Hada Flowers
1275 First Street,
NE. 7th Floor
Washington, DC 20417
FAR Case 2010-013
Federal Acquisition Regulation; Privacy Training, 2010-013
November 11, 2011
To Whom It May Concern:
I am writing regarding the proposed changes to 48 CFR Parts 24 and 52-Privay Training:
Sections III and IV detail the basic requirements for privacy training and identifies those who will be required to obtain yearly privacy training. It also identifies that recordkeeping will be the sole responsibility of the contractor and will only be reviewed if there is a question in compliance.
I agree that minimal privacy training should be a requirement by the Government, as an individual’s identifiable information can be used to harm the individual. However, not providing adequate accountability could result in partial or non-compliance. As a suggestion, during an audit, submission of a list of those individuals who have completed training, or a copy of the employee’s certificate must be in their personnel records at time of review.
Thank you very much for providing the draft policy directive for our timely review, and for taking our recommendations into consideration.
Desiree Squire,
Master’s in Social Work Student
Comment on FR Doc # 2011-26546
This is comment on Proposed Rule
Federal Acquisition Regulations: Privacy Training, FAR Case 2010-013
View Comment
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