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    Explore our Services

    • Exploitative External Penetration Test

      Simulate a cyberattack to evaluate the organization’s external networks, web applications, and systems.


      Fixed Price: $3,995

    • Essential External Threat Evaluation

      Comprehend the risks posed by cyber threats to your operations, assets, and individuals.


      Fixed Price: $1,395

    • External Vulnerability Assessment

      Scan perimeter defenses such as websites, web applications, and network firewalls for weaknesses.


      Fixed Price: $995

    • Public Cloud Best Practices Review

      Explore best practices related to public cloud environments. Assess operations, security, reliability, performance, and costs.


      Fixed Price: $2,995

    • Phishing Assessment

      Measure end-users’ vulnerability to perform actions requested by attackers.


      Fixed Price: $495

    • Enterprise Security Assessment

      Conduct a comprehensive security analysis of an entire infrastructure, hosts, networks, applications, etc.


      Fixed Price: $7,995

    • Internal Vulnerability Assessment

      Identify vulnerabilities within networks, internal servers, workstations, and applications.


      Fixed Price: $1,795

    • Automated Dynamic Application Security Test

      Black-box testing methodology used to uncover potential security flaws by performing automated security scanning againsts an application


      Fixed Price: $1,995

    • FTC Safeguards Rule Compliance Assessment

      Refers to a process undertaken by the United States Federal Trade Commission to assess and enforce privacy safeguards and regulations


      Fixed Price: $7,995

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    Financial Institutions & FTC Safeguards Rule


    • Financial Advisors
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    Cybersecurity Essentials: Building Digital Fortresses

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    Navigating the Regulatory Maze: Guide to FTC Privacy Safeguard Compliance

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    Here at Haven, we're dedicated to fortifying your digital defenses. Through innovative technology and a growing team of experts, we're staying ahead of emerging threats to safeguard your valuable assets. We continually strive to enhance our services and adapt to the evolving landscape of cybersecurity, ensuring that you remain protected against new challenges and vulnerabilities. Thank you for entrusting us with your cybersecurity needs and trusting us to keep your digital world secure. Your confidence in us drives our commitment to excellence.

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  • Services

    Explore our services

    • Exploitative External Penetration Test

      Simulate a cyberattack to evaluate the organization’s external networks, web applications, and systems.


      Fixed Price: $3,995


      Fixed Price: $3,995

    • Essential External Threat Evaluation

      Comprehend the risks posed by cyber threats to your operations, assets, and individuals.


      Fixed Price: $1,395

    • External Vulnerability Assessment

      Scan perimeter defenses such as websites, web applications, and network firewalls for weaknesses.


      Fixed Price: $995

    • Public Cloud Best Practices Review

      Explore best practices related to public cloud environments. Assess operations, security, reliability, performance, and costs.


      Fixed Price: $2,995

    • Phishing Assessment

      Measure end-users’ vulnerability to perform actions requested by attackers.


      Fixed Price: $495

    • Enterprise Security Assessment

      Conduct a comprehensive security analysis of an entire infrastructure, hosts, networks, applications, etc.


      Fixed Price: $7,995

    • Internal Vulnerability Assessment

      Identify vulnerabilities within networks, internal servers, workstations, and applications.


      Fixed Price: $1,795

    • Automated Dynamic Application Security Test

      Black-box testing methodology used to uncover potential security flaws by performing automated security scanning againsts an application


      Fixed Price: $1,995

    • FTC Safeguards Rule Compliance Assessment

      Refers to a process undertaken by the United States Federal Trade Commission to assess and enforce privacy safeguards and regulations


      Fixed Price: $7,995

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    FTC Safeguard Rule & Financial Institutions


    • Financial Advisors
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Check Cashiers

Improve security. Stay compliant. Avoid fines.

The FTC Safeguards Rule necessitates that check cashers implement protective measures to secure clients' sensitive data, bolstering privacy and shielding against potential breaches or fraudulent activities.

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Ensure Compliance with the 9 Safeguards Rule Requirements

To guarantee adherence to all nine prerequisites of the FTC Safeguards Rule, our holistic solution equips you with essential tools and guidance. From cybersecurity to risk management, our comprehensive approach ensures robust protection for consumer and personal data. Safeguarding data integrity is our utmost priority, and our solutions empowers you to navigate these obligations securely and effectively.

