Ohio Administrative Code
Title 3337 - Ohio University
Chapter 3337-48 - Policies on Identity Theft
Section 3337-48-01 - Identity theft prevention (red flag rules)
Current through all regulations passed and filed through September 16, 2024
The version of this rule that includes live links to associated resources is online at https://www.ohio.edu/policy/48-001
(A) Overview
The red flags rule was issued in 2007 under Section 114 of the Fair and Accurate Credit Transactions Act (FACTA) of 2003 and published at 16 CFR 681.1. The red flags rule was established to protect consumers from the incidence of identity theft. The purpose of this policy is to assist employees in identifying, detecting and responding to patterns, practices and/or specific activities known as red flags that could indicate identify theft.
(B) Definitions
(C) Covered account
(D) Identification and detection of red flags
(E) Responding to red flags
Once a red flag or potential red flag is detected, the employee must act quickly with consideration of the risk posed by the red flag. The employee detecting the red flag must gather all related documentation, write a description of the situation and present this information to the program administrator for determination. The program administrator will complete additional authentication to determine whether the attempted transaction was fraudulent or authentic.
(F) Protecting personal information
Employees designated by the program administrator must review on an annual basis the university's red flag program. University personnel are also encouraged to use good judgment in securing covered account information. Furthermore, designated employees must review policy 12.020 student records, policy 93.001 data classification, policy 40.007 public records requests, and other applicable laws and policies. If an employee is uncertain of the sensitivity of a particular piece of information, he/she must contact his/her supervisor. If the supervisor is uncertain, they must contact the program administrator for further advice.
(G) Program administration
Operational responsibility of the program at the university is delegated to a program administrator. The duties of the program administrator are oversight, development, implementation and administration of the program; approval and implementation of needed changes to the program; and staff training. The program administrator is also responsible for ensuring that appropriate steps are taken for preventing and mitigating identity theft, for reviewing any staff reports regarding the detection of red flags, and for determining which steps must be taken in particular circumstances when red flags are suspected or detected.
(H) Staff training
Staff training must be conducted for all employees who may come into contact with covered accounts or identifying information, as determined by the program administrator. The program administrator must retain training records for all designated employees showing that all designated employees have received annual training.
(I) Periodic updates to the program
(J) Overview of service provider arrangements
It is the responsibility of the university to ensure that the activities of all service providers are conducted in accordance with reasonable policies and procedures designated to detect, prevent, and mitigate the risk of identity theft. In the event the university engages a service provider to perform an activity in connection with one or more covered accounts, the university will take steps to ensure the service provider performs its activity in accordance with reasonable policies and procedures designed to detect, prevent and mitigate the risk of identity theft.
The version of this rule that includes live links to associated resources is online at https://www.ohio.edu/policy/48-001