
Claude Skills by mukul975
github.com/mukul975Implements data subject rights mechanisms for AI systems including right to explanation of AI decisions, contestation procedures, human review, model output correction, and training data access. Covers GDPR Arts. 15-22 and AI Act Art. 86. Keywords: data subject rights, AI explanation, contestation, human review, training data access, model correction.
Pre-deployment privacy compliance checklist for AI/ML systems covering DPIA completion, lawful basis verification, transparency notices, human oversight mechanisms, bias testing, and post-deployment monitoring setup. Keywords: AI deployment, privacy checklist, go-live, model deployment, compliance gate.
Conducts Data Protection Impact Assessments for AI and ML systems per EDPB Guidelines 04/2025 on AI processing. Covers training data lawfulness evaluation, model risk assessment, automated decision triggers, and AI-specific DPIA methodology. Keywords: AI DPIA, machine learning impact assessment, EDPB AI guidelines, model risk, training data.
Implements federated learning architecture patterns for GDPR compliance. Covers secure aggregation protocols, differential privacy integration, communication protocols, and privacy-by-design distributed ML training. Keywords: federated learning, distributed training, secure aggregation, differential privacy, privacy-preserving ML.
Conducts privacy auditing of AI models including training data extraction testing, membership inference attacks, model inversion testing, and attribute inference assessment. Uses ML Privacy Meter and related tools to quantify privacy leakage. Keywords: model audit, membership inference, privacy meter, model inversion, training data extraction.
Guides the combined DPIA and AI Act conformity assessment for AI systems processing personal data. Covers EDPB-EDPS Joint Opinion 5/2021, training data lawfulness under Art. 6 and Art. 9, Art. 22 automated decision-making, algorithmic bias detection, and NIST AI RMF MAP function. Keywords: AI privacy, DPIA, AI Act, algorithmic bias, automated decision-making, Art. 22, training data, NIST AI RMF.
Assesses lawful basis for AI training data processing per EDPB April 2025 report on LLMs and general-purpose AI. Covers legitimate interest balancing tests, consent challenges for ML training, public dataset assessment, and web scraping lawfulness. Keywords: AI training data, lawful basis, EDPB LLM, legitimate interest, consent, web scraping.
Implements AI transparency requirements under EU AI Act Arts. 13-14 and GDPR Arts. 13-14. Covers user notification of AI interaction, system capability disclosure, limitation documentation, and meaningful information about automated logic. Keywords: AI transparency, EU AI Act, GDPR notification, explainability, automated decision.
Determines controller-processor relationships for AI services and conducts privacy due diligence. Covers SaaS AI (processor), embedded AI (joint controller), API-based AI (assessment framework), and vendor risk assessment. Keywords: AI vendor, controller-processor, due diligence, SaaS AI, joint controller, Art. 28.
Managing consent for analytics cookies and implementing privacy-preserving measurement. Covers GA4 privacy configuration, consent mode fallback behavior, aggregate reporting alternatives, and cookieless measurement approaches.
Evaluates anonymization as a retention alternative under GDPR Recital 26, applying the WP29 Opinion 05/2014 techniques including randomization and generalization. Validates anonymization effectiveness using k-anonymity, l-diversity, and t-closeness metrics. Activate for anonymization, de-identification, k-anonymity, retention alternative queries.
Guides APEC Cross-Border Privacy Rules system certification process including self-assessment against the APEC Privacy Framework principles, accountability agent selection, intake questionnaire completion, certification decision, annual recertification, and Global CBPR Forum transition. Keywords: APEC, CBPR, cross-border privacy, accountability agent, certification, Global CBPR.
Systematic application of the eight privacy design patterns per Hoepman: minimize, hide, separate, abstract, inform, control, enforce, and demonstrate. Covers pattern selection methodology per processing activity, mapping to GDPR principles, and practical implementation guidance for privacy-by-design system architecture.
