Connecting Information (CI) Training

As the leakage of linkage information occurred and became known, measures such as evaluating the importance and management status of CI (Connecting Information) were implemented. Accordingly, specialized training is being conducted.

1 learners are taking this course

Level Intermediate

Course period 6 months

ISMS-P
ISMS-P
CPPG
CPPG
security training
security training
Engineer information security
Engineer information security
Penetration Testing
Penetration Testing
ISMS-P
ISMS-P
CPPG
CPPG
security training
security training
Engineer information security
Engineer information security
Penetration Testing
Penetration Testing

What you will gain after the course

  • Privacy Team Response to Connecting Information (CI)

  • Management and Supervision of Connecting Information (CI)

🔐 Connecting Information (CI) safety measures, prepare properly now with online training!

📢 If you are in charge of personal information protection and identity verification, you must check the secure management system for Connecting Information (CI). In particular, regarding the separate storage of CI and Resident Registration Numbers, matters requiring necessary actions to be completed by January 1, 2027 have been presented, making prior preparation by relevant organizations and companies crucial.

In this online training, we will provide an easy-to-understand summary of key practical concerns, focusing on the 「Connecting Information (CI) Safety Measures Training」 that practitioners must know, including the secure processing and management of CI, separate storage from resident registration numbers, and minimization of collection. 📚 There is no audio.

🎯 Recommended for these people!

👤 Privacy Officer
👤 Chief Privacy Officer (CPO) and Working-level Staff
👤 Identity Verification Service Operations Manager
👤 Information Security and Privacy Consultant
👤 Information and Communications Service Provider
👤 Manager operating services using CI/DI
👤 Personnel responsible for applying privacy and identity verification laws to practical operations

📌 Key content covered in the training

First, we will examine the requirements of relevant laws and standards, focusing on measures related to the separate storage of CI and Resident Registration Numbers.

⚖️ It is structured to provide a practical understanding based on the physical, technical, and administrative measures for identity verification agencies under Article 13 of the Enforcement Decree of the 「Act on Promotion of Information and Communications Network Utilization and Information Protection, etc.」, along with the relevant safety measures presented in Annex 4 of the 「Standards for the Generation and Processing of Linkage Information」.

🔎 What is particularly important is accurately identifying who the target of the measures is.

If you are an information and communications service provider that receives CI or DI from an identity verification agency and provides identity verification services, you need to check the relevant measures and inspect your own management system.

🛡️ CI management, how far should it go?

While CI can be utilized for identifying and linking service users, its nature requires careful management from a personal information protection perspective.

In this training, rather than simply listing the contents of laws and regulations, we will focus on questions that practitioners may actually encounter during their work.

Q1. Can CI be considered a mandatory item that must be collected?

If a leak occurs during the process of collecting and storing CI, it may be necessary to review whether that collection and storage process was conducted lawfully.

Therefore, it is important to consider ways to minimize the collection of CI from the service operation stage. 🔍

Q2. How should we view CI?

In the training, CI is examined from the same perspective as a secondary resident registration number, focusing on management precautions as information that can identify a specific individual, excluding details such as date of birth and gender.

💡 Additionally, we can consider the necessity of introducing DID services as a way to verify a user's identity or age without collecting the CI itself.

👶 In particular, when collecting CI for the purpose of verifying a child's age, management measures to minimize unnecessary retention, such as immediate destruction after achieving the verification purpose, must also be carefully reviewed.

📋 Training that can be applied immediately in practice

In privacy protection work, it is more important to know how to apply requirements to actual systems and business processes than to simply know that "the law contains such content."

This training is designed to help organizations and companies processing CIs review their current collection, storage, and usage processes and prepare the necessary measures by January 1, 2027.

🚨 In particular, you can examine from a practical perspective whether CIs and Resident Registration Numbers are being managed identically or in a linked format, whether related information is being stored for unnecessarily long periods, and whether the purpose of collection is appropriately aligned with the actual purpose of use.

📚 Training that every privacy officer should check right now!

In the recent privacy environment, secure management of various identification systems, such as identity verification, CI/DI, identification information, and resident registration numbers, is becoming increasingly important, beyond simple management of personal information collection and use.

In particular, if you are an organization that operates services using CIs, it is recommended to check the relevant safety measures and internal management processes in advance.

✨ Through this online training course

✅ Key measures regarding the separate storage of CI and Resident Registration Numbers
✅ Requirements to be prepared by January 1, 2027
✅ Whether information and communications service providers receiving CI/DI are subject to these measures
✅ Perspective on minimizing CI collection
✅ Review of CI storage and management processes
✅ Record management of collection sources
✅ Considerations in the event of a CI leakage accident
✅ Necessity of reviewing non-collection methods for CI, such as DID
✅ CI processing and immediate destruction perspective for child age verification

Please study these topics systematically. 🎓

🔐 If you are using CI, you must check "Is it being operated in accordance with current legal and administrative requirements?" rather than simply thinking "This is how we've always done it."

📢 If you are a privacy officer, identity verification service manager, information security officer, or privacy consultant, please use this training to organize the CI processing procedures and safety measures all at once.

