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RSA’s Tran: organizations ought to quicken up the detection-response cycle | killexams.com true Questions and Pass4sure dumps

Peter Tran, the everyday manager and senior director for global superior cyber defense observe at RSA, takes what he calls an edgier view of cybersecurity than the gauge cat.

He worries about a phenomenon occurring in each government and within the deepest sector. Tran has dubbed it “security arrested decay.”

It stems from the indisputable fact that frequently, the IT infrastructures into which groups maintain invested so much are ageing. They noiseless feature. but when the pressure is on to notice and thwart cyber attacks, the age starts to demonstrate.

principally, Tran says, groups mind to monitor their infrastructure in a manner that reflects the deliberative procurement procedure beneath which the government operates. That’s in contradiction to the pace at which unusual cyber threats – and the tools to rob them on – emerge. He says it’s essential to bridge the safety assistance and event management (SEIM) model so it could actually stronger back the pace required to respond to the latest threats.

Host

Tom Temin, Federal advice Radio

Tom Temin has been the host of the Federal pressure because 2006. Tom has been reporting on and featuring perception to technology markets for more than 30 years.  prior to becoming a member of Federal advice Radio, Tom changed into an extended-serving editor-in-chief of executive desktop information and Washington know-how magazines. Tom also contributes a daily column on govt guidance expertise.

visitor

Peter Tran, ordinary manager and Senior Director, global superior Cyber protection observe, RSA

Peter M. Tran is the GM & Senior Director for RSA’s global superior Cyber defense (ACD) follow. he is responsible for world cyber defense method, safety operations design, implementation, intelligence and proactive laptop network protection solutions and functions. ahead of RSA, Peter led Raytheon’s industrial cyber skilled capabilities and options company in addition to its world trade security operations and cyber hazard courses for intelligence, APT probability evaluation, technical operations, exploitation analysis, adversary assault methodologies research and tackle development. He possesses over 18 years of combined govt, commercial and research adventure within the container of laptop community forensics, exploitation evaluation and operations . he is a Six Sigma qualified specialist and holds numerous technical certification to encompass the certified tips systems security skilled (CISSP), Paraben’s Handheld device/GPS indicators Examination and the SANS Institute GIAC reverse Engineering Malicious Code Certification.

He has held senior technical management roles with Northrop Grumman and Booz Allen Hamilton assisting numerous department of protection (DoD) Intelligence organizations in addition to trade organizations. Peter is a diagnosed skilled inside the industrial and public sector industries on technical matters regarding computer forensics, malicious code, international counterintelligence, expertise switch, network security and cyber espionage. Peter has authored a few periodicals and journals posted for his box work involving advanced cyber danger analytics, disbursed desktop forensics and biometric technology purposes. His research and technical event is utilized to predictive chance evaluation, automatic comparative forensics and utilized statistics analytics know-how. Peter has defended one of the vital accurate industrial brands and public organizations and is an issue knowledgeable frequently acting on Fox information, Fox business, NBC, CBS, Reuters television, SkyNews, Wall road Journal, Boston Globe, LA instances, us of a today, speedy company and The Harvard enterprise evaluation.

He holds a BA from the university of California at Santa Barbara, a grasp of Forensic Sciences from the George Washington tuition and is a graduate of the Harvard Kennedy faculty government software in Cyber security know-how/coverage, MIT Sloan faculty of administration government courses in strategy and Innovation, expertise Operations and cost Chain administration.

Peter is additionally a graduate of the FBI Cyber practicing application, the U.S. Federal legislation Enforcement practising headquarters (FLETC) and the John E. Reid approach ® for interview and interrogation.

His skilled undergo includes work as a Federal legislation Enforcement particular Agent, forensic analyst, programs/safety engineer, software product dressmaker, consultant in both know-how prototyping/creation and as an early stage mission mentor/consultant.

Tom Temin

Tom Temin is host of the Federal power and has been providing perception on federal know-how and management concerns for greater than 25 years. comply with @tteminWFED


the artery to Fail Over and Reinstate Oracle Database on Oracle Cloud | killexams.com true Questions and Pass4sure dumps

by using Joel Pérez and Skant Gupta

listed here, they will demonstrate you how to fail over and reinstate Oracle Database within the cloud.

be aware: to upshot disburse of the procedure presented in this article, you exigency two Oracle Cloud database situations. additionally, the process presented become carried out on Oracle Database 11g; youngsters, the manner should noiseless work on later releases akin to Oracle Database 12c release 1 and unlock 2.

Create the fundamental Database illustration
  • Log in to your Oracle Cloud functions account. Then fade to the Oracle Database Cloud carrier page and create a brand unusual service:

    - For provider cognomen enter basic.- From the service degree list, select Oracle Database Cloud provider.- From the Metering Frequency checklist, opt for whatever thing frequency is acceptable in your ambiance.- From the utility free up list, select Oracle Database 11g release 2.- From the software version record, select commercial enterprise version.- From the Database ilk record, elect unique illustration.

    Then click subsequent to continue.

    Figure 1 Creating a  unusual service

    figure 1. growing a brand unusual service

  • within the service details display, achieve the following:

    - For DB identify (SID), enter ORCL.- Set an administrative password of your preference and ensure the password (this might breathe your sys password).- For Usable Database Storage (GB), enter 25.- From the Compute configuration checklist, opt for OC3 -1 OCPU, 7.5GB RAM (this is the naked minimal required).- For SSH Public Key, enter rsa-key-20170111.pub.

    Then click on subsequent to continue.

    Figure 2 Specifying the service details

    determine 2. Specifying the carrier particulars

  • at last, review the configuration and click Create to create your simple cloud database.

    Figure 3 Creating primary cloud db instance

    determine three. growing the primary cloud database example

    After a few minutes, the basic cloud database instance has been created efficiently.

    Figure 4 Primary database created

    figure four. The fundamental database has been created

  • click the carrier cognomen (primary) to open the leading page of the database.

    Figure 5 Main page of primary database

    determine 5. main page of the fundamental database

  • earlier than making an attempt to connect with the simple database sample on the cloud computing device, you must permit the dblistener entry rule. achieve right here:

    a. Open the database provider and elect access rules from the menu.

