UPDATE: New Connecticut Breach Notification Requirements and Cybersecurity Safe Harbor Are Now in Effect - Privacy & Information Security Law Blog
UPDATE: New Connecticut Breach Notification Requirements and Cybersecurity Safe Harbor Are Now in Effect
Posted on October 1, 2021
POSTED IN CYBERSECURITY, INFORMATION SECURITY, SECURITY BREACH, U.S. STATE LAW
On October 1, 2021, Connecticut’s two new data security laws become effective. As we previously reported, the new laws modify Connecticut’s existing breach notification requirements and establish a safe harbor from certain Connecticut Superior Court assessed damages for businesses that create and maintain a written cybersecurity program.
With the breach law amendments, Connecticut joins a number of other states in expanding the definition of “personal information” in its data breach notification statute. In addition, Connecticut joins Ohio and Utah as the third state to enact a cybersecurity safe harbor statute.
Posted on October 1, 2021
POSTED IN CYBERSECURITY, INFORMATION SECURITY, SECURITY BREACH, U.S. STATE LAW
On October 1, 2021, Connecticut’s two new data security laws become effective. As we previously reported, the new laws modify Connecticut’s existing breach notification requirements and establish a safe harbor from certain Connecticut Superior Court assessed damages for businesses that create and maintain a written cybersecurity program.
With the breach law amendments, Connecticut joins a number of other states in expanding the definition of “personal information” in its data breach notification statute. In addition, Connecticut joins Ohio and Utah as the third state to enact a cybersecurity safe harbor statute.