Section 314.4 by the FTC Safeguards Rule.
  • a. Designate a Qualified Individual

    Financial institutions are required to designate a Qualified Individual who oversees and implements the information security program. This individual can be an employee, an affiliate, or a service provider. If an affiliate or service provider is chosen, the financial institution remains ultimately responsible for compliance. Additionally, a senior member of the institution must provide guidance and supervision to the Qualified Individual.
  • b. Conduct a risk assessment

    The information security program should be grounded in a risk assessment. This assessment identifies anticipated internal and external risks to the security, confidentiality, and integrity of customer information. It evaluates the existing safeguards and controls in place to mitigate these risks. The risk assessment should be documented and regularly reviewed and updated.
  • c. Design and implement safeguards

    Financial institutions are required to develop and put in place protective measures to manage identified risks. These measures encompass access controls, which can be both technical and physical. Their purpose is to verify and allow access only to authorized users, thereby safeguarding against unauthorized acquisition of customer information.
  • d. Regularly monitor safeguards

    Financial institutions are required to continuously test or monitor the effectiveness of the critical controls, systems, and procedures within their safeguards. This involves evaluating their capacity to detect both actual and attempted attacks on, or intrusions into, information systems. Essentially, this provision underscores the importance of ongoing assessment and validation of security measures to effectively safeguard customer information.
  • e. Train your staff

    Financial institutions are required to establish policies and protocols to ensure that staff members can effectively implement your information security program. This involves providing security awareness training that remains current and aligns with the risks identified through the risk assessment process.
  • f. Monitor your service provider

    Financial institutions are required to supervise service providers by carefully choosing and retaining those who have the ability to uphold suitable safeguards for customer information. These providers must be contractually obligated to implement and uphold these protective measures.
  • j. Keep information security program current

    To remain compliant with the FTC Safeguards Rule, it is essential to continuously update your information security program. This entails regularly reviewing and revising your policies, procedures, and safeguards to address emerging risks and industry advancements. A practical guideline is to make updates when there are significant organizational changes. Always remember that in information security, adaptation to change ensures the ongoing effectiveness of your security measures.
  • h. Create a written incident response plan

    Financial institutions must create a written incident response plan as part of the FTC Safeguards Rule to effectively handle security events and protect customer information. The essential elements that should be included in such a plan include goals of the plan, internal processes for response, roles and responsibilities, communication strategies, remediation requirements, documentation and reporting, post-incident evaluation and revision.
  • k. Report to board of directors

    Your designated Qualified Individual must provide written reports regularly, at least annually, to your Board of Directors or governing body. If your company lacks a Board or its equivalent, the report should be directed to a senior officer responsible for your information security program.

FTC Safeguards Rule Compliance for Check Cashers

Compliance with the FTC Safeguards Rule is critical for check cashers due to several key reasons:

  • Protection of Personal and Financial Information

    Check cashers handle sensitive personal and financial information from their customers, including bank account details, identification documents, and transaction records. Compliance with the Safeguards Rule ensures that this information is adequately protected from unauthorized access, reducing the risk of identity theft, fraud, and financial harm to customers.

  • Legal Obligations and Regulatory Compliance

    Check cashers are legally required to comply with the Safeguards Rule, which mandates the implementation of comprehensive data security measures to protect customer information. Failure to adhere to these regulations can result in severe penalties, fines, legal actions, and damage to the check casher's reputation and business.

  • Client Trust and Confidence

    Customers rely on check cashers to handle their financial transactions securely and confidentially. Compliance with the Safeguards Rule demonstrates a commitment to maintaining the privacy and security of customer data, thereby fostering trust and confidence in the check casher-client relationship.

  • Prevention of Fraud and Financial Crimes

    Check cashers are often targeted by fraudsters seeking to exploit vulnerabilities in the check cashing process. Compliance with the Safeguards Rule requires the implementation of robust security measures to safeguard against unauthorized access, check fraud, and other financial crimes. Proactive security measures reduce the risk of fraudulent activities and protect both the check casher and their customers from financial harm.

  • Ethical Responsibility

    Check cashers have an ethical obligation to conduct their business with integrity and honesty. Compliance with the Safeguards Rule aligns with these ethical principles by prioritizing the protection of customer data and demonstrating a commitment to ethical business practices.