    Figure 6 Selecting the Access Rules item

    determine 6. determining the access guidelines item

      b. For the ora_p2_dblistener rule, elect enable from the actions menu.

    Figure 7 Enabling the ora_p2_dblistener

    figure 7. Enabling the ora_p2_dblistener rule

  • Create the Standby Database illustration
  • Log in to your Oracle Cloud capabilities account. Then fade to the Oracle Database Cloud carrier page and create a unusual service:

    - For carrier identify enter Standby.- From the carrier flat list, select Oracle Database Cloud provider.- From the Metering Frequency checklist, elect whatever thing frequency is applicable on your atmosphere.- From the software liberate checklist, elect Oracle Database 11g free up 2.- From the application version list, select commercial enterprise version.- From the Database classification list, select unique example.

    Then click subsequent to proceed.

    Figure 8 Creating another  unusual service

    figure eight. creating a different unusual service

  • in the carrier particulars screen, achieve the following:

    - For DB identify (SID), enter ORCL.- Set an administrative password of your preference and ensure the password (this might breathe your sys password).- For Usable Database Storage (GB), enter 25.- From the Compute shape checklist, select OC3 -1 OCPU, 7.5GB RAM (this is the naked minimal required).- For SSH Public Key, enter rsa-key-20170111.pub.

    click subsequent to continue.

    notice: This dummy database may breathe dropped later.

    Figure 9 Specifying service details

    determine 9. Specifying the service particulars

  • ultimately, examine the configuration and click Create to create your standby cloud database.

    Figure 10 Creating standby DB instance

    figure 10. creating the standby cloud database example

    After a few minutes, the standby cloud database instance has been created successfully.

    Figure 11 standby database created

    determine 11. The standby database has been created

  • click on the carrier cognomen (Standby) to open the leading web page of the database.

    Figure 12 Main page standby DB

    determine 12. leading page of the standby database

  • before attempting to connect to the standby instance on the cloud laptop, you ought to allow the dblistener access rule. achieve right here:

    a. Open the database carrier and select entry guidelines from the menu.

    Figure 13 Selecting the Access Rules

    figure 13. picking the entry guidelines merchandise

    b. For the ora_p2_dblistener rule, select allow from the moves menu.

    Figure 14 Enabling the ora_p2_dblistener

    determine 14. Enabling the ora_p2_dblistener rule

  • Open two different instances of the PuTTY executable and attach to each the machines the disburse of SSH.

    Figure 15 Connecting to both machines using PuTTY

    figure 15. Connecting to each machines the disburse of PuTTY

    note: In the following figures, the basic sample is proven with a black background and the standby sample is shown with a yellow historical past.

  • verify the host cognomen and the pmon system on every server.

    Figure 16 Checking the host names

    determine 16. Checking the host names and pmon techniques

  • Drop the default standby database.

    Figure 17 Dropping the standby database

    figure 17. dropping the standby database

    in the next steps, you'll re-create the standby database manually

  • Configure the static registration of the standby illustration in the listener.ora file.

    additionally, because you'll should configure the information rob faith of broking service in an upcoming step, add a static entry for its command-line interface (DGMGRL) within the listener.ora file on both the basic and standby servers. (The facts sanctuary broking service is a distributed administration framework provided by artery of Oracle Database, enterprise version.)

    SID_LIST_LISTENER = (SID_LIST = (SID_DESC = (GLOBAL_DBNAME = STBY_DGMGRL) (ORACLE_HOME = /u01/app/oracle/product/11.2.0/dbhome_1) (SID_NAME = STBY) ) (SID_LIST = (SID_DESC = (GLOBAL_DBNAME = STBY) (ORACLE_HOME = /u01/app/oracle/product/11.2.0/dbhome_1) (SID_NAME = STBY) ) ) LISTENER = (DESCRIPTION_LIST = (DESCRIPTION = (handle = (PROTOCOL = TCP)(HOST = Standby.compute-aeetisalat78358.oraclecloud.internal)(PORT = 1521)) (tackle = (PROTOCOL = IPC)(KEY = EXTPROC1521)) ) )

    Figure 18 Configuring the listener

    determine 18. Configuring the listener.ora data

  • Now, restart the listener.

    Figure 19 Restarting the listener

    figure 19. Restarting the listener

  • Configure the tnsnames.ora info with the public IP addresses of the primary and standby servers. as soon as the addresses are configured, they will also breathe considered on the console.

    Figure 20 Verifying the configuration

    determine 20. Verifying the configuration of the tnsnames.ora info

  • make positive the tnsping command works on each side.

    Figure 21 Running the tnsping command

    figure 21. working the tnsping command

  • Create the pfile and password file on the standby machine. additionally, create the fundamental directories for the standby database.

    Figure 22 Creating directories

    figure 22. developing directories on the standby machine

  • On the fundamental computing device, install the following parameters for growing the standby database: ALTER system SET LOG_ARCHIVE_CONFIG = 'DG_CONFIG=(ORCL,STBY)'SCOPE=both; ALTER system SET LOG_ARCHIVE_DEST_1='area=/u01/app/oracle/archive VALID_FOR=(ONLINE_LOGFILES, ALL_ROLES)DB_UNIQUE_NAME=ORCL'; ALTER system SET LOG_ARCHIVE_DEST_2='service=STBY LGWR ASYNC verify VALID_FOR=(ONLINE_LOGFILES, PRIMARY_ROLE) DB_UNIQUE_NAME=STBY'; ALTER gadget SET FAL_SERVER =STBY SCOPE=both; ALTER device SET STANDBY_FILE_MANAGEMENT = AUTO SCOPE = both; ALTER DATABASE drive LOGGING;
  • start the standby database using the nomount preference with the pfile clause. Then from the simple desktop, disburse the Oracle recovery manager (Oracle RMAN) rman goal command to verify each connections.

