Summary

Connor Group systems and services are securely architected to protect data within the environment. The export and sharing of sensitive data has proven to be a persistent and quantified risk requiring additional controls to prevent the inadvertent leak of sensitive data from managed endpoints and email systems.

This article describes Connor Group's Data Loss Prevention (DLP) policy on restricting sensitive data spread and the process of approving sensitive data transmission to external parties. DLP controls include but are not limited to endpoint and email analysis and protection and are a subset of controls that constitute Connor Group's Data Classification and Data Management initiatives. 

Scope


Connor Group DLP policy applies to data processed or stored on company systems, networks, or services.
    • Managed Endpoints and Systems
      • These are computer systems or applications fully managed by Connor Group and accessed by FTE or IC identities on a company-owned or remote network.  
    • Managed Networks
      • These are networks fully managed by Connor Group, whether physical or virtual.
    • Managed Cloud Storage

      • This includes storage as a service such as Microsoft OneDrive, SharePoint, or Google Drive, as well as other managed services where storage is a supplemental service, such as NetSuite or SalesForce

    • Email

      • Email services operated by Connor Group or other email providers which Connor Group owns or manages the namespace.

Details


Email Monitoring

DLP inspection of company email traffic is performed both from the client-side application as well as message transport during back-end processing. DLP rules targeting patterns or strings of sensitive data are configured to automatically deny transmission of messages to external recipients. 

Sensitive Data Transmission Approval

Email to external recipients containing sensitive or confidential information without prior documented approval violate this policyCorporate email or other electronic communication to an external recipient containing sensitive data requires documented authorization from  Connor Group's President or their assigned delegate. Violations of this policy are subject to disciplinary action, up to and including termination of employment or legal action. 'Sensitive data' is defined in the data classification standard. 

Endpoint and User Activity Monitoring

All company-owned devices shall be secured using modern business or enterprise-class solutions, including DLP controls. Endpoint DLP protection will include client-side protections against data egress, both physically and electronically. Users of company equipment should expect behavioral analytics as well as inspection and analysis of data stored or processed on the device. In addition to DLP controls, the user is expected to maintain protection of sensitive data. At no time shall sensitive data be transmitted or stored to unprotected / unencrypted systems without explicit approval from Information Security. 

Network Monitoring

Aside from the transmission of data that would be classified as general common data under the Data Classification Standard, all data transmission not isolated to secure internal networks is subject to inspection and additional DLP or other information security controls.

Responsibility

    • IT Engineering - establishment of infrastructure and controls
    • IT Support - Monitoring by observation through daily interactions


Administration

Effective from

 April 10, 2023

Policy owner

Connor Group Information Security

Policy administrator

Connor Group Information Security

Application

All policies and schedules of Connor Group

 

 

Version, File reference

1.0, 1

Published externally

 No

Approved by

Matt Larsen, IT Director