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PEGACSA72V1 Certified System Architect (CSA) 7.2 V1

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PEGACSA72V1 exam Dumps Source : Certified System Architect (CSA) 7.2 V1

Test Code : PEGACSA72V1
Test name : Certified System Architect (CSA) 7.2 V1
Vendor name : Pegasystems
: 73 true Questions

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Pegasystems Certified System Architect (CSA)

PRPC certified rig Architect (CSA) | true Questions and Pass4sure dumps

This dealer-particular Certification is obtainable via:PegasystemsCambridge, MA USAPhone: 617-374-9600Email: This e-mail address is being covered from spambots. You want JavaScript enabled to view it.

skill stage: groundwork                          reputation: lively

good value: $a hundred and fifty (shortest track)               

summary:For builders and technical cadaver of workers participants who boost construct for exchange functions. The rig Architect certification provides a baseline dimension of your knowledge along with the consciousness and credibility that you just comprehend the pass to employ PRPC.

initial requirements:You should circulate the PRPC certified system Architect examination ($one hundred fifty). The exam has a 90 minute deadline and incorporates 70 questions. A passing score of 70% is required. working towards is available but no longer required.

continuing requirements:None distinctive

See flawless Pegasystems Certifications

supplier's web page for this certification

PEGA roles. | true Questions and Pass4sure dumps

Pega systems has quite discrete ‘title’ terminology from one which is commonplace in IT.

all and sundry is referred to as Architect ) .for most americans it’s perplexing. How accomplish they maintain Architect with 1 12 months of adventure in IT??

Pega techniques worried such titles to spotlight software is construct by configuring ,now not via establishing. There are three tiers of Pega Architects on the market:

licensed device Architect (CSA) -simple level ,every PEGA professional should profit it;

licensed Senior rig Architect (CSSA) -can exist mapped to core-senior professional;

Lead device Architect (LSA) — leading professional. usually there are 1–2 LSA per project.

As for me crucial in recognizing of seniority degree are IT/Pega experience, skills of applied sciences (Oracle equipment,Programming, software server);

In Pega ‘Architect’ does not equal to ‘Developer’ .There are examples of initiatives the situation flawless competencies (management, development, trying out, analysis) are shared among Pega Architects. It’s viable when the equal grownup combines greater then one skills. Most tasks consist of Pega and nonPega experts for distinctive areas which is moreover pleasant ,but not preferable as per most reliable practices.

nowadays in terms of trainings Pega methods developed flexible, extended ,tree-structured route. It will moreover exist observed on PDN -Pega developers community website. Your trip at flawless times starts from the 1st step -CSA, then which you can opt for the style -manager,technical expert (CSSA,LSA) ,business analysis ,checking out or even UI expert.

this article doesn’t provide any tips on Pega undertaking stuffing as here's relatively particular person procedure ,a lot of factors should exist measured and analyzed . i'd exist completely satisfied to talk about it additionally per demand.

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Top 10 cloud computing certifications | true questions and Pass4sure dumps

What it's flawless about: This is the mother of flawless cloud computing security certifications. The Certificate of Cloud Security knowledge certification is vendor-neutral, and certifies competency in key cloud security areas. The test is based on the Cloud Security Alliance Security Guidance for captious Areas of Focus in Cloud Computing V3, English language version, and the ENISA report "Cloud Computing: Benefits, Risks and Recommendations for Information Security."

How to prepare: The best pass to prepare is to study the CSA Security Guidance for captious Areas of Focus in Cloud Computing v3, and the ENISA report "Cloud Computing: Benefits, Risks, and Recommendations for Information Security."

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The security laws, regulations and guidelines directory | true questions and Pass4sure dumps

This directory includes laws, regulations and industry guidelines with significant security and privacy repercussion and requirements. Each entry includes a link to the full text of the law or reg as well as information about what and who is covered.

The list is intentionally US-centric, but includes selected laws of other nations that maintain an repercussion on US-based global companies.

Last updated 3/9/17

Click on a link to skip to information and resources on that law:

Section 1: Broadly applicable laws and regulations Section 2: Industry-specific guidelines and requirements Section 3: Key status laws International laws Section 1: Broadly applicable laws and regulations Sarbanes-Oxley Act (aka Sarbox, SOX)

What Sarbanes-Oxley covers: Enacted in 2002, the Sarbanes-Oxley Act is designed to protect investors and the public by increasing the accuracy and reliability of corporate disclosures. It was enacted after the high-profile Enron and WorldCom financial scandals of the early 2000s. It is administered by the Securities and Exchange Commission, which publishes SOX rules and requirements defining audit requirements and the records businesses should store and for how long.

Who is affected: U.S. public company boards, management and public accounting firms.

Full text of Sarbanes-Oxley Act:

Key requirements/provisions: The Act is organized into 11 titles:

  • Public Company Accounting Oversight
  • Auditor Independence
  • Corporate Responsibility
  • Enhanced financial Disclosures
  • Analyst Conflicts of Interest
  • Commission Resources and Authority
  • Studies and Reports
  • Corporate and Criminal Fraud Accountability
  • White-Collar Crime Penalty Enhancements
  • Corporate Tax Returns
  • Corporate Fraud Accountability
  • Source:

    More about Sarbanes-Oxley:

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    Payment Card Industry Data Security gauge (PCI DSS)

    What it covers: The PCI DSS is a set of requirements for enhancing security of payment customer account data. It was developed by the founders of the PCI Security Standards Council, including American Express, determine financial Services, JCB International, MasterCard Worldwide and Visa to hearten facilitate global adoption of consistent data security measures. PCI DSS includes requirements for security management, policies, procedures, network architecture, software design and other captious protective measures.

    The Council has moreover issued requirements called the Payment Application Data Security gauge (PA DSS) and PCI Pin Transaction Security (PCI PTS).

    Who is affected: Retailers, credit card companies, anyone handling credit card data.

    Link to the PCI DSS requirements:

    The current version is PCI DSS v2.0, issued 10/28/2010.

    You will moreover find full text of the latest PA DSS and PCI PTS requirements on that page.