    Figure 23 Starting the standby database

    determine 23. starting the standby database and checking the connections

  • From the primary computer, disburse the Oracle RMAN reproduction command to configure the standby database example. duplicate goal DATABASE FOR STANDBY FROM lively DATABASEDORECOVER SPFILE set control_files='/u02/app/oracle/oradata/STBY/control01.ctl','/u03/app/oracle/fast_recovery_area/STBY/control02.ctl' SET db_unique_name='STBY' remark 'Is standby' SET LOG_ARCHIVE_DEST_2='carrier=ORCLASYNC VALID_FOR=(ONLINE_LOGFILES,PRIMARY_ROLE)DB_UNIQUE_NAME=ORCL' SET FAL_SERVER='ORCL' remark 'Is simple' set db_recovery_file_dest='/u01/app/' set db_file_name_convert='/ORCL/','/STBY/' set log_file_name_convert='/ORCL/','/STBY/' NOFILENAMECHECK;

    After some time, the standby database is created and working in the installed state.

    Figure 24 Standby database running

    figure 24. Standby database running in the established state

  • Now, open the standby database in examine-simplest mode and start the restoration. also investigate that the actual database is practical.

    On the simple:

    create table examine as elect * from dict;

    On the standby:

    alter database open; ALTER system SET LOG_ARCHIVE_DEST_1='region=/u01/app/oracle/archive VALID_FOR=(ALL_LOGFILES,ALL_ROLES) DB_UNIQUE_NAME=STBY'; ALTER system SET LOG_ARCHIVE_DEST_2= 'provider=ORCL LGWR ASYNC verify VALID_FOR=(ONLINE_LOGFILES, PRIMARY_ROLE) DB_UNIQUE_NAME=ORCL' scope=each; get well managed standby database the disburse of current logfile disconnect;

    Figure 25 Opening the standby database

    determine 25. Opening the standby database and genesis the healing

  • Manually Fail Over to the Standby Database without Flashback expertise Enabled

    Failover is the system of activating the standby database in case the production (basic) database is deformed so as to minimize the possibility of records loss. It isn't reversible. When the failover manner is enabled, the standby database is switched to duty as the simple database and you would exigency to re-create the standby database.

    In a worst-case situation when the facts protect simple database is not attainable for construction, that you can spark off the standby database to breathe the simple production database with the aid of performing the following steps.

  • From the secondary database, rush right here SQL statements: recover managed standby database cancel; get well managed standby database finish; alter database spark off standby database; startup drive

    Figure 26 Activating the standby database

    figure 26. Activating the standby database

  • as a result of they achieve not maintain flashback expertise enabled on both sides, manually re-create the ancient fundamental database as the actual standby database from the scratch.

    Figure 27 Re-creating   infirm primary database

    determine 27. Manually re-developing the historic simple database

  • beginning the historic simple database in the "nomount" state. Then reinstate it by running the Oracle RMAN reproduction command from the secondary computer: duplicate target database for standby from lively database nofilenamecheck;

    Figure 28 Starting   infirm primary database

    determine 28. genesis the ancient fundamental database and reinstating it

    After a while, the historic basic database is re-created because the standby database and it's working within the established state.

    Figure 29 primary database mounted state

    figure 29. infirm primary database working within the hooked up state

  • Now, open the standby database in examine-handiest mode and start the healing. also assess that the physical database is purposeful.

    On the simple:

    SQL> alter database open examine best; SQL> glean better managed standby database the usage of latest logfile disconnect; SQL> opt for count(*) from test; count number(*) ---------- 0 SQL> select identify,db_unique_name,database_role,open_mode from v$database; name DB_UNIQUE_NAME DATABASE_ROLE OPEN_MODE --------- ------------------------------ ---------------- -------------------- ORCL ORCL physical STANDBY study handiest WITH observe

    On the standby:

    SQL> opt for count(*) from examine; count number(*) ---------- 2666 SQL> delete from glimpse at various; 2666 rows deleted. SQL> commit; Commit finished. SQL> select count number(*) from test; count(*) ---------- 0

    Figure 30 Opening the standby database

    determine 30. Opening the standby database and starting the recuperation

  •   Use Flashback know-how to Reinstate a Standby Database After a Failover with the statistics glimpse after broking service

    Hardware crashes maintain become very ordinary these days. that is why making a catastrophe recovery (DR) configuration for records preserve is terribly efficacious for every database, regardless of its dimension. but the size of the database defines the device a DBA can disburse to re-create the simple database and install the DR configuration.

    If database is reasonably small, doing a simple "bloodless copy" the disburse of the Oracle RMAN replica command is first rate enough. although, in the case of massive data warehouses or statistics marts, doing that takes too long. therefore, it's advised to reinstate standby databases through the disburse of the Oracle Flashback Database faculty of Oracle Database.

  • On the fundamental computing device, mount the database, configure flashback retention, delivery the Oracle Flashback Database skill, and open the database via running here statements: SHUTDOWN instant; STARTUP MOUNT; ALTER device SET DB_RECOVERY_FILE_DEST_SIZE=2g scope=each; ALTER tackle SET DB_RECOVERY_FILE_DEST='/u01/app/' scope=both; ALTER tackle SET DB_FLASHBACK_RETENTION_TARGET=240; ALTER DATABASE FLASHBACK ON; ALTER DATABASE OPEN;
  • On the standby computer, cancel the recuperation, mount the database, configure flashback retention, delivery the Oracle Flashback Database means, open the database in read-most efficacious mode, and start the recuperation process through working here statements: ALTER DATABASE help MANAGED STANDBY DATABASE CANCEL; STARTUP drive MOUNT; alter tackle set DB_RECOVERY_FILE_DEST_SIZE=2g scope=both; alter device set db_recovery_file_dest='/u01/app/' scope=each; ALTER gadget SET DB_FLASHBACK_RETENTION_TARGET=240; ALTER tackle FLASHBACK ON; ALTER DATABASE OPEN read handiest; get well managed standby database using current logfile disconnect from session;

    Figure 31 Results of starting flashback

    determine 31. consequences of genesis the flashback technology on each machines

    subsequent, they can configure the facts glimpse after broker.

    listed here are the basic and standby database server particulars:

    basic server: basic.compute-aeetisalat78358.oraclecloud.internalDatabase: ORCL

    Standby server: StandBy-1.compute-aeetisalat78358.oraclecloud.internalDatabase: STBY1 

  • On each the simple and the standby database server, birth the facts protect broking service method:

    a. permit the broking service procedure with the aid of atmosphere the charge of the parameter DG_BROKER_START to true.

