Finding Text
FINDING 2023-001 – Controls and Noncompliance Related to Student Information Security
Federal Department: Department of Education
CFDA Number(s): 84,003, 84.063, 84.007, 84.268, 93.364
Program Name(s): Student Financial Aid Cluster
Questioned Costs: None
Criteria
Special Tests and Provisions - Gramm-Leach-Bliley Act -Student Information Security - The Gramm-Leach-
Bliley Act (“GLBA”) (Public Law 106-102) requires financial institutions to explain their information sharingpractices
to their customers and to safeguard sensitive data. (16 CFR 314) The Federal Trade Commission
considers Title IV eligible institutions that participate in Title IV Educational Assistance Programs as
“financial institutions” and subject to GLBA (16 CFR 313.3(k)(2)(iv)). Under an institution’s Program
Participation Agreement with the Department of Education and the GLBA, institutions must protect student
financial aid information, with particular attention to information provided to institutions by the Department
or otherwise obtained in support of the administration of the federal financial aid programs. Institutions are
required to designate a qualified individual responsible for implementing and monitoring the institution's
information and security program. Additionally, the District is required to maintain written security program
that addresses the minimum elements required by GLBA.
Condition
Yosemite Community College District (the “District”) did not have a designated individual responsible for
implementing and monitoring the institution’s information and security program and did not have a written
security program in place that addresses the minimum required elements under GLBA.
Questioned Costs
None noted.
Context
During inquiries with management, management established that there was not a designated individual
responsible for implementing and monitoring the institutions information and security program, and there is
not currently a written security program in place that addresses the minimum required elements under
GLBA. However, management indicated that there were no data breaches or instances of the District’s
information systems being compromised during the audit period.
Effect
Risks pertaining to Student Information Security may not be identified and/or addressed.
Cause
Turnover in the Information Systems department and a vacant role have caused a lack of available
resources for purposes of appointing a designated individual and implementing GLBA compliant policies
and procedures.
Identification as a Repeat Finding, if Applicable
Not applicable
Recommendation
We recommend that the District designate a qualified individual responsible for implementing and
monitoring the institution's information and security program, and to develop and maintain written security
program that addresses the minimum elements required by GLBA.
Views of Responsible Officials and Planned Corrective Actions
See Corrective Action Plan.