    Support documents (including a summary of the significant differences between PCI DSS v1.2 and PCI DSS v2.0):

    Key requirements/provisions: Currently, PCI DSS specifies 12 requirements, organized in six basic objectives:

    Objective 1: Build and Maintain a Secure Retail Point of Sale System- Requirement 1: Install and maintain a firewall configuration to protect cardholder data- Requirement 2: accomplish not employ vendor-supplied defaults for system passwords and other security parameters

    Objective 2: Protect Cardholder Data- Requirement 3: Protect stored cardholder data- Requirement 4: Encrypt transmission of cardholder data across open, public networks

    Objective 3: Maintain a Vulnerability Management Program- Requirement 5: employ and regularly update anti-virus software- Requirement 6: Develop and maintain secure systems and applications

    Objective 4: Implement sturdy Access Control Measures- Requirement 7: Restrict access to cardholder data by commerce need-to-know- Requirement 8: allot a unique ID to each person with computer access- Requirement 9: Restrict physical access to cardholder data

    Objective 5: Regularly Monitor and Test Networks- Requirement 10: Track and monitor flawless access to network resources and cardholder data- Requirement 11: Regularly test security systems and processes

    Objective 6: Maintain an Information Security Policy- Requirement 12: Maintain a policy that addresses information security

    Source: PCI Security Standards Council

    More about PCI DSS:

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    The Gramm-Leach-Bliley Act (GLB) Act of 1999

    What it covers: moreover known as the financial Modernization Act of 1999, the GLB Act includes provisions to protect consumers' personal financial information held by financial institutions. There are three principal parts to the privacy requirements: the financial Privacy Rule, the Safeguards Rule and pretexting provisions.

    Who is affected: financial institutions (banks, securities firms, insurance companies), as well as companies providing financial products and services to consumers (including lending, brokering or servicing any character of consumer loan; transferring or safeguarding money; preparing individual tax returns; providing financial advice or credit counseling; providing residential true estate settlement services; collecting consumer debts).

    Link to the law:

    The Privacy of Consumer financial Information rule within GLB:

    Laws and rules pertaining to GLB:

    Key requirements/provisions: The privacy requirements of GLB comprise three principal parts:

    The financial Privacy Rule: Requires financial institutions to give customers privacy notices that intricate its information collection and sharing practices. In turn, customers maintain the birthright to limit some sharing of their information. financial institutions and other companies that receive personal financial information from a financial institution may exist limited in their aptitude to employ that information.

    The Safeguards Rule: Requires flawless financial institutions to design, implement and maintain safeguards to protect the confidentiality and integrity of personal consumer information.

    Pretexting provisions: Protect consumers from individuals and companies that obtain their personal financial information under unsuitable pretenses, including fraudulent statements and impersonation.

    Source: Federal Trade Commission

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    Electronic Fund Transfer Act, Regulation E

    What it covers: Enacted in 1978, this law protects consumers engaging in electronic fund transfers from errors and fraud. It carries out the purposes of the Electronic Fund Transfer Act, which establishes the basic rights, liabilities, and responsibilities of EFT consumers of financial institutions that tender these services. EFTs comprise ATM transfers, telephone bill-payment services, point-of-sale terminal transfers in stores and preauthorized transfers from or to a consumer's account (such as direct deposit and social Security payments). effectual August 2010, a newfangled provision states that institutions may not impose dormancy, inactivity or service fees for pre-paid products, such as gift cards, nor can they maintain an expiration date of less than five years.

    Who is affected: financial institutions that hold consumer accounts or provide EFT services, as well as merchants and other payees.

    Link to the law:

    Key requirements/provisions: Regulation E includes the following provisions:

  • Definition of access device (debit cards, PINs, phone transfers, bill payment codes, private label cards).
  • Consumer acceptance of device (either through a request for the device or validation of an unsolicited device).
  • Financial institution responsibilities, such as disclosure requirements and records retention.
  • Consumer rights and responsibilities, such as procedures for reporting lost or stolen access devices and notifying the institution of an error.
  • Rules for preauthorized debits and electronic check transactions.
  • Error resolution process.
  • Unauthorized EFTs.
  • Source:, Alston & Byrd LLP

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    Customs-Trade Partnership Against Terrorism (C-TPAT)

    What it covers: C-TPAT is a worldwide supply chain security initiative established in 2004. It is a deliberate initiative elope by U.S. Customs and brim Protection, with the goals of preventing terrorists and terrorist weapons from entering the U.S. It is designed to build cooperative government-business relationships that strengthen and help the overall international supply chain and U.S. brim security. Businesses are asked to ensure the integrity of their security practices and communicate and verify the security guidelines of their commerce partners within the supply chain.

    Benefits for participating in C-TPAT comprise a reduced number of CBP inspections, priority processing for CBP inspections, assignment of a C-TPAT supply chain security specialist to validate security throughout the company's supply chain and more.

    Who is affected: Trade-related businesses, such as importers, carriers, consolidators, logistics providers, licensed customs brokers, and manufacturers.

    Link to overview of C-TPAT:

    Security criteria for various players:

    Key requirements/provisions: C-TPAT relies on a multi-layered approach consisting of the following five goals:

  • Ensure that C-TPAT partners help the security of their supply chains pursuant to C-TPAT security criteria.
  • Provide incentives and benefits to comprise expedited processing of C-TPAT shipments to C-TPAT partners.
  • Internationalize the core principals of C-TPAT.
  • Support other CBP initiatives, such as Free and Secure Trade, Secure Freight Initiative, Container Security Initiative.
  • Improve administration of the C-TPAT program.
  • C-TPAT security criteria encompass the following areas:

  • Business partners
  • Conveyance security
  • Physical access control
  • Personnel security
  • Procedural security
  • Physical security
  • Security training/Threat awareness
  • Information technology security
  • Source: U.S. Bureau of Customs and brim Protection

    More about C-TPAT and supply chain security

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    Free and Secure Trade Program (FAST)

    What it covers: speedy is a deliberate commercial clearance program elope by U.S. Customs and brim Protection for pre-approved, low-risk goods entering the U.S. from Canada and Mexico. Initiated after 9/11, the program allows for expedited processing for commercial carriers who maintain completed background checks and fulfill certain eligibility requirements. Participation in speedy requires that every link in the supply chain — from manufacturer to carrier to driver to importer — is certified under the C-TPAT program (see above). Cards cost $50 and are cogent for 5 years.