    ALTER device SET DG_BROKER_START=actual SCOPE=each;

    b. breathe positive that the listener.ora file on both servers has a static entry for the DGMGRL command-line interface. (This was brought past in step 9.)

    c. On the primary server, create the information guard broking service configuration by running the statements:

    DGMGRL> CREATE CONFIGURATION 'Cloud DG' as primary DATABASE IS'ORCL' attachIDENTIFIER IS 'ORCL'; Configuration "CloudDG" created with simple database "ORCL" DGMGRL> pomp CONFIGURATION Configuration - CloudDG coverage Mode :MaxPerformance contributors: ORCL - primary database fast-beginning Failover:DISABLED Configuration repute: DISABLED

    d. Add the standby database to the configuration by means of running here statements:

    DGMGRL> ADD DATABASE 'STBY' as connect IDENTIFIER IS 'STBY'; Database "STBY" brought DGMGRL> expose CONFIGURATION Configuration - CloudDG insurance device Mode :MaxPerformance Databases: ORCL - fundamental database STBY - physical standby database speedy-start Failover:DISABLED Configuration popularity: DISABLED

      e. allow the configuration with the aid of working right here statements:

    DGMGRL> allow CONFIGURATION Enabled. DGMGRL> exhibit CONFIGURATION Configuration - CloudDG insurance device Mode: MaxPerformance Databases: ORCL - primary database STBY - actual standby database speedy-birth Failover: DISABLED Configuration reputation: SUCCESS

    Figure 32 Results of enabling broker

    figure 32. results of enabling the broking service

  • Now, to continue this simulation, crash the fundamental database.

    Figure 33 state of the primary database

    figure 33. state of the primary database after is it crashed

  • Now, duty a failover to the standby server with the aid of running here command: DGMGRL> failover to 'STBY' Performing failover NOW, gladden wait… Failover succeeded, unusual primary is "STBY"

    Figure 34 Performing a failover

    figure 34. Performing a failover

    be aware: Now the standby database turns into the fundamental database.

  • Reinstate the database.

    because we've Oracle Flashback Database already configured, that you may disburse right here command to reinstate database with out restoring the backup:

    DGMGRL> reinstate database 'ORCL';

    Figure 35 Reinstating the database

    figure 35. Reinstating the database

    Failing which they would had been required to configure flashback database in order to reinstate the database immediately. As determine 35 indicates, the reinstate project failed as a result of flashback is not configured to reinstate instantly throughout the Reinstate Database <DB identify> command.

  • Now they are going to stream lower back to the ancient configuration. operate a switchover operation, as shown in pattern 36.

    Figure 36 Performing a switchover operation

    figure 36. Performing a switchover operation

  • Conclusion

    So now you recognize that it is awfully convenient to accomplish a failover over the cloud with and devoid of using Oracle Flashback Database.

    We hope this text is useful and they invite you to proceed studying their next publications focused on Oracle Cloud.

    concerning the Authors

    Joel Pérez is an authority DBA and Oracle ACE Director and an Oracle certified master in Oracle highest Availability structure, Oracle Database cloud administration, and Oracle Database 11g and12c. He has over 17 years of true-world journey with Oracle know-how and specializes within the design and implementation of options for the cloud, extravagant availability (HA), catastrophe recovery, upgrades, replication, and most areas related to Oracle Database. at present, he works as chief technologist and architect for cloud applied sciences, Oracle maximum Availability architecture, and HA at Yunhe Enmo (Beijing) know-how Co., Ltd. in Beijing, China.

    Skant Gupta is an Oracle licensed Cloud knowledgeable in Oracle Database 12c, an Oracle licensed professional in Oracle actual software Clusters (Oracle RAC) in Oracle Database 11g, and an Oracle licensed skilled in Oracle Database 10g, 11g, and 12c. He works at Vodafone technology in the UK and formerly worked as a senior DBA at Etisalat in Dubai. He has six years of adventure with quite a few Oracle applied sciences, focusing primarily on cloud, database, and lofty availability solutions, Oracle WebLogic Suite, and Oracle GoldenGate. He has introduced at a pair of Oracle user companies worldwide, most currently within the US, the United Arab Emirates, and India.

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    ISACA targeting women, adolescent professionals to proximate the cybersecurity skills gap | killexams.com true questions and Pass4sure dumps

    Listen to the replete show.

    With security breaches on the rise, the exigency for qualified, skilled cybersecurity professionals is greater than ever. Eddie Schwartz, the chairman of ISACA’s Cybersecurity Advisory Council and president and chief operating officer of WhiteOps, said there is a shortage of more than a million professionals worldwide dating back several years that must breathe addressed immediately.

    “The gap was actually developed probably over the terminal 15 years or so,” Schwartz said. “Way back when, when I got started in cybersecurity, it was basically a technical field. But what happened about 15 years ago or so is the entire industry – and when I roar the entire industry I value government, financial services, censorious infrastructure, everybody that cares about security – became laser-focused on compliance with regulations.

            Insight by the Anomali: Justice Department, DODIN, DHS and IT-ISAC explore cyber threat intelligence in this free webinar.

    “We had the advent of the Federal Information Security Management Act (FISMA) in the government space, which was the requirement for government chief information officers to focus their budgets on compliance with regulations. They had the deregulation of financial services, which entered a all unusual slew of regulations.”

    What once was a highly technical territory had shifted to hiring people with regulation expertise to address faultless the unusual compliance requirements around cybersecurity.

    “What they had was more of a focus on governance, risk and compliance and a lessening of emphasis on technical security,” Schwartz said.

    Schwartz said the watering down of the cybersecurity skill set led to the emergence of advanced persistent threats, which included the ascend of nation-state attackers, cyber terrorism and the strengthening of organized terror groups.

    This left a world-wide shortage of expertise in technical skills such as incident response and cyber forensics to retain up with the demand in both government and the private sector to compete with the adversaries’ innovation.