💻 Learn conveniently online and apply CI safety measure training directly to your practical work!

👉 Take the course right now and check the Connecting Information (CI) management system and safety measures!

※ The main content of this training is based on the "Connecting Information (CI) Safety Measures Training" section of the provided educational materials.

Recommended for
these people

Who is this course right for?

  • Privacy Officer

  • Person in charge of the personal information processing system

Need to know before starting?

  • 8+ years of experience as a Privacy Officer

  • Over 20 years of experience in privacy consulting

Hello
This is jueygrace

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Learners

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Reviews

4.2

Rating

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Courses

A top domestic privacy expert with over 8 years of experience in privacy education, advisory, and consulting (performed 1st-tier financial sector ISMS-P/ISO27701/internal audits/regular evaluations; achieved S-grades for all consulting firms in public institution protection level evaluations for 6 years; conducted public institution impact assessments; served as a privacy instructor for major corporations for 3 years; established mid-to-long-term strategies (master plans) for manufacturing companies; and performed AI security reviews/deliberations, etc.)

 

Experience and Performance

 

1. Tutoring

2. Education

3. Consulting

4. Project Design/Support

5. Q&A (Inquiry Response)

6. Task delegation

7. Establishment of procedures

8. Procedure improvement

9. Status survey, diagnosis, and reporting

10. Establishment of plans for introducing new technologies, etc.

11. Establishment of Information Security/Personal Credit Information Protection Master Plan (Establishment of Mid-to-Long-term Strategy)

12. ISMS, ISMS-P evidence preparation and audit response

13. ISO27001, ISO27701 evidence preparation and audit response

14. Preparation of evidence and report writing for Personal Information Protection Level Assessment

15. Cybersecurity Status Assessment

16. Support for the enactment and revision of regulations, guidelines, procedures, manuals, and guides

17. Support for ongoing information security evaluation

18. Personal information leakage incident simulation drill

19. DRP, BCP Business Continuity Drill

20. Establishment of DRP and BCP business continuity plans

21. PbD(Privacy by Design) procedure and system menu planning

22. Establishment of SbD (Security by Design) procedures and security review criteria

23. Establishment and improvement of DevSecOps procedures

24. AI System Security Review

25. AI system personal information protection inspection (customized)

26. Support for pseudonymization, including review of pseudonymization adequacy

27. Designation of pseudonymization officers and definition of business R&R

28. Inspection of the storage and transmission system for personal information in access control systems (smart gates, fingerprint authentication, in-house apps)

29. Promotion, campaign planning and support

30. Planning and production of promotional materials, quizzes, and participatory events

31. Establishment of improvement plans for information security and personal information protection organizations

32. Checking the adequacy of information security and personal information protection budgets and establishing improvement plans

33. Support for collecting opinions on the revision of regulations and procedures, and support for conducting surveys

34. Support for exception handling for non-encrypted personal information and inquiry reason input

35. Support for producing Information Protection Committee reporting materials, preparing agenda for the Personal Information Protection Working-level Council, and supporting the attendance of advisory members

36. Support for personal information processing system inspection

37. Support for creating personal information flow tables and personal information flowcharts

38. Support for H/W and public/private cloud asset identification and establishment of asset classification standards

39. Support for asset C/S/O assessment and risk assessment report preparation

40. Support for drafting protection measures and improvement plan reports

41. BPF malware inspection

42. Inspection of shared folder usage status

43. Creation of critical data flow diagrams

44. Establishment of control system security monitoring plan

45. Support for trustee status investigation

46. Support for status survey of fixed video data processing devices

47. Support for status survey of mobile visual data processing devices

48. Support for personal information file updating survey

49. Support for investigating targets of personal information impact assessments

50. CPO Best Practice Sharing

51. Sharing CEO Best Practices

52. Establishment of open source management guidelines

53. Establishment of cloud management system

54. Vulnerability analysis and evaluation of electronic financial infrastructure

55. Vulnerability analysis and evaluation of critical information and communications infrastructure

56. Security Review Committee

57. Evaluation of the adequacy of firewall and security equipment (WAF, VPN, etc.) policies

58. Investigation of Account and Permission Status and Evaluation of Adequacy

59. Investigation and adequacy assessment of log and backup status

60. Investigation and adequacy assessment of personal information collection, storage, and provision status

61. Investigation of status and adequacy assessment of collection, storage, and provision of critical information

62. Adequacy assessment of security threats and security management for PC integrated security solutions, antivirus, DLP, DRM, data transfer, email, SSO, etc. (Solution bypass)