  • Business Continuity and Reputation Management

    Compliance with regulatory standards, such as the Safeguards Rule, helps check cashers ensure business continuity by minimizing the risk of disruptions caused by security incidents or regulatory non-compliance. Moreover, adherence to these standards enhances the check casher's reputation as a trustworthy and reliable provider of financial services.

FTC Safeguards Rule Compliance Solution Services and Pricing

Our solution is meticulously crafted to address the intricate demands of FTC guidelines, providing businesses with the tools they need to navigate complex compliance requirements effortlessly.

Services
# per Year
Pricing
Exploitative External Penetration Test

The objective of an exploitative penetration test is to actively exploit vulnerabilities and weaknesses in a system or network... Learn more

1
$3,995
External Vulnerability Assessment

Identify vulnerabilities and weaknesses in the external-facing components of a system or network, such as web servers,... Learn more

1
$995
Internal Vulnerability Assessment

Security process that focuses on identifying and evaluating vulnerabilities and weaknesses within an organization's internal... Learn more

2
$2,990 [2 x $1,495]
Annual Total
$7,980

Frequently Asked Questions

In order to clarify any questions you may have regarding this service, we have provided a series of common questions below. Also, Please be sure to read the Terms & Conditions of this advertisement for further information.

What is the FTC Safeguards Rule Compliance Assessment?
This assessment is, in similar fashion to the Enterprise Security Assessment, a targeted combination of services offered by HavenRisk that are expressly designed to fulfill the compliance requirements for an organization subject to the requirements of the Federal Trade Commission’s Safeguards Rule.
What is included in this service package?
This Compliance Assessment includes performance of one (1) Exploitative External Penetration (which includes an External Vulnerability Assessment), one (1) External Vulnerability Assessment (separate from the EEPT), and two (2) Internal Vulnerability Assessments during the course of a single calendar year. These services and the timing of performance have been designed to specifically address the compliance requirements of the Safeguards Rule.
How many reports are included in the service?
Two reports are included in the pricing of the service. Based on how the service is structured, we envision the testing will be performed on two separate occasions in a given year, with one testing consisting of the EEPT (including an EVA) and IVA and one test consisting on only the EVA and IVA. Results from these tests will be summarized in these reports.
Who will be assigned to our review? Do you utilize 3rd party contractors or outsourcing for this service?
For our review services, you will work with one of our experienced technical IT auditors, which provides our firm with the ability to discuss – in detail – the findings of our review with your internal IT personnel or your 3rd party network services providers or vendors. Your test will be performed by direct employees of HavenRisk. At present, all of our employees are based in the United States, subject to extensive criminal and civil background checks, and have confidentiality agreements with our firm. We do not utilize 3rd party contractors to perform any of our testing without providing prior notice to you and, unless otherwise stated, all testing will be performed by our direct employees. We do not outsource any testing or assurance activities outside of the United States.
We utilize a cloud hosting provider (AWS, Azure, Google Cloud, etc.). Can you still perform testing services?
Absolutely. We frequently performing testing services on systems hosted by Amazon Web Services, Microsoft Azure, and other cloud providers. Please note: these providers commonly require YOU to request and obtain permission from them prior to the start of any testing. It is your responsibility to obtain this permission and provide documentation to this effect to our personnel prior to the commencement of any testing.
When can the review be performed?
Performance of testing requires an executed engagement letter, which includes a comprehensive statement of work, between HavenRisk and your company. Once we have the appropriate contracts in place, testing can ordinarily be scheduled to commence within the next 72 to 96 hours; however, expedited testing may be available upon request.
How frequently will the review be performed?
Our fixed price review services provide for the performance of a single assessment at a time of your choosing. We also offer more frequent testing intervals, which may or may not be further discounted depending on scope size and frequency.
How are review results reported?
We issue a formal report for all of our review services. This report will include an overview of the findings from our test (management report), a summary of the scope, as well as any recommendations regarding remediation. A copy of the full testing results will be included as an appendix to our report where applicable. To reiterate the above, the management report is written directly by our personnel and the results of any automated testing or other technical activities are added as an addendum, with our goal being that the final deliverable from our engagement will be polished and understandable.
How will we receive the findings from our review?
We issue all of our reports in electronic format (PDF) via our proprietary secure website or via secure e-mail. Report turnaround time may require one to two weeks in order to process the report through our internal quality control function; however, expedited issuance of reports is available upon advance request.
Can you issue multiple reports for your test? I have several wholly-owned subsidiaries in other countries that require separate formal reports, even though all IPs are owned by our parent company.
Yes, we are able to issue additional formal reports that separate the results of our testing, but an additional cost may be incurred. As stated above, our fixed price is for delivery of a very inclusive yet specific service offering. We don’t pad our pricing to cover deviations from the norm, so changes of this nature may result in an additional charge. We always commit to keep any additional costs fair and commensurate to the cost of the underlying engagement.
Can I receive a sample report?
Absolutely, please  contact us  if you would like to obtain a sample review report.
We have more IPs or accounts than what is specified in the scope of your fixed price services. Can you provide testing for more than the advertised scopes?
Certainly! We commonly perform services that exceed our baseline scope sizes and we will work with you to adjust our advertised fixed pricing to accommodate your scoping needs.
Is re-testing included in the fixed price and, if not, do you offer this service?
Re-testing is not included in the fixed price. By utilizing fixed, value-based pricing, our goal is to deliver a fair value to all our clients regardless of whether or not a given client requires re-testing services. In consequence, our service offering is not padded with additional time or margins that may or may not be justified depending on your decision to request re-testing. If re-testing is required, we do offer this service at a reasonable additional fixed fee of 60% of the original project cost for a single re-test, including the issuance of another formal report. Re-testing must be performed within 180 calendar days of the initial test.
Does your test satisfy compliance with PCI DSS or another compliance requirement or our contractual obligations?
We encourage every client to review services offered by HavenRisk or any other service provider independently to form a judgment as to whether or not a given offer will satisfy a legal, regulatory, or industry audit or monitoring requirement as we make no representations as to the sufficiency of our procedures for satisfying any contractual or regulatory requirements.