    One artery to proximate the gap is to inspirit more women and younger workers to pursue a career in cybersecurity, he said. ISACA participates in events that are focused on women in technology to back them understand that cyber is an attractive territory one should consider.

            Is the Office of Personnel Management having a midlife crisis?

    “We maintain very successful women executives in security talk about their experience,” Schwartz said. “Talk about what a rewarding territory it is, about how they rose up through the ranks; whether they’re in the military, government service, private sector and the value of working in that field, in terms of what it brings to the table, the financial rewards, what it’s devotion from a property of life perspective.”

    Schwartz also pointed to ISACA’s certification program for those looking to glean into the cybersecurity field.

    “We developed this program called CSX,” Schwartz said. “And CSX is designed to rob you from the very basics faultless the artery up to eventually over the course of your career – the thought of apprentice, journeyman, master – it starts with this thought of learning the fundamentals.

    “Even if you’re in lofty school, you can rob this fundamentals program,” he said. “You learn the basic technical premises behind cybersecurity. It’s based on the National Institute of Standards and Technology (NIST) cybersecurity framework, which is generally accepted not only in the U.S., but in a lot of places around the world as a really mighty framework for understanding the lifecycle of cybersecurity and the threats, vulnerabilities and assets that organizations exigency to deal with.”

    From there, Schwartz said participants then prove their hands-on skills to become a practitioner by taking a series of tests and responding to situations in a live setting using open source technical tools to “prove your artery out of it,” he said.

    Host

    Jason Fornicola

    Jason Fornicola

    Jason Fornicola, Director of Custom Media, Federal advice Radio

    Jason Fornicola joined WTOP and Federal advice Radio in February of 2014 as the Director of Custom Media, where he manages the stations’ sponsored and custom content initiatives. Fornicola provides clients with access to high-quality content consistent with the stations’ gauge of excellence and works to decipher clients’ needs through a multi-platform approach which includes on-air, digital, video and gregarious media. His journalism and gregarious media undergo back the stations’ efforts to ensure the client message is conveyed in a artery that will achieve their marketing crusade objectives.

    Guest

    Eddie Schwartz Photo

    Eddie Schwartz Photo

    Eddie Schwartz, CISA, CISM, CISSP-ISSEP, PMP, board director of ISACA, chair of ISACA’s Cybersecurity Advisory Council, and president and COO of WhiteOps, Inc.

    Eddie Schwartz, CISA, CISM, CISSP-ISSEP, PMP, is a member of ISACA’s Board of Directors, chair of ISACA’s Cybersecurity Advisory Council, and president and COO of WhiteOps, Inc.

    Previously, he was vice president and chief information security officer (CISO) for RSA.

    Schwartz has more than 25 years’ undergo in the information security field. Prior to RSA, he was CSO of NetWitness (which he co-founded and which was acquired by EMC), CTO of ManTech, EVP and common manager of Global Integrity (acquired by INS), SVP of Operations of Guardent (acquired by VeriSign), CISO of Nationwide Insurance, a senior computer scientist at CSC, and a alien Service officer with the U.S. Dept. of State.

    Schwartz is a recipient of the 2015 George Mason School of trade 20 Prominent Patriots in trade Award, and 2013 Computerworld Premier 100 IT Leaders Award. He is a Distinguished Fellow of the Ponemon Institute and an adjunct professor of Cyber Security at George Mason University. He serves on the advisory boards for Observable Networks and My Digital Shield, Inc. He also serves as the vice president and treasurer of the ISSA National Capital Chapter.

    Schwartz has a B.I.S. in Information Security Management and an M.S. in Information Technology Management from the George Mason University School of Management


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    By Julie DiMauro

    NEW YORK, May 17 (Thomson Reuters Accelus) – The compliance officer role in heavily regulated industries, such as defense contracting, healthcare and financial services, is endowed with mighty responsibility. The compliance officer is charged with spotting risk and pursuing the policies and procedures that bring such exposures to levels deemed acceptable as contemplated by agency regulations and local and federal laws.

    As the compliance position has grown to become more of a top-level role, and more firms maintain Come to recognize it as an indispensable component to its regulatory regime, there has been a surge in the number of training and certification programs dedicated to the exchange of compliance best practices. Furthermore, thanks to calamitous corporate governance failures that can largely breathe traced to lapses in usurp risk monitoring and disclosure, as with Enron, WorldCom and Lehman Brothers for starters, and changes in corporate practices that mandate meetings between compliance professionals and boards of directors, the training that such professionals receive is ripe for discussion.

    Certification and continuing education courses abound for compliance professionals, as the demand for their expertise grows and as they quest unusual jobs and higher wages. Membership groups and educational programs abound to back professionals multiply their skills and understanding of the specific regulations in their industries — or to multiply their proficiency at spotting risk and ethics lapses in common — while networking with like-minded peers.

    Compliance hiring experts said the programs can breathe particularly useful to unusual professionals or to others seeking to enrich their networks.

    The compliance professional has multiple kinds of training programs, certifications, continuing education credits and e-learning offerings to elect from, faultless of them offering censorious skills training, and each of them advertising a different approach. This article surveys some of the offerings – but the selection of programs to discuss does not constitute an endorsement or observation on their merit.

    Courses, certifications and credentials

    The NRS

    National Regulatory Services (NRS) offers compliance professionals at investment advisor firms the opportunity to participate in conferences, e-learning, core coursework and a certification program. In 2007, the Investment Adviser Association (IAA) agreed to co-sponsor the NRS’ suite of training programs.

    “These programs promote professionalism in the compliance duty and give students a credential they can disburse to advance,“ says David Tittsworth, executive director at IAA. “Compliance is noiseless a relatively unusual position in firms; the person who occupies the role must expose his or her competency. This is where training comes into play.”

    Launched in 2005, the NRS designed a certification program that offers courses online and in person, with instructors drawn from the SEC, law firms and from the chief compliance officer or common counsel offices of big corporations. Drawing on the SEC’s Compliance Program Rule, announced in 2003, NRS responded to the mandate that investment advisers must designate a compliance professional who has the ear of top management, and created coursework to train people for the role.