    Benefits of using speedy and C-TPAT include:

  • Upon terrorist alerts, FAST/C-TPAT drivers will exist allowed to cross the border.
  • Dedicated lanes for greater precipitate and efficiency
  • Reduced cost of compliance with customs requirements.
  • Who is affected: Importers, carriers, consolidators, licensed customs brokers, and manufacturers.

    Link to speedy program details:

    Key requirements/provisions: Highway carriers authorized to employ the FAST/C-TPAT program exigency to meet the following requirements:

  • A demonstrated history of complying with flawless apropos legislative and regulatory requirements.
  • Have made a commitment to security-enhancing commerce practices, as required by the C-TPAT and Canada's PIP program.
  • Use drivers that are in possession of a cogent speedy commercial driver card when using speedy clearance.
  • In the case of carriers seeking speedy clearance into Canada, exist bonded and maintain the necessary commerce processes required for the Customs Self Assessment (CSA) program.
  • Source: U.S. Bureau of Customs and brim Protection

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    Children's Online Privacy Protection Act

    What it covers: COPPA, which took consequence in 2000, applies to the online collection of personal information from children under 13. Monitored by the Federal Trade Commission (FTC), the rules limit how companies may collect and disclose children's personal information. They codify what a Web site operator must comprise in a privacy policy, when and how to hunt verifiable consent from a parent and what responsibilities an operator has to protect children's privacy and safety online.

    Who is affected: Operators of commercial Web sites and online services directed to children under 13 that collect personal information from children, as well as universal audience Web sites with actual knowledge they are collecting personal information from children.

    Link to the law:

    Key requirements/provisions: Basic provisions of COPPA include:

  • Privacy notice, with specifics on placement and content.
  • A direct notice to parents, with specifics on content.
  • Verifiable parental consent, for internal use, public disclosure and third-party disclosure of information.
  • Verification that a parent requesting access to child's information is actually the parent.
  • Ability for parents to revoke consent and delete information.
  • The aptitude for industry groups and others to create self-regulatory programs to govern compliance with COPPA.
  • Source: Federal Trade Commission

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    Fair and Accurate Credit Transaction Act (FACTA), including Red Flags Rule

    What it covers: Passed in December 2003, FACTA is an amendment to the unbiased Credit Reporting Act that is intended to hearten consumers avoid identity theft. Accuracy, privacy, limits on information sharing, and newfangled consumer rights to disclosure are included in the legislation. The Act moreover says businesses in possession of consumer information or information derived from consumer reports must properly dispose of the information.

    The Red Flags Rule establishes newfangled provisions within FACTA requiring financial institutions, creditors, etc. to develop and implement an identity theft prevention program. The Red Flags Rule has been delayed several times and is currently scheduled for enforcement by the FTC starting December 31, 2010.

    Who is affected: Credit bureaus, credit reporting agencies, financial institutions, any commerce that uses a consumer report and creditors. As defined by FACTA, a creditor is anyone who provides products or services and bill for payment.

    Link to the law:

    Red Flags Rule:

    Key requirements/provisions: FACTA includes the following key provisions:

  • Free reports. Consumers can obtain a free credit report once every 12 months from each of the three nationwide consumer credit reporting companies.
  • Fraud alerts and dynamic duty alerts. Individuals can situation alerts on their credit histories if identity theft is suspected or if deploying overseas in the military, thereby making fraudulent applications for credit more difficult.
  • Truncation: Credit cards, debit cards, social Security numbers. Credit and debit card receipts may not comprise more than the ultimate five digits of the card number or the expiration date. Consumers who request a copy of their file can moreover request that the first five digits of their social Security number not exist included.
  • Information available to victims. A commerce that provides credit or products and services to someone who fraudulently uses your identity must give you copies of the documents, such as credit applications.
  • Collection agencies: If a victim of identity theft is contacted by a collection agency about a debt that resulted from the theft, the collector must inform the creditor of that. When creditors are notified that the debt is the drudgery of an identity thief, they cannot sell the debt or situation it for collection.
  • Red Flags Rule: Several provisions within FACTA require financial institutions, creditors, etc. to develop and implement an identity theft prevention program, aimed at early detection and mitigation of fraud. The program must comprise provisions to identity apropos "red flags," detect these early warning signs, respond appropriately and periodically update the program. Additional provisions comprise guidelines and requirements to assess the validity of a change of address request and procedures to reconcile different consumer addresses. The deadline for complying with the Red Flags Rule has been extended several times and is currently December 2010. Questions remain as to which companies exigency to comply with this fraction of FACTA.
  • Proper disposal of consumer reports. Consumer reporting agencies and any commerce that uses a consumer report must adopt procedures for proper document disposal to avoid "dumpster diving" by identity thieves. This includes lenders, insurers, employers, landlords, government agencies, mortgage brokers, automobile dealers, attorneys and private investigators, debt collectors, individuals who obtain a credit report on prospective nannies, contractors or tenants.
  • Disputing inaccurate information. Consumers can dispute data included in reports directly with the company that furnished it.
  • Source: commerce Records Management, Privacy Rights Clearinghouse, Federal Trade Commission

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    Federal Rules of Civil Procedure (FRCP)

    What it covers: In situation since 1938, the FRCP discovery rules govern court procedures for civil lawsuits. The first major revisions, made in 2006, produce clear that electronically stored information is discoverable, and they detail what, how and when electronic data must exist produced. As a result, companies must know what data they are storing and where it is; they exigency policies in situation to manage electronic data; they exigency to follow these policies; and they exigency to exist able to prove compliance with these policies, in order to avoid unfavorable rulings resulting from failing to produce data that is apropos to a case.

    Security professionals may exist involved in proving to a court's satisfaction that stored data has not been tampered with.

