
Claude Skills by mukul975
github.com/mukul975Guides GDPR certification mechanism implementation per Articles 42-43 including accredited certification body selection, certification criteria per EDPB guidelines, certification scope, periodic audit requirements, seal and mark usage rules, and relationship to codes of conduct. Covers EDPB/ENISA certification framework and national accreditation. Keywords: GDPR certification, Article 42, Article 43, certification body, EDPB, seal, mark, accreditation.
Guides implementation of GDPR Article 42-43 data protection certification mechanisms including accredited certification bodies, criteria development, and periodic review. Activate when pursuing privacy certifications, evaluating certification bodies, or developing certification criteria. Keywords: certification, Article 42, Article 43, accreditation, seal, privacy mark.
Guides development of GDPR Article 40-41 codes of conduct for industry sectors including drafting, submission, and monitoring body requirements. Activate when creating industry codes or establishing monitoring bodies. Keywords: codes of conduct, Article 40, Article 41, monitoring body, industry code.
Guides a comprehensive organisational data protection audit against key GDPR requirements including Articles 5, 24, 25, 28, 30, 32, 35, and 37. Includes 50+ control points covering principles, accountability, security, and governance. Activate when performing compliance audits, preparing for supervisory authority inspections, or assessing organisational GDPR maturity. Keywords: data protection audit, compliance audit, GDPR audit, control points, accountability.
Guides systematic review of processing documentation for completeness against GDPR Articles 5, 13-14, 24, 28, and 30. Activate when auditing documentation or preparing for inspections. Keywords: documentation review, processing records, completeness, privacy notices, RoPA.
Guides the creation and review of data processing agreements under GDPR Article 28(3), covering all eight mandatory clauses. References the 2021 Standard Contractual Clauses and provides a compliance checklist for processor contracts. Activate when onboarding processors, reviewing DPAs, or auditing processor compliance. Keywords: DPA, data processing agreement, Article 28, processor, mandatory clauses, standard contractual clauses.
Guides cooperation with GDPR supervisory authorities under Article 31, including procedures for responding to investigations, information requests, and on-site inspections. Covers controller and processor obligations during supervisory authority interactions. Keywords: supervisory authority, Article 31, cooperation, DPA investigation, information request, inspection.
Guides appointment of GDPR Article 27 EU representative for non-EU controllers or processors. Covers criteria, responsibilities, and documentation. Activate when a non-EU entity processes EU data. Keywords: EU representative, Article 27, non-EU controller, territorial scope.
Guides systematic assessment of current state versus GDPR requirements across all chapters with prioritised remediation matrix. Activate when starting compliance programmes or conducting periodic reassessment. Keywords: gap analysis, compliance assessment, remediation matrix, GDPR readiness.
Guides the GDPR Article 56 one-stop-shop mechanism for determining lead supervisory authority in cross-border processing. Covers main establishment identification and cooperation. Activate when processing across EU borders. Keywords: one-stop-shop, Article 56, lead authority, cross-border.
Implements GDPR Article 8 parental consent verification for information society services offered to children. Covers age thresholds by EU/EEA Member State (13-16 years), EDPB Guidelines 5/2020 on consent, parental verification mechanisms, and consent record-keeping. Keywords: parental consent, Article 8, children, age threshold, EDPB, verification.
Guides creation of organisational privacy policy hierarchy aligned to GDPR chapters including top-level policy, supporting procedures, operational guidelines, and training materials. Activate when building or updating policy frameworks. Keywords: policy framework, privacy policy, procedures, guidelines, policy hierarchy.
Guides the GDPR Article 36 prior consultation process with supervisory authorities when a DPIA indicates high residual risk. Covers timeline requirements, documentation, and outcome handling. Activate when DPIA residual risk remains high or when preparing regulatory submissions. Keywords: prior consultation, Article 36, DPIA, high risk, supervisory authority.
