HomeCybersecurityM08888Evidence
Topic/Matter Intersection

Topic:"Cybersecurity" in M08888

Matter: E-ENS-G-18 - EfficiencyOne - Evaluation of DSM Programs - Application to allow inclusion of Non-Energy BenefitsEfficiencyOne - Application for approval of the use of Non-Energy Benefits within Cost-Effectiveness Testing
3 passages 2 documents

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E-10-(i)Book of Authorities 1 passage
11. CONFIDENTIAL AND PERSONAL INFORMATION p. p. 405
11. CONFIDENTIAL AND PERSONAL INFORMATION - 10 11 11.1 The Parties have executed or agree to execute the confidentiality agreement attached hereto as Schedule "D" - Confidentiality ("Confidentiality Agreement"). - 12 13 14 11.2 EfficiencyO...

AI summary The section outlines a confidentiality agreement between EfficiencyOne and NSPI, requiring EfficiencyOne to secure personal information and indemnify NSPI against liabilities from misuse or disclosure, including contravention of CASL. Schedule D is referenced as the confidentiality agreement.

E-13-(i)Book of Authorities 2 passages
THE CITY OF EDMONTON EDMONTON POLICE SERVICE EMU INC. (CARRYING ON BUSINESS AS CASH CONVERTERS MILL WOODS) p. p. 125
THE CITY OF EDMONTON EDMONTON POLICE SERVICE EMU INC. (CARRYING ON BUSINESS AS CASH CONVERTERS MILL WOODS) Case File Numbers 3561, 3562, P0363 Office URL: [www.oipc.ab.ca](http://www.oipc.ab.ca) Summary: The Complainant complained to the C...

AI summary The City of Edmonton required pawnshops and second-hand stores to upload personal information to BWI under a directive, violating the FOIP Act. The Commissioner ruled the City lacked authority, ordered data destruction, and mandated safeguards for personal information. The Edmonton Police Service (EPS) also contravened FOIP Act sections 33 and 34.

Issue C: Does the City of Edmonton have the Authority to disclose the Complainant's personal information to the Edmonton Police Service, as provided by section 40(1) of the FOIP Act? p. p. 125
- [para 70] However, I am satisfied that BWI has, as an employee of the City, taken reasonable steps to secure the database. BWI provided direct evidence explaining the security measures, both physical and electronic, in place to protect t...

AI summary The document details BWI's implementation of security measures for its database, including encryption, firewalls, physical safeguards, and monitoring protocols. While these steps are deemed reasonable, the president of BWI raises concerns in their statement, suggesting potential vulnerabilities or issues not fully addressed by the outlined measures.

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