    The IAA helps NRS retain its content up-to-date by consulting experts in financial services and education experts to upshot positive the course materials and testing are up to par each year.

    There is a $2,000 core training program that entails taking 10 courses and receiving a certificate (but not a certification or credential) and a 20-course program that costs $4,700, with a final examination that enables participants to receive a designation of “IACCP,” or Investment Adviser Certified Compliance Professional.

    “We maintain seen an influx of participants coming from private funds, now that such funds exigency to register as investment advisers and exigency a compliance officer,” says John Grebauer, NRS president.

    “We are focused on SEC-registered advisers, and they are increasingly offering state-specific content coverage where applicable, such as custody regulations and private fund exemptions,” Grebauer notes. “While they cannot cover every regulation and rule, they give students the skills to know how to find the rule, when to apply it and how to wait on top of the changes affecting their business.”

    Students enrolled in the core training and the IACCP certification training typically hail from medium to large-sized firms who are just genesis to maintain a dedicated compliance officer or whose compliance team just got larger. Some FINRA regulators and state examiners maintain taken the courses as well.

    Wendy Laidlaw, a graduate of the IACCP program and a member of the IAA for 16 years, explained how she retains her IACCP designation. “I rob 12 hours of training per year to maintain it. You can satisfy the requirement with coursework offered by other entities other than the NRS, but you exigency to maintain it approved by NRS as being sufficiently rigorous and well-rounded.”

    Wendy is a co-owner of her wealth management business, so she does not necessarily exigency the IACCP designation for career advancement or job security. She sees it as helpful in this manner for her staff, though. “It really says something about someone who is willing to rob a course, sit and rob a difficult exam that you can fail, and to achieve so voluntarily.”

    The SCCE

    The Society of Corporate Compliance and Ethics (SCCE) offers a variety of exam-optional compliance “academies” across the country that terminal four days and are labeled “basic compliance and ethics” training. The Certified Compliance and Ethics Professional Program (CCEP) designation is conferred upon those who pass the optional examination. The program, inaugurated in 2002 and taught by experienced compliance officers, requires compliance personnel to maintain one year of undergo before taking the course.

    The program is offered in a variety of locations throughout the year, from Sao Paulo and Brussels to Scottsdale and Boston. The compliance training is not targeted to the financial professional only; it is a broader-based training that also aims to back compliance professionals coming from industries including healthcare, utilities and pharmaceuticals learn how to assess risk and identify proper procedures for rectifying them.

    “The judgement they can discipline across faultless of these industry spaces is because they discipline along the parameters of the seven elements of the Federal Sentencing Guidelines,” explains Debbie Troklus, managing director of Aegis Compliance and Ethics headquarters and a dean for the SCCE’s academies.

    The Federal Sentencing Guidelines were revised in 2004, and chapter 8 is designed with corporate entities in mind: Its seven elements are designed to provide the actions, policies and incentives for organizations to design and maintain the mechanisms for preventing, detecting and reporting criminal conduct at their firms. A censorious component of this self-policing program is maintaining a compliance and ethics program designed to forestall and detect criminal conduct by employees and executives, whatever the industry.

    “The certification exam on the fourth day of the academy is based on this chapter of the guidelines,” Troklus explains. “We approach the topic of compliance and ethics from this standpoint — the principle that you maintain to rob inescapable steps to maintain an efficacious compliance program at any firm.”

    Up to 75 students attend each of the academies, with the three non-U.S. academies drawing just a shrimp less in number. Course materials are $349 ($395 for the video) and the curriculum revolves around policies and procedures; communications and training; internal reporting and auditing; discipline and response; and risk assessment.

    The ECOA

    Another organization that takes a broad approach in training compliance professionals across a variety of industries is the Ethics and Compliance Officer Association (ECOA), which targets senior compliance officers and chief ethics officers. The ECOA wants its program to breathe as suitable for professionals from Ford Motor Company as those hailing from Pfizer because its training teaches students how to establish the internal controls and code of ethics necessary to maintain best practices, regardless of the regulatory entity.

    The coursework takes eight months to complete — 120 hours – plus five additional e-learning courses to take. It is offered through unusual York University’s continuing education and professional studies department.

    “Our program is called ‘APEX,’ which stands (loosely) for ‘Advanced Practitioner in Ethics & Compliance’ and is just 18 months old. But it is rigorous, and their students elect us because they glimpse across the spectrum of industries at common ethics and compliance principles,” states Tim Mazur, chief operating officer.

    The ethics and compliance officers in the most recent program offered by ECOA came mainly from the energy, healthcare, manufacturing, retail and utilities sectors, but some big financial services firms sent their compliance personnel. Mazur expects that number to rise.

    “Our coursework is taken electronically,” Mazur explains. “Then the students maintain a practicum to complete. Finally, they rob a certification exam that is done in person. The sessions are designed to back participants manage hotlines, wield sexual harassment claims, deal with whistleblowers and understand the anti-retaliation provisions of Dodd-Frank — the censorious components of what every compliance officer should know.”

    Mazur notes that the APEX program’s broad curriculum appeals to a variety of ethics and compliance professionals who wish to breathe nimble, acquiring a variety of marketable skills that they can apply to different employers. “Our students can switch industries and carry their training with them; many regulatory compliance certification programs cannot roar as much,” he notes.

    The CCRP at Pace University

    Educational opportunities also exist for professionals seeking specialized compliance training.

    The Certified Compliance and Regulatory Professional (CCRP) is a six-month, 75-hour and 25-session .certificate program designed to provide compliance training for professionals working at alien banks doing trade in the United States.

    “The CCRP is not for broker-dealers or investment advisers. It is just for those working in alien banks on U.S. soil, with the understanding that these professionals exigency to know how to deal with their specific auditors and examiners — both the cross-border ones and the more local ones,” says John Allan (Jack) James, executive director of the program and an international expert on how corporations are governed.

    Pace University in unusual York, where James serves as a professor, established the headquarters for Global Governance, Reporting and Regulation, and the CCRP is being offered under its banner. Since there are nearly 100 branches and agencies of alien banks doing trade in the United States, there is no dearth of professionals to service.