Guides assessment and application of GDPR Article 49 derogation conditions for international data transfers in the absence of adequacy decisions or appropriate safeguards. Covers explicit consent, contract necessity, public interest, vital interests, public register, and compelling legitimate interests with restrictive interpretation per EDPB Guidelines 2/2018. Keywords: Art. 49, derogations, transfer exceptions, explicit consent, compelling legitimate interests.
Guides privacy audit evidence collection processes including evidence planning, sampling strategies, documentation standards, chain of custody, interview techniques, system walkthrough procedures, and evidence evaluation. Covers ISO 19011 evidence categories (records, statements of fact, observations) and ISACA audit evidence requirements for privacy compliance assessments. Keywords: audit evidence, evidence collection, sampling, chain of custody, audit documentation, interview techniques.
Guides audit follow-up and verification processes including follow-up scheduling, remediation effectiveness testing, finding closure criteria, re-testing procedures, status reporting, and escalation of unremediated findings. Implements IIA Standard 2500 monitoring requirements and ISO 19011 follow-up guidance for privacy audit engagements. Keywords: audit follow-up, verification testing, finding closure, remediation effectiveness, re-testing, follow-up audit.
Guides audit findings remediation program management including finding prioritization by severity (critical, high, medium, low), owner assignment, remediation planning, deadline tracking, verification testing, closure criteria, escalation protocols, and management reporting. Covers remediation lifecycle from finding issuance to verified closure. Keywords: audit remediation, finding management, prioritization, verification testing, closure criteria, remediation tracking.
Guides privacy audit report writing including executive summary drafting, findings classification (critical, high, medium, low), evidence referencing, root cause analysis documentation, recommendation formulation, management response tracking, and report distribution protocols. Covers report structure from scope definition through appendices and sign-off. Keywords: audit report, findings documentation, executive summary, recommendations, report structure, privacy audit deliverables.
Guides privacy audit risk assessment including risk universe development, inherent and residual risk scoring, control effectiveness evaluation, risk-based audit planning, heat map generation, risk appetite alignment, and audit prioritization by risk exposure. Covers the full audit risk assessment cycle from scoping through ongoing monitoring. Keywords: audit risk assessment, risk universe, inherent risk, residual risk, control effectiveness, risk-based audit planning.
Guides privacy audit sampling methodology including statistical and non-statistical sampling, sample size determination, stratification techniques, attribute sampling for compliance testing, confidence level selection, tolerable deviation rates, and extrapolation of results to the population. Keywords: audit sampling, statistical sampling, attribute testing, sample size, confidence level, stratified sampling, privacy audit.
Guides compliance with Australia's Privacy Act 1988 including the 2024 reform amendments. Covers automated decision-making transparency, children's privacy code, individual rights expansion, enforcement strengthening, and the Australian Privacy Principles (APPs). Keywords: Australia Privacy Act, APPs, OAIC, automated decisions, children privacy code, privacy reform.
Implements automated PII discovery and classification using tools like Microsoft Purview, BigID, OneTrust DataDiscovery, and AWS Macie. Covers scanning schedules, accuracy tuning, false positive management, and integration patterns. Keywords: data discovery, PII scanning, Purview, BigID, Macie, OneTrust, automated classification, data cataloging.
Implements automated data deletion workflows for GDPR Article 17 right to erasure and retention period expiry. Covers cascading deletion across dependent systems, dependency handling for referential integrity, confirmation logging, and audit trail generation. Activate for automated deletion, erasure automation, data purge, retention expiry queries.
Manages GDPR Article 22 rights related to solely automated decision-making and profiling, including identification of automated decisions, meaningful human oversight implementation, logic explanation requirements, and contestation mechanisms. Activate for automated decision, profiling, Art. 22, algorithmic decision, AI decision queries.
Generates Records of Processing Activities automatically from IT system inventories including Active Directory, cloud service catalogs, API gateway logs, and database schemas. Covers automated field population, data flow discovery, and system-to-RoPA mapping. Activate for automated RoPA, system inventory, data discovery, auto-population, IT-driven records.