Guides conversion of gap analysis findings into phased implementation plans with milestones and risk-based prioritisation. Activate when building compliance programmes or allocating privacy budgets. Keywords: remediation roadmap, implementation plan, phased approach, prioritisation.
Guides the audit of Records of Processing Activities (RoPA) against GDPR Article 30 requirements for both controllers and processors. Activate when verifying RoPA completeness, validating mandatory fields, or preparing for supervisory authority inspections. Keywords: RoPA, Article 30, records audit, processing activities, controller records, processor records.
Guides comprehensive controller self-assessment covering GDPR Articles 5-49 with scoring methodology and reporting format. Activate when conducting internal reviews or benchmarking maturity. Keywords: self-assessment, controller assessment, compliance questionnaire, scoring.
Guide for implementing GDPR-valid consent under Article 7 conditions and Article 4(11) definition. Covers five core requirements: freely given, specific, informed, unambiguous, and clear affirmative action. Includes pre-ticked boxes prohibition per Planet49 CJEU C-673/17, consent form audit checklist, and practical implementation patterns.
Implementation guide for Global Privacy Control (GPC) automated opt-out signal per CPRA Section 1798.135(e). Covers Sec-GPC HTTP header detection, JavaScript navigator.globalPrivacyControl API, and state-specific requirements for CA, CO, CT, MT, TX, and OR. Includes server-side detection code and compliance mapping.
Configuring Google Consent Mode v2 for privacy-compliant measurement and advertising. Covers default and update commands, consent state mapping to GA4 and Google Ads, conversion modeling with cookieless pings, and EEA requirements effective March 2024.
Integrating Global Privacy Control (GPC) signals with cookie consent platforms. Covers GPC signal detection in browsers, automatic opt-out triggering, mapping GPC to US state privacy laws, and CMP integration for CCPA, CPA, and CTDPA compliance.
Manages RoPA for complex multi-entity corporate groups including entity-level versus group-level records, intra-group transfer documentation, and shared processing coordination. Activate for group RoPA, multi-entity, corporate group, intra-group transfers, subsidiary records, holding company.
Guides DPIA for health and medical data processing covering Art. 9(2)(h)-(j) exemptions, HIPAA crosswalk for transatlantic operations, clinical trial data protection under EU CTR 536/2014, and genetic data specifics under Art. 9(1). Activate for healthcare systems, clinical research, health apps, or medical device data. Keywords: health data, DPIA, Art. 9, clinical trial, genetic data, HIPAA, medical records, special category.
Addresses healthcare AI privacy at the intersection of HIPAA and the EU AI Act for clinical decision support systems. Covers training data PHI handling, model transparency and explainability, patient rights in algorithmic decisions, FDA/OCR regulatory coordination, and bias monitoring. Keywords: healthcare AI, HIPAA, AI Act, clinical decision support, PHI training data, model transparency.
Manages HIPAA Business Associate Agreements under 45 CFR §164.502(e) and §164.504(e). Covers required BAA provisions, business associate vs subcontractor obligations, breach notification chain, downstream BA requirements, and termination remedies. Keywords: BAA, business associate, subcontractor, HIPAA compliance, PHI disclosure, termination.
Executes breach notification under HIPAA Breach Notification Rule (45 CFR 164.400-414). Covers 60-day individual notification, HHS/OCR reporting for breaches of 500+ individuals (immediate) and under 500 (annual log), state attorney general notification, media notification for 500+ in a single state, and breach risk assessment using the four-factor test. Keywords: HIPAA, breach notification, PHI, HHS, OCR, covered entity, business associate.
Implements HIPAA breach notification requirements under 45 CFR §164.400-414. Covers individual notification within 60 days, HHS reporting thresholds (500+ immediate, under 500 annual), state attorney general notification, media notification for 500+ in a state, and breach risk assessment. Keywords: HIPAA breach notification, HHS reporting, OCR breach portal, individual notice, state attorney general.
