-US certification from IAPP is a sought-after recognition of TrainingDump skills and knowledge. With this Certified Information Privacy Professional/United States (CIPP/US) certification, professionals can enhance their careers, boost earnings, and showcase their expertise in a competitive job market. The benefits of passing the CIPP-US Exam are numerous, but preparing for the exam is not a simple feat.

CIPP-US Practice Exam Questions: https://www.trainingdump.com/IAPP/CIPP-US-practice-exam-dumps.html

P.S. Free 2025 IAPP CIPP-US dumps are available on Google Drive shared by TrainingDump: https://drive.google.com/open?id=1k5DcG2HnVFbWWi76K-39NKF3fyc_QNAq

Report this page