63. Assessment of Server Access Control and DB Access Control Policy Adequacy

64. Investigation and adequacy assessment of EOS and patch status

65. IP and Port Scanning

66. Investigation and inspection of app personal information protection status

67. Privacy Center Operation

68. 24/365 Personal Information Protection Help Desk Operation

69. Consent withdrawal system planning

70. Personal information inquiry and access system planning

71. Preparation of reporting materials for CISO/CPO/CEO

72. R&D Project

73. Consent form inspection checklist

74. Privacy Policy Review Checklist

75. Children's Privacy Inspection

76. Access log (inquiry, download) misuse and abuse consulting

77. CCTV De-identification Consulting

78. Penetration Testing

79. Web Vulnerability Assessment

80. App Vulnerability Assessment

81. CS Vulnerability Assessment

82. Mock Training

83. Tabletop Exercise (TTX)

84. Network Penetration

85. Inspection of Internal Management Plan Implementation Status

86. Personal information management status inspection

87. Trustee Inspection

88. On-site inspection of trustees

89. Service Security Inspection

90. On-site service security inspection

91. Creation and management of the list of handlers to keep it up to date

92. Review of access rights and establishment of criteria for differential granting

93. Creation of Security Pledge and Personal Information Pledge

94. Establishment and revision of access control policies

95. Personal information meetings, inspections, and support for affiliated and subordinate organizations

96. Discussion of group company personal information protection policies and measures

97. Establishment of personal information destruction plans and investigation of destruction status (destruction methods, destruction results)

98. Review of legal grounds for personal information retention and inspection of separate storage status

99. Establishment of procedures for requesting personal information access and investigation of current status

100. Improvement of procedures and status survey for requests such as viewing personal video information (including objections)

101. Support for applying and improving matters regarding refusal of automated collection and requests for withdrawal of consent, and support for improvement

102. Support for the application and improvement of the right to data portability for personal information

103. Support for personal information processing policy review and improvement measures (appropriateness, understanding, readability, etc.)

104. Personal information collection, use, and provision inquiry consent form review and system consent status check (minimum collection, form review)

105. Investigation of consent status (Investigation of CI/DI collection, comparison of DB storage status, default consent checks, etc.)

106. Personal information file consolidation survey and new personal information file survey

107. Inspection of the appropriateness of the grounds for processing personal information files

108. Review and re-establishment of password creation rules

109. Full investigation of access control (IP, duplicate login restriction, session blocking)

110. Full investigation of encryption status for internal and external transmissions

111. Personal Information Exposure Check

112. Source code inspection

113. Establishment of internal employee personal information management standards (labor-management consultation)

114. Production and design review of personal information processing policies in the form of webtoons, posters, easy-to-understand versions, and versions for children/the elderly and employees

115. Disclosure of outsourcing status via QR, bulletin boards, etc., use of icons and characters, and disclosure of personal information processing policy in mobile environments

116. Appropriateness of personal information consent and agent identity verification during landline processing at call centers, branch offices, etc.

117. Review of appropriateness for recording servers and STT (Speech to Text)

118. Review of the adequacy of transmission and storage for SMS/Email/Notification Talk transmission servers

119. Identification of business processes (by unit task), review of security and personal information protection adequacy

120. Generative AI utilization training and promotion (Cyber Security Diagnosis Day, Personal Information Protection Day)

121. Preparation of Personal Information Protection Master Plan and Personal Information Protection Implementation Plan

122. Support for information disclosure and public data provision tasks

123. Computerization of consent forms (improvement of AlimTalk viewing consent)

124. Review of overseas personal information protection laws

125. Information security inspection for new technology environments and personal information protection inspection business support

126. Support for the task of changing consent forms->information guides

127. Destruction status and appropriateness of destruction (cases of reports due to notifications such as emails to data subjects because data remained)

128. Cases of exposure of resident registration numbers, etc., via email due to employee error (establishment of prevention systems)

129. Establishment and application of procedures to block personal information uploads on internal and external bulletin boards, etc.

130. Consultation on requesting safety measures for the use or provision of personal information for purposes other than intended, or for personal information partnerships, and review of the reply regarding safety measures.

131. Support for trustee contract renewal (contract modification)

132. Comparison of pros and cons for SNS simple login reorganization and change support (SNS simple login vulnerabilities)

133. Vulnerability assessment of identity verification methods such as resident registration cards or mobile phone identity verification (numerous incident cases)

134. Consultation on changes to the division of duties

135. Internal management plan employee training

136. Establishment of reward and incentive plans

137. Support for PET (Privacy Enhancing Tech) implementation and training/consulting on synthetic data

138. Personal information protection consulting in new technology environments (Cloud, 5G, Generative AI, AI systems, drones), etc.

139. Deriving a plan to strengthen personal information security measures

140. Analysis and evaluation of internal management plans

141. Legal Compliance Assessment

142. e-Privacy Plus certification preparation and audit response

143. APEC CBPR certification preparation and audit response

144. CSAP certification preparation and audit response

145. Disclosure of ESG Information Security and Personal Information Protection Activities

146. Preparation and response for research institute institutional evaluation

147. Preparation and response for central administrative agency evaluations

148. Writing news press releases and creating slogans

149. Zero Trust Maturity Assessment

150. Establishment of improvement plans for trustee management

151. CVE Inspection

152. Management of trustee personal information processing flow and provision ledger

153. Investigation and inspection of personal credit information masking status

154. Inspection of wireless LAN usage status

155. Establishment and advancement of security management systems for public/private cloud environments

156. Individual Business Trustee Inspection

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3 lectures ∙ (4min)

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