Listing generated on 03/29/2024 at 02:05:12.

Keydate: 2022-08-17
Policy Name: UM IdentityTheft Protection
Policy Code: CHA.AM.100.107
Status: Approved and Activated
Administrative Division: Chancellor
Responsible Office: Chancellor
Effective Date: 08/17/2022
Last Changed by: Jennings, Miquelyn Michelle on 02/10/2021
Policy Narrative: PDF File

Policy Summary/Purpose:
The purpose of the UM Identify Theft Protection Policy is to establish an
Identity Theft Prevention Program pursuant to the Federal Trade Commission?s
Red Flag Rules, which implements Section 114 of the Fair and Accurate Credit
Transactions Act of 2003 (FACT Act).
UM recognizes that some activities of the university are subject to the
provisions of the
Fair and Accurate Credit Transactions Act (FACT Act) 16 CFR § 681. Per the
Federal Trade Commission(FTC) definition, this activity could include
participation in the Federal Perkins Loan or Federal Family Education Loan
programs, as well as institutional loans to faculty, staff, or students, and
tuition payment plans. While UM may not participate in all these activities,
the university strives to protect all personally Identifyable Information (as
defined herein) and prevent identity theft, as required by the FTC Red Flag
Rules.


Keydate: 2005-01-01
Policy Name: UM IdentityTheft Protection
Policy Code: CHA.AM.100.107
Status: Deactivated
Administrative Division: Chancellor
Responsible Office: Chancellor
Effective Date: 07/24/2009
Last Changed by: Gatewood, Kimberly Chanteal on 10/29/2018
Policy Narrative: PDF File

Policy Summary/Purpose:
The purpose of the UM Identify Theft Protection Policy is to establish an
Identity Theft Prevention Program pursuant to the Federal Trade Commission?s
Red Flag Rules, which implements Section 114 of the Fair and Accurate Credit
Transactions Act of 2003 (FACT Act).
UM recognizes that some activities of the university are subject to the
provisions of the
Fair and Accurate Credit Transactions Act (FACT Act) 16 CFR § 681. Per the
Federal Trade Commission(FTC) definition, this activity could include
participation in the Federal Perkins Loan or Federal Family Education Loan
programs, as well as institutional loans to faculty, staff, or students, and
tuition payment plans. While UM may not participate in all these activities,
the university strives to protect all personally Identifyable Information (as
defined herein) and prevent identity theft, as required by the FTC Red Flag
Rules.