    Who is affected: Any company that is — or could exist — involved in a civil lawsuit within the federal courts. In addition, because states maintain adopted FRCP-like rules, companies involved in litigation within a status court system are moreover affected.

    Link to the rules:

    Key requirements/provisions: There are 13 sections to the FCRP. The major changes pertain to Chapter 5, Rules 26-37, as these require a circumstantial understanding of electronic data retention policies and procedures, what data exists and where, as well as the aptitude to search for and produce this data within the timeframes stipulated. Here is a summary of these rules:

    Rule 26 (a): Makes clear that electronically stored information is discoverable and that companies must exist able to produce apropos data.

    Rule 26 (b)(2): Clarifies limits on discoverable data; for instance, companies are not required to produce data that would prove to exist excessively expensive or burdensome, such as from sources that aren't reasonably accessible, dote backup tapes used for cataclysm recovery and obsolete media.

    Rule 26 (f): Stipulates that the parties involved exigency to debate issues relating to the disclosure or discovery of electronic data before discovery begins.

    Rule 33 (d): Establishes that a reasonable occasion is provided to examine and audit the data provided.

    Rule 34 (b): Establishes that electronic data is as famous as paper documents, and that it must exist produced in a reasonably usable format.

    Rule 37 (f): Provides "safe harbor" when electronic data is lost or unrecoverable, as long as it can exist proved that good-faith commerce operations were routinely followed.

    Source: Cornell University Law School, commerce Records Management

    More about ediscovery and electronic records:

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    Section 2: Industry-specific regulations and guidelines Federal Information Security Management Act (FISMA)

    What it covers: Enacted in 2002, FISMA requires federal agencies to implement a program to provide security for their information and information systems, including those provided or managed by another agency or contractor. It is Title III of the E-Government Act of 2002.

    Who is affected: Federal agencies.

    Link to the law:

    Key requirements/provisions: FISMA recommends that an effectual security program comprise the following elements:

  • Periodic risk assessments.
  • Policies and procedures based on these assessments that cost-effectively reduce information security risk and ensure security is addressed throughout the life cycle of each information system.
  • Subordinate plans for information security for networks, facilities, etc.
  • Security awareness training for personnel.
  • Periodic testing and evaluation of the effectiveness of information security policies, procedures, practices and controls, at least on an annual basis.
  • A process to address deficiencies in information security policies.
  • Procedures for detecting, reporting and responding to security incidents.
  • Procedures and plans to ensure continuity of operations for information systems that advocate the organization's operations and assets.
  • Source: National Institute of Standards and Technology

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    North American Electric Reliability Corp. (NERC) standards

    What it covers: The current set of 83 NERC standards were developed to establish and invoke reliability standards for the bulk-power system of North America, as well as protect the industry's captious infrastructure from physical and cyber threats. These overall standards became mandatory and enforceable in the U.S. on June 18, 2007. captious Infrastructure Protection (CIP) elements of the reliability gauge maintain been subsequently updated, most recently in 2009. CIP standards comprise identification and protection of both physical assets and digital ("cyber") systems.

    Who is affected: North American electric utilities.

    Link to the NERC reliability standards:

    Key requirements/provisions: NERC standards plunge into the following 13 categories:

  • Resource and claim Balancing
  • Communications
  • Critical Infrastructure Protection
  • Emergency Preparedness and Operations
  • Facilities Design, Connections and Maintenance
  • Interchange Scheduling and Coordination
  • Modeling, Data and Analysis
  • Nuclear
  • Personnel Performance, Training and Qualifications
  • Protection and Control
  • Transmission Operations
  • Transmission Planning
  • Voltage and Reactive
  • Source: NERC

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    Title 21 of the Code of Federal Regulations (21 CFR fraction 11) Electronic Records

    What it covers: fraction 11, as it is commonly called, was issued in 1997 and is monitored by the U.S. Food and Drug Administration. It imposes guidelines on electronic records and electronic signatures in an effort to uphold their reliability and trustworthiness.

    Who is affected: flawless FDA-regulated industries that employ computers for regulated activities, both in the U.S. and outside the country.

    Link to the law:

    With 2010 amendments:

    Key requirements/provisions: fraction 11 has 19 requirements, the most famous of which include:

  • Use of validated existing and newfangled computerized systems.
  • Secure retention of electronic records and instant retrieval.
  • User-independent, computer-generated, time-stamped audit trails.
  • System and data security, data integrity and confidentiality through limited authorized access to systems and records.
  • Use of secure electronic signatures for closed and open systems.
  • Use of digital signatures for open systems.
  • Use of operational checks.
  • Use of device checks.
  • Determination that the people who develop, maintain or employ electronic systems maintain the education, training and sustain to accomplish their assigned task.
  • Source: LabCompliance

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    Health Insurance Portability and Accountability Act (HIPAA)

    What it covers: Enacted in 1996, HIPAA is intended to help the efficiency and effectiveness of the health keeping system. As such, it requires the adoption of national standards for electronic health keeping transactions and code sets, as well as unique health identifiers for providers, health insurance plans and employers.

    (Note: HIPAA's requirements are significantly updated by the HITECH Act — observe next entry).

    More about HIPAA:

    Recognizing that electronic technology could erode the privacy of health information, the law moreover incorporates provisions for guarding the security and privacy of personal health information. It does this by enforcing national standards to protect:

  • Individually identifiable health information, known as the Privacy Rule.
  • The confidentiality, integrity and availability of electronic protected health information, known as the Security Rule.
  • The complete suite of rules is known as the HIPAA Administrative Simplification Regulations. It is administered by The Centers for Medicare & Medicaid Services and The Office for Civil Rights.

    Who is affected: Health keeping providers, health plans, health clearinghouses and "business associates," including people and organizations that accomplish claims processing, data analysis, quality assurance, billing, benefits management, etc.

