
Sydney White
Articles
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Oct 2, 2024 |
jdsupra.com | Sydney White
On September 19, 2024, U.S. Senator Angus King (D-ME); Rear Admiral (retired) Mark Montgomery, Senior Director and Senior Fellow of the Foundation for Defense of Democracies’ Center on Cyber and Technology Innovation; and former Southern Company Executive Chairman Tom Fanning announced the release of the 2024 Cyberspace Solarium Commission (CSC) 2.0 Annual Report on Implementation (Annual Report).
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Oct 2, 2024 |
mondaq.com | Sydney White
WR Wiley Rein More Wiley is a preeminent law firm wired into Washington. We advise Fortune 500 corporations, trade associations, and individuals in all industries on legal matters converging at the intersection of government, business, and technological innovation. Our attorneys and public policy advisors are respected and have nuanced insights into the mindsets of agencies, regulators, and lawmakers.
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Jul 15, 2024 |
jdsupra.com | Jacqueline Brown |Megan Brown |Sydney White
Verizon released its Data Breach Investigations Report (DBIR) for 2024,[i] an annual treat that highlights some trends companies should be aware of as they manage their cybersecurity programs and respond to and anticipate new legal and regulatory obligations. The DBIR is based on Verizon’s examination of 30,458 incidents and more than 10,000 breaches. [ii]We advise companies on cyber risk management, incident response, and compliance issues.
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Jun 28, 2024 |
mondaq.com | Sydney White |Kevin Muhlendorf
On June 24, 2024, the U.S. Securities and Exchange Commission (SEC) Division of Corporation Finance (Corp Fin) added to its Compliance and Disclosure Interpretations (C&DI) related to disclosure of Material Cybersecurity Incidents. The five new questions and answers address the need for an Item 1.05 of Form 8-K disclosure related to various ransomware scenarios.
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Jun 27, 2024 |
jdsupra.com | Jacqueline Brown |Kevin Muhlendorf |Sydney White
On June 24, 2024, the U.S. Securities and Exchange Commission (SEC) Division of Corporation Finance (Corp Fin) added to its Compliance and Disclosure Interpretations (C&DI) related to disclosure of Material Cybersecurity Incidents. The five new questions and answers address the need for an Item 1.05 of Form 8-K disclosure related to various ransomware scenarios.
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