Implements HIPAA de-identification methods under 45 CFR §164.514(a)-(b). Covers expert determination method and safe harbor method with 18 identifiers removal, re-identification risk assessment, limited dataset requirements, and data use agreements. Keywords: HIPAA de-identification, safe harbor, expert determination, 18 identifiers, limited dataset, PHI.
Implements HIPAA workforce training requirements under 45 CFR §164.530(b) (Privacy Rule) and 45 CFR §164.308(a)(5) (Security Rule). Covers initial onboarding training, periodic refresher cadence, role-based content differentiation, documentation of training completion, and sanction policy integration. Keywords: HIPAA training, workforce training, security awareness, privacy training, §164.530(b), §164.308(a)(5).
Addresses HIPAA privacy and security requirements for health data interoperability under the 21st Century Cures Act, ONC Health IT Certification Program, and CMS Interoperability and Patient Access Final Rule. Covers information blocking prohibitions, FHIR API patient access, TEFCA exchange purposes, and privacy safeguards for health information exchange. Keywords: interoperability, information blocking, FHIR, TEFCA, Cures Act, patient access API, health information exchange.
Implements HIPAA minimum necessary standard under 45 CFR §164.502(b). Covers role-based access policies per workforce member category, routine vs non-routine disclosure protocols, reasonable reliance doctrine, documentation requirements, and HITECH amendments. Keywords: minimum necessary, role-based access, workforce, routine disclosure, HIPAA.
Addresses HIPAA compliance for mobile health (mHealth) applications, wearable devices, and remote patient monitoring. Covers OCR guidance on mobile device PHI, FDA-regulated mobile medical applications, FTC Health Breach Notification Rule for non-HIPAA apps, BYOD policies, and encryption requirements for ePHI on mobile platforms. Keywords: mHealth, mobile health, HIPAA mobile, wearable, remote monitoring, BYOD, mobile device management, app privacy.
Conducts comprehensive inventory of protected health information across the enterprise per HIPAA Security Rule requirements at 45 CFR §164.308(a)(1)(ii)(A) and §164.310(d). Covers identification of all ePHI repositories, data flow mapping, classification of PHI by sensitivity, and integration with risk analysis. Keywords: PHI inventory, ePHI, data mapping, information asset, data flow, HIPAA risk analysis, designated record set.
Implements HIPAA Privacy Rule requirements under 45 CFR §164.500-534 for covered entities and business associates. Covers minimum necessary standard, treatment-payment-operations exceptions, directory opt-out, personal representative rules, and authorization requirements. Keywords: HIPAA Privacy Rule, PHI, minimum necessary, TPO, authorization, covered entity.
Implements HIPAA Privacy Rule requirements for research uses of protected health information under 45 CFR §164.512(i). Covers IRB and Privacy Board waivers of authorization, individual authorization for research, limited data set and data use agreements, preparatory to research provisions, and decedent research provisions. Keywords: HIPAA research, IRB waiver, Privacy Board, authorization, limited data set, preparatory research, de-identification, Common Rule.
Conducts HIPAA risk analysis per 45 CFR §164.308(a)(1) following OCR guidance methodology. Covers threat identification, vulnerability assessment, likelihood and impact determination, risk scoring, and mitigation planning for electronic protected health information. Keywords: HIPAA risk analysis, OCR guidance, threat assessment, vulnerability, risk management, ePHI.
Implements HIPAA Security Rule technical safeguards under 45 CFR §164.312 for electronic protected health information. Covers access controls with unique user identification, emergency access procedures, automatic logoff, encryption, audit controls, integrity controls, and transmission security. Keywords: HIPAA Security Rule, ePHI, access controls, encryption, audit controls, technical safeguards.
Implements HITECH Act privacy and security requirements including breach notification expansion, four-tier penalty structure, state attorney general enforcement authority, EHR meaningful use privacy conditions, and business associate direct liability. Keywords: HITECH Act, breach notification, penalty tiers, state AG enforcement, meaningful use, EHR privacy.