Haven Insights

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Navigating the Regulatory Maze: Guide to FTC Privacy Safeguard Compliance

In the digital age, complying with the Federal Trade Commission (FTC) regulations is crucial for businesses. The FTC oversees advertising, marketing, data privacy, and consumer protection, with non-compliance risking penalties and trust erosion.

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Explore the following statistics to gain insight into the scale of cyber threats, the industries most affected, evolving technologies, and the importance of user awareness and preparedness in safeguarding against cyberattacks.

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Cybersecurity in 2024: Navigating the Ever-Evolving Digital Landscape

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The Intersection of AI and Cybersecurity

In the rapidly evolving landscape of cybersecurity, the role of artificial intelligence (AI) has emerged as both a formidable defender and a potential threat. As technology advances, so do the tactics of cybercriminals, necessitating innovative approaches to protect digital assets.

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A Comprehensive Review of Public Cloud Best Practices

In today's digital landscape, harnessing the power of the public cloud is no longer a mere option but a strategic imperative for businesses worldwide. Public cloud services offer unparalleled scalability, flexibility, and cost-efficiency, enabling organizations to innovate rapidly and stay competitive in an ever-evolving market.

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Cybersecurity Essentials: Building Digital Fortresses

In an age where our lives are intricately intertwined with digital technology, ensuring the security of our digital assets has become paramount. Cybersecurity, once relegated to the realm of IT departments, has now become a concern for individuals, businesses, and governments alike.

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Sophisticated Landscape of Phishing Trends in 2024

In the ever-evolving landscape of cybersecurity threats, phishing continues to stand out as a formidable adversary. As we traverse further into the digital age, the tactics employed by cybercriminals become increasingly sophisticated, exploiting vulnerabilities in technology and human behavior alike.

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Exploring Prominent Phishing Incidents: Lessons Learned

In our interconnected world, phishing is a major threat to individuals and organizations. These deceptive tactics aim to extract sensitive information like passwords and credit card numbers.

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The Intersection of Cybersecurity and the FTC Safeguards Rule

In an era where data breaches and cyber threats are rampant, safeguarding financial data has become paramount for both businesses and consumers alike. The convergence of cybersecurity practices with regulatory frameworks, such as the Federal Trade Commission (FTC) Safeguards Rule, plays a pivotal role in ensuring the protection of sensitive financial information.

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  2. Exploitative External Penetration Test
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  1. Exploitative External Penetration Test
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  3. External Vulnerability Assessment
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  5. Phishing Assessment
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  8. Automated Dynamic Application Security
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