    Link to the law:

    Official versions of the complete suite of HIPAA Administrative Simplification Regulations can exist organize at 45 CFR Parts 160, 162 and 164:

    HIPAA Privacy Rule:

    HIPAA Security Rule:

    Key requirements/provisions: There are five parts to HIPAA's Administrative Simplification Statute and Rules:

  • Electronic Transaction and Code Sets Standards: Requires every provider who does commerce electronically to employ the same health keeping transactions, code sets and identifiers. This rule is administered by The Centers for Medicare & Medicaid Services.
  • Privacy Rule: Provides federal protections for personal health information held by covered entities and gives patients an array of rights with respect to that information. The rule permits the disclosure of personal health information needed for patient keeping and other famous purposes. This rule is administered by the Office for Civil Rights.
  • Security Rule: Specifies a series of administrative, physical and technical safeguards for covered entities to employ to assure the confidentiality, integrity and availability of electronic protected health information. This rule is administered by the Office for Civil Rights.
  • National Identifier Requirements: Requires that health keeping providers, health plans and employers maintain gauge national numbers that identify them on gauge transactions. This rule is administered by The Centers for Medicare & Medicaid Services.
  • Enforcement Rule: Provides standards for enforcing flawless the Administration Simplification Rules.
  • Source: U.S. Department of Health and Human Services,

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    The Health Information Technology for Economic and Clinical Health Act (HITECH)

    What it covers: fraction of the American Recovery and Reinvestment Act of 2009, the HITECH Act significantly modifies HIPAA by adding newfangled requirements concerning privacy and security for patient health information. It widens the scope of privacy and security protections available under HIPAA, increases the potential legal liability for non-compliance and provides for more enforcement.

    Who is affected: Health keeping providers, health plans, health clearinghouses and "business associates," including people and organizations that accomplish claims processing, data analysis, quality assurance, billing, benefits management, etc.

    Link to the law: (easy to read format)

    More formal version:

    Key requirements/provisions:

  • Expansion of HIPAA security standards to "business associates," including people and organizations (typically subcontractors) that accomplish activities involving the employ or disclosure of individually identifiable health information, such as claims processing, data analysis, quality assurance, billing, and benefit management, as well as those who provide legal, accounting, or administrative functions.
  • Increased civil penalties for "willful neglect."
  • Data infringement notification requirements for unauthorized uses and disclosures of "unsecured PHI." These notification requirements are similar to many status data infringement laws related to personally identifiable financial information data.
  • Stronger individual rights to access electronic medical records and restrict the disclosure of certain information.
  • New limitations on the sale of protected health information, marketing and fundraising communications.
  • Source: U.S. Department of Health and Human Services,

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    Patient Safety and quality Improvement Act (PSQIA, Patient Safety Rule)

    What it covers: Enacted on January 19, 2009, PSQIA establishes a deliberate reporting system to enhance the data available to assess and resolve patient safety and health keeping quality issues. To hearten the reporting and analysis of medical errors, PSQIA provides federal privilege and confidentiality protections for patient safety information, which includes information collected and created during the reporting and analysis of patient safety events.

    These confidentiality provisions are intended to help patient safety outcomes by creating an environment where providers may report and examine patient safety events without quake of increased liability risk. The Office of Civil Rights administers and enforces the confidentiality protections provided to PSWP. The Agency of Healthcare Research and quality administers the provisions dealing with PSOs.

    Who is affected: Healthcare providers, patients and individuals/entities that report medical errors or other patient safety events.

    Link to the law:

    Key requirements/provisions:

  • Subpart A: Defines essential terms, such as patient safety drudgery product (information collected and created during the reporting and analysis of patient safety events), patient safety evaluation system and patient safety organizations (PSO).
  • Subpart B: Provides the requirements for listing PSOs. These entities tender their expert advice in analyzing the patient safety events and other information they collect or develop to provide feedback and recommendations to providers.
  • Subpart C: Describes the privilege and confidentiality protections that attach to patient safety drudgery product and the exceptions to the protections.
  • Subpart D: Establishes a framework to enable HHS to monitor and ensure compliance with the confidentiality provisions, a process for imposing a civil money penalty for infringement of the confidentiality provisions, and hearing procedures.
  • Source: U.S. Department of Health and Human Services, The Agency of Healthcare Research and Quality

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    H.R. 2868: The Chemical Facility Anti-Terrorism Standards Regulation

    What it covers: The CFATS regulation went into consequence in 2007 and was developed as fraction of the Homeland Security Appropriations Act. It imposes federal security regulations for high-risk chemical facilities, requiring covered chemical facilities to prepare Security Vulnerability Assessments and to develop and implement Site Security Plans that comprise measures to fullfil the identified risk-based performance standards. The regulations are in situation through October 2011, at which point they will either exist made permanent or will exist extended with tougher requirements. One requirement under consideration is the Inherently Safer Technologies provision that would require some facilities using, storing and manufacturing certain chemicals to possibly change processes and the chemicals used.

    Who is affected: Chemical facilities, including manufacturing; storage and distribution; energy and utilities; agriculture and food; paints and coatings; explosives; mining; electronics; plastics; and healthcare.

    Link to the law:

    Key requirements/provisions: CFATS uses performance standards rather than prescriptive standards. These standards are "risk-based," signification that security measures vary depending on each facility's determined plane of risk.

    To that end, DHS created a tiered system and assigned chemical facilities into one of four "risk" tiers, ranging from elevated (Tier 1) to low (Tier 4) risk. Tier assignment is based on an assessment of the potential consequences of a successful attack on assets associated with chemicals of interest.

    Once assigned a tier, facilities must comply with 19 categories of risk-based performance standards:

  • Restrict area Perimeter
  • Secure Site Assets
  • Screen and Control Access
  • Deter, Detect, Delay
  • Shipping, Receipt and Storage
  • Theft and Diversion
  • Sabotage
  • Cyber
  • Response
  • Monitoring
  • Training
  • Personnel Surety
  • Elevated Threats
  • Specific Threats, Vulnerabilities, Risks
  • Reporting of Significant Security Incidents
  • Significant Security Incidents and Suspicious Activities
  • Officials and Organization
  • Records
  • Address any performance standards the coadjutant secretary may specify
  • Source: Department of Homeland Security

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    Section 3: Key status regulations (with broad repercussion in the US) Massachusetts 201 CMR 17 (aka Mass Data Protection Law)

    What it covers: This Massachusetts law — which went into consequence March 2010 — works to protect the state's residents against fraud and identity theft. It requires that any commerce that stores or uses personally identifiable information about a Massachusetts resident develop a written, regularly audited blueprint to protect this information. It takes a risk-based approach — rather than a prescriptive one — to information security. That means it directs businesses to establish a security program that takes into account the commerce size, scope, resources, nature and quantity of data collected or stored and the exigency for security rather than requiring the adoption of every component of a stated program.