Automated enforcement of GDPR Article 5(1)(e) storage limitation principle. Covers TTL-based deletion, retention policy engines, archival workflows, legal hold exemptions, and lifecycle automation. Includes technical implementation patterns for automated data expiry and defensible deletion across distributed systems.
Manages privacy compliance for employee background checks including criminal record processing under Art. 10 GDPR, DBS checks (UK), national law variations, and reference verification. Applies proportionality and data minimisation to pre-employment screening, defines retention limits, and addresses role-based necessity assessments. Keywords: background check, criminal record, Art. 10, DBS, pre-employment screening, vetting, data minimisation, proportionality.
Technical enforcement of GDPR Article 5(1)(b) purpose limitation principle. Covers purpose-tagged data stores, access control per purpose, Article 6(4) compatibility assessment factors, and system design for preventing purpose creep. Includes purpose binding architecture and compatibility test implementation.
Implements BYOD privacy compliance frameworks for personal device use in the workplace. Covers personal vs corporate data separation, MDM capabilities and limitations, employee consent requirements, data wiping boundaries, and monitoring restrictions on personal devices. Keywords: BYOD, mobile device management, MDM, personal device, data separation, containerisation, remote wipe, employee privacy.
Executes breach notification under California Civil Code Section 1798.82 (California data breach notification law). Covers data elements triggering notification, timing requirements (most expedient time possible), AG notification for 500+ California residents, specific content and format requirements, and substitute notice provisions. Keywords: California, breach notification, Cal. Civ. Code 1798.82, attorney general, CCPA, data elements.
California consumer privacy rights workflow implementation under CCPA/CPRA. Covers right to know, delete, opt-out of sale/sharing, correct, and limit sensitive PI processing. Includes 45-day response timelines, identity verification procedures, and authorized agent handling.
Guides compliance with Canada's Personal Information Protection and Electronic Documents Act (PIPEDA, S.C. 2000, c. 5). Covers the 10 fair information principles in Schedule 1, consent requirements, cross-border transfer obligations, breach notification under Division 1.1, and OPC enforcement. Keywords: PIPEDA, Canada privacy, fair information principles, OPC, breach notification, cross-border transfer, consent.
Manages California Consumer Privacy Act (CCPA) consumer rights requests under Civil Code sections 1798.100-125, covering the right to know, right to delete, right to opt-out of sale, and non-discrimination. Includes 45-day response window and identity verification requirements. Activate for CCPA, California privacy, right to know, right to delete, opt-out of sale queries.
Complete CCPA/CPRA compliance implementation covering California Civil Code §1798.100-199. Includes consumer rights framework, business obligations, service provider and contractor requirements, enforcement mechanisms, and CPPA rulemaking. Triggers on CCPA, CPRA, California privacy, consumer rights.
Implements CCPA Section 1798.105 right to delete and CPRA amendments including service provider obligations, statutory exceptions for legal, security, and internal uses, consumer identity verification procedures, and 45-day response timeline management. Activate for CCPA deletion, CPRA right to delete, California privacy, consumer deletion queries.
Implements strict data minimization and retention limits for children's personal data under GDPR Art. 5(1)(c), Recital 38, UK AADC Standard 8, and COPPA Section 312.7. Covers strict necessity testing, shorter retention periods, limited profiling, parental dashboard design, and automated deletion. Keywords: data minimization, children, retention, necessity test, parental dashboard.
Manages deletion requests for children's personal data. Covers parental-initiated versus child-initiated requests, age of capacity assessment, identity verification, scope determination, third-party notification obligations, and regulatory timelines under GDPR Art. 17, COPPA Section 312.6, and UK AADC Standard 15. Keywords: deletion, children, right to erasure, parental request, data deletion, COPPA.
Designs and implements privacy notices for children that comply with GDPR Articles 12-14, UK AADC Standard 4, and COPPA Section 312.4. Covers plain language, visual explanations, layered information, age-appropriate vocabulary, and interactive notice elements. Keywords: children privacy notice, transparency, plain language, visual, age-appropriate, layered notice.