Configures privacy settings for enterprise HR systems including SAP SuccessFactors, Workday, and BambooHR. Covers role-based access controls, automated data retention enforcement, cross-border transfer configurations, audit logging, data subject rights facilitation, and field-level security. Keywords: HR system, SAP SuccessFactors, Workday, BambooHR, RBAC, retention automation, cross-border transfer, privacy configuration.
Architecture patterns for GDPR Article 5(1)(c) data minimization and Article 25(1) data protection by design. Covers field-level encryption, data masking, aggregation, pseudonymization per Article 4(5), and anonymization per Recital 26. Includes ENISA pseudonymization techniques and a data minimization assessment matrix.
Technical implementation of GDPR Article 25(2) data protection by default. Covers strictest privacy settings as default configuration, minimum data collection, limited storage duration, restricted accessibility, and opt-in rather than opt-out patterns. Includes implementation checklist and system design requirements.
Guide to implementing homomorphic encryption for privacy-preserving computation under GDPR. Covers scheme selection (BFV, BGV, CKKS, TFHE), Microsoft SEAL, IBM HELib, and Google FHE transpiler. Includes performance benchmarks, parameter tuning, and basic HE example code for encrypted arithmetic operations.
Implementation guide for secure multi-party computation enabling privacy-preserving analytics across organizations. Covers secret sharing, garbled circuits, reference frameworks MP-SPDZ and CrypTen, practical deployment patterns, and GDPR alignment for joint controller analytics without revealing individual party inputs.
Guides compliance with India's Digital Personal Data Protection Act 2023. Covers consent manager registration, data fiduciary obligations under Sections 4-7, significant data fiduciary requirements under Section 10, data principal rights, and Board enforcement framework. Keywords: DPDP Act, India data protection, consent manager, data fiduciary, significant data fiduciary, data principal rights.
Provides GDPR Article 14 information for personal data obtained from sources other than the data subject, covering timing requirements (within reasonable period, max one month), source disclosure, all required elements, and exemptions under Art. 14(5). Activate for Art. 14, indirect collection, third-party data source, indirect data notice queries.
Guides internal privacy audit program design and execution including risk-based audit planning, scope definition, fieldwork procedures, finding classification, evidence gathering, remediation tracking, and management reporting. Covers audit universe definition, annual audit plan, working papers, and closure verification. Keywords: internal audit, privacy audit, fieldwork, remediation, findings, audit plan.
Iowa Consumer Data Protection Act (ICDPA) compliance. Effective January 1, 2025. Covers consumer rights (access, delete, opt-out), controller thresholds at 100,000 consumers, sensitive data opt-in consent, 90-day cure period, and AG-only enforcement. Iowa Code Chapter 715D.
Guides ISO 27701 Privacy Information Management System implementation extending ISO 27001/27002. Covers Clause 5 PIMS-specific requirements, Clause 6 PIMS guidance for ISO 27002, Clause 7 PII controller guidance (Annex A), Clause 8 PII processor guidance (Annex B), gap assessment, and certification path. Keywords: ISO 27701, PIMS, privacy management system, ISO 27001 extension, certification, Annex A, Annex B.
Guides compliance with Japan's Act on the Protection of Personal Information (APPI, 2022 amendments). Covers individual rights expansion, cross-border transfer restrictions including pre-transfer information requirements, PPC enforcement, and pseudonymised and anonymously processed information. Keywords: APPI, Japan data protection, PPC, cross-border transfer, pseudonymised information, individual rights.
Guides the establishment and management of joint controller arrangements under GDPR Article 26, including determination of joint controllership, allocation of responsibilities, and transparency obligations. Activate when two or more controllers jointly determine purposes and means of processing, or when evaluating shared data platforms. Keywords: joint controller, Article 26, shared responsibility, arrangement, joint determination.
Kentucky Consumer Privacy Protection Act (KPPA) compliance. Effective January 1, 2026. Covers consumer rights, controller thresholds at 100,000 consumers, sensitive data processing consent, cure period provisions, and AG enforcement framework.