    Who is affected: Businesses that collect and retain personal information of Massachusetts residents in connection with the provision of goods and services or for the purpose of employment.

    Link to the law:

    Key requirements/provisions: Key requirements of the regulation comprise the following:

  • A documented information security program, detailing technical, physical and administrative measures taken to safeguard personal information.
  • Encryption of personally identifiable information — a combination of a name, social Security number, bank account number or credit card number — when stored on portable devices, such as laptops, PDAs and glance drives, or transmitted wirelessly or on public networks.
  • Selection of third-party service providers that can properly safeguard personal information.
  • Designated employees charged with overseeing and managing security procedures in the workplace, as well as continuously monitoring and addressing security hazards.
  • Limits on the collection of data to the minimum required for the intended purpose.
  • Computer system security requirements, including secure user authentication protocols, access control measures, system monitoring, firewall protection, updated security patches and security agent software and employee education and training.
  • Source: Commonwealth of Massachusetts Office of Consumer Affairs

    More about Mass 201 CMR 17 and data infringement notification:

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    Nevada Personal Information Data Privacy Encryption Law NRS 603A

    What it covers: In January 2010, Nevada was the first status to enact a data security law that mandates encryption for customers' stored and transported personal information.

    Who is affected: Businesses that collect and retain personal information of Nevada residents.

    Link to the law:

    Key requirements/provisions: The law contains the following requirements:

  • Data collectors that accept payment cards comply with the current version of PCI/DSS (see above).
  • Businesses must encrypt any personal information that is electronically transmitted outside the business's secure system.
  • Business must encrypt any personal information stored on a device (computer, phone, magnetic tape, glance drive, etc.) moved beyond the logical or physical controls of the data collector or data storage contractor.
  • Businesses are not liable for damages of a security infringement if they are in compliance with the law and the infringement was not caused by unbecoming negligence or intentional misconduct.
  • Source: status of Nevada, Paul Mudgett

    More about encryption:

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    Section four: Selected international security and privacy laws Personal Information Protection and Electronic Documents Act (PIPED Act, or PIPEDA) — Canada

    What it covers: This Canadian privacy law governs how public and private organizations collect, employ and disclose personal information in the course of business. It went into consequence in January 2001 for federally regulated organizations and in January 2004 for flawless others.

    In May 2010, Bill C-29 introduced numerous amendments to PIPEDA, involving exceptions for the employ and disclosure of personal information without consent and further requirements for commerce transactions.

    Who is affected: flawless private-sector companies doing commerce in Canada.

    Link to the law:

    Bill C-29 amendments:

    Key requirements/provisions: PIPEDA establishes 10 principles to govern the collection, employ and disclosure of personal information:

  • Accountability
  • Identifying Purposes
  • Consent
  • Limiting Collection
  • Limiting Use, Disclosure and Retention
  • Accuracy
  • Safeguards
  • Openness
  • Individual Access
  • Challenging Compliance
  • Sources: BearingPoint, Office of the Privacy Commissioner of Canada

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    Law on the Protection of Personal Data Held by Private Parties — Mexico

    What it covers: Published in July 2010, this Mexican law requires organizations to maintain a lawful basis — such as consent or legal duty — for collecting, processing, using and disclosing personally identifiable information. While there is no requirement to notify processing activities to a government body, as in many European countries, companies handling personal data must outfit notice to the affected persons. Individuals must moreover exist notified in the event of a security breach.

    Link to the law (Spanish language):

    Who it will impact: Mexican businesses, as well as any company that operates or advertises in Mexico or uses Spanish-language muster centers and other advocate services located in Mexico.

    Requirements/provisions: In addition to addressing data retention, the law moreover incorporates eight universal principles that data controllers must follow in handling personal data:

  • Legality
  • Consent
  • Notice
  • Quality
  • Purpose Limitation
  • Fidelity
  • Proportionality
  • Accountability
  • Source: Information Law Group

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    European Union Data Protection Directive

    What it covers: This 1995 European directive sets strict limits on the collection and employ of personal data and demands that each member status set up an independent national cadaver answerable for the protection of this data.

    Link to the law:

    Who it impacts: European businesses, as well as non-European companies to which data is exported (see Safe Harbor Act, below).

    Requirements/provisions: The directive incorporates seven governing principles:

  • Notice: Data subjects should exist given notice when their data is being collected.
  • Purpose: Data should only exist used for the purpose stated.
  • Consent: Data should not exist disclosed without the subject's consent.
  • Security: Collected data should exist kept secure from any potential abuses.
  • Disclosure: Data subjects should exist informed as to who is collecting their data.
  • Access: Data subjects should exist allowed to access their data and produce corrections to any inaccurate data.
  • Accountability: Data subjects should maintain an available fashion to hold data collectors accountable for following these six principles above.
  • Source: Europa, European Union Agency for Fundamental Rights

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    Privacy Shield

    What it covers: Privacy Shield is the replacement to the Safe Harbor Act, which went into consequence in October 1998. It is intended to "heighten protections for transferring European Union residents’ personal data to the U.S.," according to the international association of privacy professionals.

    Who is affected: U.S. companies doing commerce in Europe.

