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ISACA Certified Data Privacy Solutions Engineer Sample Questions (Q136-Q141):
NEW QUESTION # 136
Which of the following BEST ensures a mobile application implementation will meet an organization's data security standards?
- A. Automatic dynamic code scan
- B. Privacy impact assessment (PIA)
- C. Data classification
- D. User acceptance testing (UAT)
Answer: A
Explanation:
A mobile application implementation should meet the organization's data security standards by ensuring that the application does not contain any vulnerabilities, errors or malicious code that could compromise the confidentiality, integrity or availability of the data. An automatic dynamic code scan is a technique that analyzes the application code while it is running to detect and report any security issues or defects. An automatic dynamic code scan can help to identify and fix any potential data security risks before the application is deployed. The other options are not sufficient to ensure data security standards. UAT is a process of verifying that the application meets the user requirements and expectations, but it does not necessarily test for data security. Data classification is a process of categorizing data according to its sensitivity and value, but it does not ensure that the data is protected by the application. A PIA is a process of identifying and evaluating the privacy impacts of a system or project that involves personal data, but it does not ensure that the system or project meets data security standards. , p. 89-90 Reference: : CDPSE Review Manual (Digital Version)
NEW QUESTION # 137
When a government's health division established the complete privacy regulation for only the health market, which privacy protection reference model is being used?
- A. Comprehensive
- B. Self-regulatory
- C. Co-regulatory
- D. Sectoral
Answer: A
NEW QUESTION # 138
Which of the following is the BEST control to prevent the exposure of personal information when redeploying laptops within an organization?
- A. Disable all wireless networking in the group policy.
- B. Set a unique static IP for the default network interface.
- C. Reinstall the operating system and enable laptop encryption.
- D. Perform a full wipe and reimage of the laptops.
Answer: D
Explanation:
Explanation
Performing a full wipe and reimage of the laptops is the best control to prevent the exposure of personal information when redeploying laptops within an organization. This is because a full wipe and reimage ensures that all data, including personal information, is securely erased from the laptops and replaced with a fresh installation of the operating system and applications. This reduces the risk of data leakage, unauthorized access, or data recovery by malicious actors or unauthorized users. The other options are not as effective or sufficient as a full wipe and reimage, as they do not guarantee the complete removal of personal information from the laptops.
References: CDPSE Review Manual, 2021, p. 147
NEW QUESTION # 139
Which of the following is the BEST way to ensure that application hardening is included throughout the software development life cycle (SDLC)?
- A. Require an annual third-party audit of new client software solutions.
- B. Ensure comprehensive application security testing immediately prior to release.
- C. Require an annual internal audit of SDLC processes.
- D. Include qualified application security personnel as part of the process.
Answer: D
Explanation:
Explanation
The best way to ensure that application hardening is included throughout the software development life cycle (SDLC) is to include qualified application security personnel as part of the process. Application hardening is the process of applying security measures and techniques to an application to reduce its attack surface, vulnerabilities, and risks. Application hardening should be integrated into every stage of the SDLC, from planning and design to development and testing to deployment and maintenance. Including qualified application security personnel as part of the process helps to ensure that application hardening is performed effectively and consistently, as well as to provide guidance, feedback, and support to the developers, testers, and project managers. The other options are not as effective or sufficient as including qualified application security personnel as part of the process, as they do not address the root cause of the lack of application hardening, which is the gap in skills and knowledge among the SDLC participants.
References: CDPSE Review Manual, 2021, p. 131
NEW QUESTION # 140
A new marketing application needs to use data from the organization's customer database. Prior to the application using the data, which of the following should be done FIRST?
- A. De-identify all personal data in the database.
- B. Determine what data is required by the application.
- C. Ensure the data loss prevention (DLP) tool is logging activity.
- D. Renew the encryption key to include the application.
Answer: B
Explanation:
Explanation
Before using data from the organization's customer database for a new marketing application, the first step should be to determine what data is required by the application and for what purpose. This will help to ensure that the data collection and processing are relevant, necessary, and proportionate to the intended use, and that the data minimization principle is followed. Data minimization means that only the minimum amount of personal data needed to achieve a specific purpose should be collected and processed, and that any excess or irrelevant data should be deleted or anonymized1. This will also help to comply with the data privacy laws and regulations that apply to the organization, such as the General Data Protection Regulation (GDPR) or the California Consumer Privacy Act (CCPA), which require organizations to inform data subjects about the types and purposes of data processing, and to obtain their consent if needed23.
References:
* ISACA, Data Privacy Audit/Assurance Program, Control Objective 2: Data Minimization, p. 61
* ISACA, GDPR Data Protection Impact Assessments, p. 4-52
* ISACA, CCPA vs. GDPR: Similarities and Differences, p. 1-23
NEW QUESTION # 141
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