HomeMy WebLinkAboutRes 60-08 12/16/2008
RESOLUTION NO. 60-08
A RESOLUTION APPROVING AN
IDENTITY THEFT PROGRAM AND PREVENTION POLICY
WHEREAS, the Fair and Accurate Credit Transactions Act of 2003, an amendment to
the Fair Credit Reporting Act, requires that rules regarding identity theft protection be
promulgated by covered entities; and
WHEREAS, those rules, which were intended to become effective November 1, 2008,
and have been suspended until May 1, 2009, require municipal utilities and other departments
to adopt and implement an identity theft program and prevention policy; and
WHEREAS, the Corporate Authorities of the Village of Mount Prospect have considered
an Identity Theft Program and Prevention Policy, a copy of which is attached hereto and made
a part hereof as Exhibit "1" (the "Policy"), and have determined that said Policy is in the best
interest of the Village of Mount Prospect and its residents and complies with the
aforementioned federal rules;
NOW, THEREFORE, BE IT RESOLVED BY THE PRESIDENT AND BOARD OF
TRUSTEES OF THE VILLAGE OF MOUNT PROSPECT, COOK COUNTY, ILLINOIS, AS
FOLLOWS:
SECTION 1: The recitals as set forth above are incorporated herein by reference and
made a part hereof as material and operative provisions of this Resolution.
SECTION 2: The Policy attached hereto as Exhibit "1" and made part hereof is hereby
adopted and approved.
SECTION 3: The Village of Mount Prospect and all its officers and employees are
subject to the provisions of the attached Policy and shall follow and abide by the provisions
thereof.
SECTION 4: The Village Clerk shall cause a copy of this Resolution and the attached
Policy to be delivered to each officer and employee of the Village who is subject to the
provisions of the Policy.
SECTION 5: This Resolution shall be in full force and effect from and after its adoption
and approval as provided by law.
ADOPTED this 16th day of December, 2008, pursuant to a roll call vote as follows:
AYES:
NAYS:
ABSENT:
Juracek, Korn, Matuszak, Polit
None
Hoefert, Zadel
~ J:p;;/k-
IrVana K. Wilks, Mayor
ATTEST:
''---;7J1 ' ~ " A
M. Lisa Ang II, Village Clerk,
C:\Documents and Settings\KDewis\Local Se tings\Temporary Internet Files\OLKI\Red Flag Resolutiondec2008.DOC
Exhibit "1"
VILLAGE OF MOUNT PROSPECT
IDENTITY THEFT PROGRAM AND PREVENTION POLICY
(see attached)
VILLAGE OF MOUNT PROSPECT
IDENTITY THEFT PROGRAM AND PREVENTION POLICY
The following Identity Theft Program and Prevention Policy (the "Policy") is to implement the
requirements of the Fair and Accurate Credit Transactions Act of 2003 and the associated final "Red
Flag" rules promulgated by the Federal Trade Commission requiring certain municipal utilities and
departments to enact certain policies and procedures regarding Identity Theft Red Flags and
Prevention.
Section 1:
Background
The risk to the Village, its employees and customers from data loss and identity theft is of significant
concern to the Village and can be reduced only through the combined efforts of every employee and
contractor.
Section 2:
Purpose
A. The Village adopts this Policy to help protect employees, customers, contractors and the Village
from damages related to the loss or misuse of sensitive information. This Policy will:
1. Define sensitive information; and
2. Place the Village in compliance with state and federal law regarding identity theft protection.
B. This Policy enables the Village to protect existing customers, reducing risk from identity fraud,
and minimize potential damage to the Village from fraudulent new accounts. The Policy will help
the Village:
1. Identify risks that signify potentially fraudulent activity within new or existing covered
accounts;
2. Detect risks when they occur in covered accounts;
3. Respond to risks to determine if fraudulent activity has occurred and act if fraud has been
attempted or committed; and
4. Update the Policy periodically, including reviewing the accounts that are covered and the
identified risks that are part of the Policy.
Section 3: Scope
This Policy applies to employees, contractors, consultants, temporary workers and other workers at the
Village, including all personnel affiliated with third parties.
Section 4: Sensitive Information Policy
A. Definition of Sensitive Information: Sensitive Information includes the following items whether
stored in electronic or printed format which could be used on its own or in conjunction with other
information to commit identity theft:
1. Credit card information, including any of the following:
a. Credit card number (in part or whole)
b. Credit card expiration date
c. Cardholder name
d. Cardholder address
Section 4:
Sensitive Information Policy (cont.)
2.
Other personal information belonging to any customer, employee or contractor,
examples of which include:
a. Names
b. Address
c. Phone numbers
d. Date of birth
e. Customer account number
B. Village personnel are expected to use the utmost of care in securing Sensitive Information.
Furthermore, this section should be read in conjunction with the Illinois Local Records Act, the
Village's information technology policies and guidelines and the Village's local records policy. If
an employee is uncertain of the sensitivity of a particular piece of information, he/she should
contact his/her supervisor.
Section 5:
Identity Theft Prevention Program
A. Definition of a Covered Account: Any customer account that involves or is designed to permit
multiple payments or transactions. Every new and existing account that meets the following
criteria is a Covered Account and is covered by this Policy:
1. Business, personal and household accounts for which there is a reasonably foreseeable
risk of identity theft; or
2. Business, personal and household accounts for which there is a reasonably foreseeable
risk to the safety or soundness of the Village from identity theft, including financial,
operational, compliance, reputation, or litigation risks.