    “Foreign banks with U.S. offices maintain some flat of confusion over how to comply with the PATRIOT Act, Volcker Rule, alien Account Tax Compliance Act (FATCA), living wills requirements, the three Basel accords and other regulations. Specific experts from each area that they cover discipline the subjects — letting their students what they exigency to know right now, with some predictions for the future,” James explains. “We discipline them even more than the core subjects, though; they discipline them how to deal with uncertainty, because this is what risk management is faultless about.”

    “We want their students to breathe able to assess if their parent companies are living up to American standards by having a comprehensive risk management system in place,” he notes. By artery of an example, James says: “If your fork in Kuala Lumpur does a trade with non-Americans, does the U.S. office maintain to report it to the U.S. government, and if so, by when and how?”

    There are two courses, priced at $2,500 each plus a registration fee, and graduate credit at Pace comes with successful completion the two. Course 1 is more common and covers comparative corporate governance and regulatory strategy, and course 2 drills down into issues as specific as the IT challenges unique to compliance professionals. The sessions are videotaped, so a student can retrieve a prior session that was missed.

    James hopes the courses discipline students to link compliance with regulations to the operations of a company, and risk management in common to credit risk and reputational risk more specifically. And he trusts that students will learn how to interact with the many agencies they must report to on these shores and abroad.

    FINRA/Wharton Program

    The financial Industry Regulatory Authority (FINRA) offers an intensive six-day course through the Wharton School at the University of Pennsylvania. This program, called the FINRA Institute, was designed purely for financial services professionals, and its mission is to confer a broad understanding of the regulations and laws that impact broker-dealers or broker-dealer/investment adviser hybrid firms.

    Taught by UPenn trade and law school professors and industry professionals, the course covers faultless aspects of the Securities Exchange Act, the Investment Company Act, Blue Sky Laws and self-regulatory organization regulations. FINRA sends it own employees to the program.

    “To breathe honest, I chose the program for the Wharton cognomen and the cognomen of the regulator endorsing it,” says David Martin, president of Keystone Capital Corporation in San Diego and a FINRA Institute graduate. “The course coverage was perfectly tailored to anyone in the broker-dealer territory and the networking with peers was terrific. There were compliance officers, traders, advisers, FINRA employees, attorneys and securities principles faultless interacting and exchanging ideas.”

    The Institute provides an overview of how broker-dealer regulations developed to give students an appreciation for why they exist, not just how they should breathe applied. Upon completion of the course and the final examination, a Certified Regulatory and Compliance Professional (CRCP) degree is awarded. To retain the certification valid, students must complete 12 hours of continuing education every three years using a variety of pre-approved and FINRA-designed conferences, e-learning, online workshops and webinars that confer a number of credits, depending on the topic and duration of the session chosen.

    Since Martin is now in a position to hire and fire within his firm, he notes that programs devotion the FINRA Institute back them create a process for reviewing an employee’s performance. This is particularly indispensable in light of FINRA Rule 3130(b), which mandates that FINRA members maintain both a designated compliance officer and a process in situation for reviewing and testing its policies, plus a artery to assess its compliance officer’s progress in achieving compliance with the FINRA regulations.

    “I am required by the FINRA rules to maintain a supervisory system in situation at my solid that is designed to achieve compliance with the rules and to benchmark my compliance team’s performance. I am also a hiring manager. If I descry that an employee has attained the CRCP, that’s one excellent indicator that he or she is qualified to rob on the compliance role,” Martin says.

    The cost of the FINRA Institute, including the meals, lodging and course materials is $8,650 for students from FINRA member firms; those from non-member firms or who maintain no solid sponsoring them must pay $9,450.The program offers scholarships, however.

    Assessing the professional currency of coursework, credentials

    Given the expense of attendance, what achieve certification and training programs confer on their participants? Can they monetize the value of the ail and achievement?

    “These training program credentials are most helpful for the individual who has never done the compliance officer’s job before,” said David Symes, managing director of Compliance Recruitment Solutions, offices on Wall Street and in London. “It’s an attractive feature as a prospective candidate, but less material to advancement in the profession.”

    “I consider the compliance professional with some undergo under his or her belt gains more from the networking advantages offered through the training sessions than from having the unusual certification credentials added after his or her name,” Symes said. “In fact, having more than two credentials after your cognomen can serve to obscure the one that is most material to your current position or the one you are seeking.”

    Should unusual compliance professionals enroll in courses that cater to knowing mainstream compliance concepts, or in those programs that are more specific in their teaching?

    “Those who are focusing on anti-money laundering might want to focus on training programs that are AML-focused. Most other compliance professionals should quest a broader offering of securities regulation coverage,” he said.

    Symes stressed that most compliance certifications cannot compete with the value of having FINRA’s series 7 and series 63 licenses. People who pass these examinations can expose that they maintain an understanding of the products their firms are selling and how their firms can lawfully sell them under federal and state regulations.

    “In the UK, these licenses are required to expose that you are worthy of making it past the junior ranks in the compliance department. It is not mandatory to breathe so licensed in the United States in the compliance role, but it certainly looks attractive to maintain obtained them,” he notes.

    Is this a excellent time to enroll in a certification program or obtain a license, such as the series 7 or 63?

    “Using an economic downturn to your advantage means doing a bit more — and taking a well-regarded training course and getting a certification is helpful in these periods,” observes Suzanne Richard, president of Fortune Personnel Consultant in Fort Washington, Pa.

    “I consider that the alphabet soup of credentials after your cognomen starts to glimpse really silly,” she says. “But a strategy that never fails the job hunter — or the person seeking a promotion — is to wait connected, and these trainings can a excellent situation to achieve that and distinguish oneself from the competition.”

    The candidate who has the most to gain from a certification, she notes, is the person without an advanced degree. Symes agrees. A law degree, trade degree, CFA (chartered financial analyst designation) or CFP (certified financial planner distinction) are noiseless the best credentials to maintain in one’s pocket when seeking a compliance role or to promote in one’s job.

    (This article was produced by the Compliance Complete service of Thomson Reuters Accelus. <a href=”http://accelus.thomsonreuters.com/solut ions/regulatory-intelligence/compliance- complete/” target=_new”>Compliance Complete</a> provides a unique source for regulatory news, analysis, rules and developments, with global coverage of more than 230 regulators and exchanges.)


