Does Your Bank Qualify to Use the Simplified Capital Rules?
12/29/2019
What Pending Data Protection & Privacy Bills Would Affect My Bank If Enacted?
Carly Souther is General Counsel and COO at iTrain OnDemand (iTod), where she provides guidance on legal and compliance issues for clients in the U.S. financial industry. She formerly served as Chief of Regulation at ECigIntelligence and was the Assistant General Counsel at Florida's Agency for Health Care Administration.
Carly has published on a wide range of issues in both legal and medical journals, including the Georgetown Journal on Poverty Law & Policy and the University of Iowa's Transnational Law & Contemporary Problems. She is a member of the Florida Bar, and holds an M.A. from the Universitat Autònoma de Barcelona; a J.D. from the Florida State University College of Law; and a B.A. from Mercer University.
12/29/2019
What Pending Data Protection & Privacy Bills Would Affect My Bank If Enacted?
12/29/2019
How can my bank determine what different types of data we need to secure?
12/22/2019
Will my community bank be required to re-architect our existing systems to comply with data protection and privacy laws?
12/22/2019
What is the DOJ's position on ADA website compliance under the Trump Administration?
12/22/2019
What is a quick cyber-safe step my bank can take today?
12/15/2019
How many states have interested cybersecurity-related legislation in 2019?
12/15/2019
Does my bank's mobile app need to be compliant with the ADA?
12/08/2019
How many banks have been sued under the ADA in federal court?
12/08/2019
How can I determine my bank's cyber risk, inherent risks to my institution, and measure our cybersecurity preparedness profile?
12/01/2019
Since 2014, the DOJ has brought numerous enforcement actions against businesses, including banks, whose websites and mobile applications weren't easily accessible for persons with disabilities and, therefore, were potentially non-compliant with the Americans with Disabilities Act (Act). In order to make their websites and apps more accessible for differently-abled people, what actions have these DOJ settlements required such businesses to take?