Implements profiling restrictions for children under GDPR Recital 71, Article 22, UK AADC Standard 12, and COPPA. Covers prohibition of behavioural advertising to children, recommendation algorithm limitations, nudge technique prohibition, and automated decision-making safeguards. Keywords: profiling, children, behavioural advertising, recommendation algorithm, AADC, automated decision.
Guides compliance with China's Personal Information Protection Law (PIPL, effective 1 November 2021). Covers consent requirements, cross-border transfer mechanisms (CAC security assessment, standard contracts, certification), separate consent triggers, and critical information infrastructure obligations. Keywords: PIPL, China data protection, CAC security assessment, cross-border transfer, separate consent, CIIO.
Develops data classification policies with tiered handling (public, internal, confidential, restricted), labeling requirements, enforcement mechanisms, and procedures per tier. Covers policy governance, exception handling, and compliance monitoring. Keywords: classification policy, data tiers, handling procedures, labeling, enforcement, data governance, information security.
Guides DPIA for migrating personal data to cloud infrastructure covering controller-processor analysis under Art. 28, international transfer assessment, encryption requirements, and shared responsibility model evaluation. Activate for cloud adoption, SaaS procurement, or data centre migration projects. Keywords: cloud migration, DPIA, Art. 28, processor, encryption, shared responsibility, SaaS, IaaS, PaaS.
Cloud service provider privacy assessment framework. Covers ISO 27018 cloud privacy controls, CSA STAR certification, SOC 2 Type II evaluation, shared responsibility model mapping, data residency verification, and cloud-specific privacy risk analysis.
Configures cloud storage retention policies across AWS S3, Azure Blob Storage, and Google Cloud Storage. Covers lifecycle rules, object lock, legal hold, immutability policies, cross-region replication retention alignment, and compliance mode configuration. Activate for cloud retention, S3 lifecycle, Azure retention, GCP retention policy queries.
Implementation guide for CNIL cookie guidelines compliance. References the EUR 150M Google fine and EUR 60M Meta fine. Covers equal prominence accept/reject buttons, cookie wall prohibition, 6-month reconsent intervals, essential cookies exemption, and detailed CNIL Deliberation No. 2020-091 requirements.
Designing and implementing CNIL-compliant cookie consent banners for French and EU audiences. References the EUR 100M Google LLC fine and EUR 150M Meta Platforms fine for non-compliant cookie practices. Covers equal prominence, reject-all buttons, cookie walls prohibition, and 6-month reconsent cycles.
Colorado Privacy Act (CPA) compliance implementation. Covers universal opt-out mechanism required since July 2024, profiling opt-out rights, sensitive data consent requirements, AG rulemaking under 4 CCR 904-3, and consumer rights framework. Effective July 1, 2023.
Compares PIA/DPIA methodologies: CNIL PIA tool, ICO DPIA template, NIST Privacy Framework, and ISO 29134. Provides methodology selection criteria based on regulatory jurisdiction, organisation maturity, processing complexity, and resource availability. Covers regulatory acceptance, tool features, and cross-methodology mapping. Keywords: PIA methodology, CNIL, ICO, NIST Privacy Framework, ISO 29134, DPIA comparison, assessment.
Guides the end-to-end GDPR Data Protection Impact Assessment process under Article 35, including mandatory trigger identification per Art. 35(3), DPIA content requirements per Art. 35(7), and EDPB WP248rev.01 methodology. Activate for systematic profiling, large-scale special category processing, or large-scale public monitoring. Keywords: DPIA, Article 35, impact assessment, WP248, data protection, risk assessment.
Complete guide to LINDDUN privacy threat modeling methodology covering seven threat categories: Linking, Identifying, Non-repudiation, Detecting, Data Disclosure, Unawareness, and Non-compliance. Includes DFD-based analysis, threat tree catalogs, mitigation mapping to privacy design patterns, and step-by-step process.