    Cognosec AB (Publ): Cognosec completes acquisition of ADVANTIO | killexams.com true questions and Pass4sure dumps

    June 26, 2018 14:00 ET | Source: Cognosec AB (Publ)

    PRESS RELEASE:  London, 26 June 2018

    Cognosec completes acquisition of ADVANTIO

  • Cognosec acquires 100% of ADVANTIO, topic to customary closing conditions
  • ADVANTIO is a specialist cyber resilience and advisory business
  • In 2017, ADVANTIO had revenues of €2.85m* and EBITDA of €502k*
  • The consideration of €12m comprises €2.4m cash and €9.6m value in Cognosec shares satisfied by the issue of 20,000,000 shares at a €0.48 strike price.
  • Cognosec AB (publ) ("Cognosec" or "The Company"), (Nasdaq: COGS, OTCQX-Nasdaq Intl: CYBNY), a leading supplier of cyber security solutions with operations in Europe, Africa and the Middle East, signs participate sale and purchase agreement with ADVANTIO, a Dublin-registered company specialising in the provision of cyber resilience solutions, products and services. The acquisition is in line with Cognosec's strategy to expand the information security advisory area of its business.

    Cognosec AB today announces the signing of a participate sale and purchase agreement pursuant to the acquisition of ADVANTIO, which has closed in Q2 2018 topic to customary closing conditions.

    ADVANTIO is a Dublin-registered company with offices in Dublin, Naples, Rome and Kiev. The transaction will involve the acquisition of 100% of outstanding shares in ADVANTIO for a consideration of €12,000,000, comprising €2,400,000 cash and €9,600,000 value in Cognosec AB unusual issue shares at a €0.48 strike price. The participate consideration will breathe satisfied by the issue of 20,000,000 unusual shares, resulting in 298,958,409 issued shares from 278,958,409 issued shares previously and a dilution of 7.12**%. In addition, the unusual shares will result in a change in participate capital of 5,234 EUR, which is a change from a previous participate capital amount of 73,007 EUR, to 78,241 EUR. There will breathe no other impact on Cognosec AB's poise sheet.

    ADVANTIO is a specialist cyber resilience advisory company providing professional advisory services, managed solutions and its own inhouse developed SaaS security and compliance solutions along with multilingual back covering eighteen languages. ADVANTIO was established by a team who are pioneers in cyber security and who together possess a combined total of over eighty years' management undergo specifically within the provision of advisory and technology-driven professional services. ADVANTIO provides a focused approach to the provision of cyber resilience and compliance solutions across numerous trade sectors including Travel & Leisure, financial Services, Technology and Industrials. ADVANTIO helps merchants and merchant portfolio authorities ensure that they are fully compliant with applicable PCI DSS requirements, both with regards to specialized areas such as Requirement 9.9, which relates to the protection of POS devices and Cardholder Data, as well as common compliance, helping organisations become fully cyber resilient, going from zero to PCI-compliant.

    ADVANTIO complements the recent acquisitions by Cognosec AB and is established in key synergistic geographies that both back and complement Cognosec AB's existing geographical and technological infrastructures.

    ADVANTIO recorded revenues of €2.85m* in 2017 and EBITDA of €502k*.

    The acquisition of ADVANTIO will help Cognosec AB's competitive advantage in advisory services, especially within the key area of Governance, Risk and Compliance.

    Commenting upon the acquisition of the trade by Cognosec AB, Marco Borza, ADVANTIO's Co-founder & CEO, says that - "We are finally now joining the Cognosec AB family and it brings us tremendous excitement in edifice for the future with their esteemed customers and their loyal employees. They now maintain the opportunity to accelerate their aggressive growth plans through the addition of brand-new geographies for us, including unusual territories encompassing EMEA and through Cognosec AB's existing clientele."

    Kobus Paulsen, Chairman of Cognosec AB commented - "Marco, Martin, Francesco and Irmantas, who lead ADVANTIO's management and executive teams, maintain worked unbelievably arduous in edifice a profitable and productive business, and the synergies between their organisations from both cultural and commercial perspectives are a faultless fit. ADVANTIO has a Who's Who? of customers in key industry sectors and they provide censorious back and technological capabilities in key geographies to these clients. Their faculty to provide continuous faith is undisputed - hence the judgement their clients maintain stayed with them for many years. They cannot wait to build the next phases of their growth, together and it has been a true pleasure to work with Marco and his teams through the acquisition phase."

    The acquisition will situation Cognosec and Advantio together in the top bracket of PCI Qualified Security Assessors and PCI Approved Scanning Vendors worldwide and in the top three in Europe.

    * Figures rounded to nearest all number and topic to final audit and statutory and completion accounts

    ** pattern rounded to 2 decimal places

    Certified AdviserMangold Fondkommission AB is the Company's Certified Adviser.Telephone: +46 (0)8 5030 1550E-mail: info@mangold.se

    FOR FURTHER INFORMATION, gladden CONTACT:Tim Metcalfe / Miles Nolan IR-contacts, Cognosec ABEmail: cognosec@investor-focus.co.uk

    This information is information that Cognosec AB is obliged to upshot public, pursuant to the EU Market mistreat Regulation. The information was submitted for publication, through the agency of the contact person set out above, on 26 June, 2018, at 20.00 CET.

    ABOUT COGNOSECCognosec AB (Publ) is engaged in providing cyber resilience solutions and in the prevention of cyber attacks. The trade conducts international operations from offices in Sweden, South Africa, the UK, Kenya, Germany, Austria and the United Arab Emirates. Listed on Nasdaq First North (Nasdaq: COGS) and OTC-Nasdaq Intl. Designation (CYBNY), Cognosec delivers services and bespoke technologies to enhance public and private sector organisations' protections against unwanted intrusions and designs holistic, organisation-wide solutions to forestall diverse and increasing forms of information and identity theft. Cognosec had revenues of EUR17.19m in 2017 and employed 173 personnel at the finish of Q1 2018. For further information, gladden visit www.cognosec.se



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