    Link to the Privacy Shield website:

    Key requirements/provisions:

  • Companies participating in the safe harbor will exist deemed adequate, and data flows to those companies will continue.
  • Member status requirements for prior approval of data transfers either will exist waived or approval will exist automatically granted.
  • Claims brought by European citizens against U.S. companies will exist heard in the U.S., topic to limited exceptions.
  • Source: Europa, commerce Records Management

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    More security directories and lists on

    Cisco Secure Wireless | true questions and Pass4sure dumps

    One of the most difficult challenges facing the federal government in general, and defense agencies in particular, is how to protect data in-transit across wireless networks, while allowing agencies to benefit from mobile computing. A secure wireless architecture should:

    • Reduce an agency’s total cost of ownership• Leverage existing wired infrastructure• employ a common set of access-point/sensor hardware• Deliver investment protection• advocate location-based services in a cost-effective way• Converge wired/wireless security.

    Join Stephen Orr (bio) for the Secure Wireless Viewpoint, the first in a series of Conversations with Cisco®, and learn how the Cisco secure wireless solution meets flawless aspects of the Federal. While integrating wireless into the wired infrastructure and creating a secure, seamless, and consistent end-user experience. The Cisco Unified Wireless Architecture transparently integrates key controls and security technologies from both wired and wireless components. This creates a defense-in-depth security architecture—including policy-based security, attack mitigation, 802.1x user authentication and authorization, FIPS-validated 802.11i/WPAv2 using Advanced Encryption gauge (AES) for wireless data confidentiality and data integrity, speedy secure roaming, and embedded wireless intrusion detection and prevention—in standards-based enterprise solutions, which provide agencies with long-term, cost-effective scalability, ease of deployment, and the reliability that they maintain near to hope from their wired networks.

    Discuss how to protect data in-transit across wireless networks, while benefiting from mobile computing.

    Next Viewpoint :Speaker : Dave WestDate : May 24th at 2pm EDTTitle: The Power of IPv6 - commerce Applications & Mission-Enhancing Services

    Moderator: Welcome to the First fraction of The Conversations with Cisco. Today they maintain with us Stephen Orr to hearten us understand how Cisco can hearten you protect data in-transit across wireless networks, while benefiting from mobile computing. Welcome Stephen.

    Stephen Orr, Cisco: profitable afternoon and welcome to the first on-line chat session. Today they will engage questions regarding deploying Secure Wireless Architectures while meeting Federal requirements and providing enterprise class services.


    Washington, D.C.: accomplish Cisco wireless products comply with the National Institute of Standards and Technology (NIST) Federal Information Processing Standards (FIPS) 140-2 plane 2 Certification as well as the Institute of Electrical and Electronics Engineers (IEEE) 802.11i standard?

    Stephen Orr, Cisco: Yes �“ Cisco has taken a unique approach to FIPS validation of of Unified Wireless Architecture. Cisco does not impregnate for its FIPS validated version of software �“ in fact, it is included as fraction of their mainline code which allows customer to benefit from flawless of the latest feature enhancements.The following products maintain flawless exist validated for FIPS 140-2 plane 2 while being fully compliant with the IEEE 802.11i standard.

    4400 Controllers (cert# 693)Wireless Module for the catalyst 6500 (Cert# 729)Lightwieght AP�™s 1131,1231,1242 (cert# 695)

    In process for FIPS validation are the following products3750 integrated Wireless LAN ControllerCisco Secure RADIUS Server

    Please observe the following NIST url for more information on flawless of Cisco�™s FIPS validated products


    San Diego, Calf.: What components accomplish I exigency to set up a Secure Wireless Architecture 5?

    Stephen Orr, Cisco: The minimum components required to enable a Secure Wireless Architecture for Federal Agencies are:

    The Wireless LAN Controller and Lightwieght Access Point.

    To comply with NIST guidleines from FIPS or NIAP Common Criteria, in addition to the previous components �“ the Wireless Control Software, Location Appliance and Cisco Secure ACS are moreover required


    Arlington, Va.: How does Cisco WIDS deal with Rogue AP's and Clients?

    Stephen Orr, Cisco: The Unified Wireless Architecture�™s WIDS will accomplish multiple actions on Rogue devices. First, the Wireless Control Software will detect the Rogue device and then produce an alert/alarm on the management console (an email/page can moreover exist sent). Once the rogue is confirmed by the administrator, you can engage action by having the Wireless System send de-authentication and dis-association message to the Rogue device. The Location Appliance is captious to any WIDS deployment so that you can track the rogue device and physically remove it from the network.


    Washington, D.C.: Is there an additional impregnate for Cisco's FIPS validated software?

    Stephen Orr, Cisco: No �“ Cisco's FIPS validated code for the Unified Wireless Architecture is fraction of the mainline release and is included at no additional charge.


    Washington, D.C.: Are there any synergies with other Cisco Security products?

    Stephen Orr, Cisco: Yes �“ Cisco is in a position to tender a comprehensive security architecture that extends beyond the wireless network creating a defense in-depth architecture. Currently there is integration between Cisco's Wired and Wireless IDS, Cisco�™s Host Based IDS solution (Cisco Security Agent) as well as Cisco cleanly Access for client remediation and in the future, there will exist an integration with Cisco�™s Security Monitoring, Analysis and Response System (CS-MARS) to present the Network Security Administrator with a common operational security picture.


    Chicago, Ill.: Is there a pass to avert a laptop from using both the wireless interface and Ethernet interface simultaneously?

    Stephen Orr, Cisco: Yes �“ by using the Cisco Security Agent (CSA) �“ you can set a priority for connected interfaces �“ if one is connected, the other is disabled.�œ”


    Arlington, Va.: Does Cisco maintain a VoWLAN handset?

    Stephen Orr, Cisco: Yes �“ Cisco has a newfangled Wireless Voice handset the 7921 �“ it is an 802.11 a/b/g phone that supports the full suite of 802.11 standards comprise 802.11i using AES 128 for securing data in transit.""


    Boston, Mass.: How does an AP authenticate itself to the network?

    Stephen Orr, Cisco: A Cisco Lightweight AP utilizes an x.509 certificate to authenticate itself to the Wireless LAN controller.


    Miami, Fl.: Why accomplish I exigency a RADIUS server for Wireless?