B. Definition of a Red Flag: Any potential indicators of fraud. Any time a Red Flag, or a situation
closely resembling a Red Flag, is apparent, it should be investigated for verification. Examples
of Red Flags include:
1. Alerts, notifications or warnings from a consumer reporting agency or service provider.
2. Suspicious documents, such as:
a. Documents provided for identification that appear to have been altered or forged.
b. The photograph or physical description on the identification is not consistent with
the appearance of the applicant or customer presenting the identification.
c. Other information on the identification is not consistent with information provided
by the person opening a new covered account or customer presenting the
identification.
d. Other information on the identification is not consistent with readily accessible
information that is on file with the Village.
e. An application appears to have been altered or forged, or gives the
appearance of having been destroyed and reassembled.
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Section 5: Identity Theft Prevention Program (cont.)
3. Suspicious personal identifying information, such as:
a. Personal identifying information provided is associated with known fraudulent
activity as indicated by internal or third-party sources used by the Village. For
example, the address on an application is the same as the address provided on
a fraudulent application.
b. Personal identifying information provided is of a type commonly associated with
fraudulent activity as indicated by internal or third-party sources used by the
Village. For example:
(i) The address on an application is fictitious, a mail drop, or a prison.
(ii) The phone number is invalid or is associated with a pager or answering
service.
c. The address or telephone number provided is the same as or similar to the
address or telephone number submitted by an unusually large number of other
customers or other persons opening accounts.
d. The customer or the person opening the covered account fails to provide all
required personal identifying information on an application or in response to
notification that the application is incomplete.
e. Personal identifying information provided is not consistent with personal
identifying information that is on file with the Village.
4. Unusual use of, or suspicious activity related to, a Covered Account, such as:
a. A new utility account is used in a manner commonly associated with known
patterns of fraud patterns. For example, the customer fails to make the first
payment or makes an initial payment but no subsequent payments.
b. A covered account is used in a manner that is not consistent with established
patterns of activity on the account. There is, for example:
(i) Nonpayment when there is no history of late or missed payments.
(ii) A material change in purchasing or usage patterns.
c. Mail sent to the customer is returned repeatedly as undeliverable although
transactions continue to be conducted in connection with the customer's covered
account.
d. The Village is notified that the customer is not receiving paper account
statements.
e. The Village is notified of unauthorized charges or transactions in connection with
a customer's covered account.
f. The Village receives notice from customers, victims of identity theft, law
enforcement authorities, or other persons regarding possible identity theft in
connection with covered accounts held by the Village.
g. The Village is notified by a customer, a victim of identity theft, a law enforcement
authority, or any other person that it has opened a fraudulent account for a
person engaged in identity theft.
Section 6: Responding to Red Flags
A. Once potentially fraudulent activity is detected, an employee must act quickly as a rapid
appropriate response can protect customers and the Village from potential damages and loss.
B. Once potentially fraudulent activity is detected, the employee should gather all related
documentation and write a description of the situation. This information should be presented to
the designated authority for review, assessment and determination.
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Section 6:
Responding to Red Flags (cont.)
C. The designated authority will complete additional investigation and authentication to determine
whether the attempted transaction was fraudulent or authentic.
D. If a transaction is determined to be fraudulent or an attempt at fraud, appropriate actions should
be promptly taken including:
1. Continue to monitor an account for evidence of Identity Theft
2. Contact the customer
3. Not open a new account
4. Close an existing account
5. Reopen an account with a new number
6. Notify and cooperate with appropriate law enforcement
7. Determine that no response is warranted under the particular circumstances
Section 7:
Periodic Updates to Policy
A: This Police will be reviewed and updated to reflect changes in risk to customers and the
soundness of the Village from identity theft. If warranted, the Finance Department will update
the Policy or present the Village Board and Village Manager's Office with recommended
changes and the Village Board or Village Manager will make a determination of whether to
accept, modify or reject those changes to the Program.
B. Periodic reviews will include an assessment of which accounts are covered by the Policy and
whether there are any new accounts.
C. As part of the review, Red Flags may be revised, replaced or eliminated. Defining new Red
Flags may also be appropriate.
D. Actions to take in the event that fraudulent activity is discovered may also require revision to
reduce potential damages or losses to the Village and its customers.
Section 8:
Policy Administration
A. Involvement of Management
1. This Policy shall be a separate program and operation and shall not be operated as an
extension to existing fraud prevention programs, and its importance warrants the highest
level of attention.
2. Implementation of this Policy is the responsibility of the corporate authorities of the
Village and approval of the initial Policy is to be appropriately documented and
maintained.
3. Operational responsibility for the Policy is delegated to the Finance Director.
B. Staff Training
1. Staff training shall be conducted for all employees for whom it is reasonably foreseeable
that they may come into contact with accounts or personally identifiable information that
may constitute a risk to the Village or its customers.
2. The Finance Director is responsible for ensuring identity theft training for all requisite
employees.
3. To ensure maximum effectiveness, employees may continue to receive additional
training as changes to the Policy are made.
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Section 8:
Policy Administration (cont.)
C. Oversight of Service Provider Arrangements
1. It is the responsibility of the Village to ensure that the activities of all service providers
are conducted in accordance with reasonable policies and procedures designed to
detect, prevent, and mitigate the risk of identity theft.
2. The Village will require, by contract, that service providers have such policies and
procedures in place.
3. The Village will require, by contract, that service providers read, understand and agree
to the guidelines set forth in the Village's Identity Theft Program and Prevention Policy
and report any Red Flags to the Program Administrator.
4. Any specific requirements should be specifically addressed in the appropriate contract
arrangements.
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