    Stephen Orr, Cisco: The RADIUS server is a captious fraction of the 802.1x authentication process. In conjunction with a selected EAP (Extensible Authentication Protocol) fashion �“ the RADIUS server will accomplish client or machine authentication depending on the credentials presented. The RADIUS server is moreover answerable for generating the cryptographic keying material as fraction of the 802.11i process.


    Raleigh, N.C.: What authentication methods does Cisco Support?

    Stephen Orr, Cisco: Cisco supports a wide compass of authentication protocols the most widely used are EAP-FAST, PEAP and EAP-TLS


    Arlington, Va.: What benefit is it to maintain FIPS validated Access Points?

    Stephen Orr, Cisco: An Access Point that's achieved FIPS validation has proven that its cryptographic capabilities meet NIST FIPS140-2 plane 2 standards. When combined with NIAP Common Criteria certification, the AP can exist classified as an information assurance device allow you to situation the device on your trusted network - as opposed to placing it outside the network in a DMZ


    Seattle, Wash.: Why is it famous for the AP to accomplish the encryption/decryption of traffic at the AP?

    Stephen Orr, Cisco: Encrypting at the AP allows you to extend you Security Architecture to the edge of the network. By encrypting at the AP they are able to provide per radio hardware encryption that will scale as more AP's are added to the network as well as mitigate any single points of failure.


    Dallas, Tex.: Does the Cisco solution provide location tracking capabilities?

    Stephen Orr, Cisco: Yes - location tracking is a captious fraction of the Unified Wireless Architecture. The Wireless Control Software and the Location appliance both enable long term tracking of flawless 802.11 devices.


    Washington, D.C.: Is the performance of your system affected when WIDS and location tracking is turned on?

    Stephen Orr, Cisco: There is no repercussion on performance for the Cisco Unified Wireless Architecture when performing Intrusion Detection


    Washington, D.C.: I maintain no plans for WLAN deployment over the next 12 - 18 Months, so why accomplish I exigency a WIDS?

    Stephen Orr, Cisco: In order to safeguard your network from Rogue Access Points and Rogue clients even if you maintain not deployed a Wireless Access Solution, a WIDS should exist deployed as fraction of a defense in depth architecture. In context to the Department of Defense, the DoD 8100.2 supplemental policy mandates WIDS for flawless networks to avert Rogues. Cisco's UWL can exist deployed as a WIDS only today and when ready, client access may exist enabled.


    Boston, Mass.: How accomplish the Cisco WLC securely manage the Lightweight APs?

    Stephen Orr, Cisco: Once the Lightweight AP authenticates to the Wireless LAN Controller via a X.509 certificate exchange, a FIPS validated Lightweight Access Point Protocol (LWAPP) Command and Control Channel secured via AES 128 bit encryption is established. flawless AP management,authentication andsecurity related functions between the AP and the WLC are communicated across this secure tunnel.


    Arlington, Va.: Are there any Cisco products that meet the security requirements defined by NIST FIPS140-2 2?

    Stephen Orr, Cisco: Yes - the following are products that maintain validated through NIST for FIPS 140-2 plane 2

    4400 Controllers (cert# 693)Wireless Module for the catalyst 6500 (Cert# 729)Lightwieght AP�™s 1131,1231,1242 (cert# 695)

    In process for FIPS validation are the following products3750 integrated Wireless LAN ControllerCisco Secure RADIUS Server

    Please observe the following NIST url for more information on flawless of Cisco�™s FIPS validated products


    Pennsylvania, PA.: So what is the blueprint to protect the government from data that is encyprted and viruses that are out there.

    Stephen Orr, Cisco: Decrypting data in transit at the Access Point (802.11i) is captious to extending the Intrusion Detection Architecture to the edge of the network. It will provide the aptitude to scan the client traffic prior to it traversing the network.

    In order to provide a comprehensive architecture - combining a Wireless IDS with a Wired IDS will provide the maximum detection capability. Wireless IDS will only detect RF and 802.11 attacks so there is no pass to mitigate Layer 3 DoS attacks. Cisco's IPS products will detect the Layer 4-7 attack and send a shun command to the Wireless LAN Controllers removing the Wireless Client performing the attack from the network.


    San Jose, Calif.: What are Common Criteria WLAN Protection Profiles and why are they important?

    Stephen Orr, Cisco: Common Criteria Protection Profiles are issued by NIAP (the National Information Assurance Partnership).

    A Protection Profile as defined by NIAP is:An implementation-independent specification of information assurance security requirements. Protection profiles are a complete combination of security objectives, security related functional requirements, information assurance requirements, assumptions, and rationale.

    The purpose of a PP is to status a security problem rigorously for a given collection of system or products - known as the Target of Evaluation (TOE) - and to specify security requirements to address that problem without dictating how these requirements will exist implemented.

    Meeting a specific PP is famous because it defines the minimum-security requirement for a WLAN Access System to meet government acceptance.

    Cisco has currently submitted its Unified Wireless Architecture for Common Criteria against the only ratify protection profile:""


    Moderator: It looks dote they were just about out of time here. Stephen, thank you for your time and answering their questions.

    Stephen Orr, Cisco: Thank you for your participation and if you maintain any further questions gratify contact:

    Kathy Ditto ""

    or visit



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    PMI [15 Certification Exam(s) ]
    Polycom [2 Certification Exam(s) ]
    PostgreSQL-CE [1 Certification Exam(s) ]
    Prince2 [6 Certification Exam(s) ]
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    QAI [1 Certification Exam(s) ]
    QlikView [1 Certification Exam(s) ]
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    RedHat [8 Certification Exam(s) ]
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    Riverbed [8 Certification Exam(s) ]
    RSA [15 Certification Exam(s) ]
    Sair [8 Certification Exam(s) ]
    Salesforce [5 Certification Exam(s) ]
    SANS [1 Certification Exam(s) ]
    SAP [98 Certification Exam(s) ]
    SASInstitute [15 Certification Exam(s) ]
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    See-Beyond [1 Certification Exam(s) ]
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    SpringSource [1 Certification Exam(s) ]
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    Trainers [3 Certification Exam(s) ]
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    Vmware [58 Certification Exam(s) ]
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    Zend [6 Certification Exam(s) ]

    References :

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