Showing 3434 Documents for "securities"
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- MAS
- Notices
Last revised date:
- However, any prepayments by such customers on rediscounted bills are to be included in the liabilities base. 3 following securities: Where a finance company receives funds through repurchase agreements in the (a) Singapore Government securities; and (b) debt securities
- legal 2A) Singapore Government securities. 2B) Debt issued by securities the Monetary Authority of Singapore under the Monetary Authority of Singapore Act (Cap. 186). 3A) Singapore Government securities held under reverse repurchase agreements (repos). 3B) Debt
- d) funds raised through the sale or rediscounting of bills of exchange with customers other than banks or other finance companies; and e) funds received through repurchase agreements in Singapore Government securities or debt securities issued by the Monetary Authority
- MAS
- Consultations
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- SFA.
- (sec. 339(1) SFA) where the activity is regulated in the SFA.
- The latter two are defined under the SFA.
- PDPC
- Commission's Decisions
Last revised date:
- The Organisation failed to make reasonable security arrangements 8 After a review of all the evidence obtained by PDPC during its investigation and for the reasons set out below, I am of the view that the Organisation had failed to make reasonable security arrangements
- Since the Organisation handles personal data of its students and their parents, the omission to provide detailed guidance to its teaching and other staff is an obvious gap in its security arrangements.
- This falls short of the standard of “reasonable security arrangements”. 12 That said, the Organisation had provided PDPA training to its employees at the preschool, including the teacher who had disclosed the attendance list.
- MAS
- Forms and Templates
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- These include (but are not limited to): Part II and the First Schedule of the Securities and Futures Act; and Securities and Futures (Organised Markets) Regulations 2018; and Read the Guidelines on the Regulation of Markets (SFA 02-G01) These should help you determine whether you require a licence
- Q13: Please tick the box to confirm compliance. * The applicant has a written set of security standards for its systems, and has assessed that its systems comply with these security standards, and is in compliance with Paragraph 4.3 of the Notice on Cyber Hygiene.
- PDPC
- Help & Resources
Last revised date:
- ABC also conducts periodic ICT security awareness training for its staff. However, the IT policy does not prescribe the frequency at which security measures should be reviewed.
- Protection Are there reasonable security arrangements to protect personal data? For example: Is a security scan or penetration test scheduled to be conducted on the website before it is available to the public? Are users direct access to the database strictly controlled?
- Examples of when risks can change include: 1 Subsequent developments to the project (e.g. changes to the purposes or context for the project, the type of personal data collected, how the processing is conducted) 2 Technology or security developments (e.g. when a system may face new security
- MAS
- Consultations
Last revised date:
- . 289) (SFA).
- to deliver the security.
- These Guidelines should be read in conjunction with the provisions of Part VIIA of the SFA and the Securities and Futures (Short Selling) Regulations (Regulations), and where relevant, other provisions of the SFA.
- MAS
- Notices
Last revised date:
- : Listed collective investment schemes Unlisted collective investment schemes Other listed equity securities Other unlisted equity securities Total (1 to 4) Debt securities: Government debt securities Qualifying debt securities Other debt securities Total (6 to 8) Cash and deposits Other
- PDPC
- Commission's Decisions
Last revised date:
- As mentioned above, organisations are to put in place security arrangements that are commensurate with the sensitivity of the data in question – a balance of considerations.
- (ii) The Organisation failed to implement adequate administrative security measures 28 The Organisation’s mistake of pasting the list of recipient email addresses in the “To” field instead of the “Bcc” field was a straightforward one, and could have been quite easily repeated.
- issues to be determined in the present case are as follows: 2 -------- Credit Counselling Singapore [2017] SGPDPC 18 (a) whether the information disclosed by the Follow-up Email constituted personal data; and (b) whether the Organisation had put in place reasonable security
- PDPC
- Public Consultations
Last revised date:
- Standardized means of transferring data between services are essential for scalable, secure forms of data portability.
- There are many sector-specific considerations when introducing a Data Portability Obligation, and sectoral code of practises that address consumer safeguards, counterparty assurance, interoperability and security of data could help add clarity to the appropriate levels of privacy and security required
- Portability requirements should limit the liability for organizations that port data pursuant to an individual request in a manner that is appropriately secure.
- MAS
- Notices
Last revised date:
- is a debt security or sukuk, it shall not be a convertible debt security or sukuk and if the bank holds more than 20% of the total market of a particular issue of debt securities or sukuk (including issues from different tranches), the bank shall only treat as liquid assets, 50% of the value
- This document is to be used for reference only. -------- Amendments to Paragraph 2 Amendment of the following definition in Paragraph 2 Singapore Government Securities means any security or equivalent instrument issued under the Government Securities Act (Cap 121A) and any Treasury
- However, if there is a sub-limit for the SGD in the facility, the bank may use the sub-limit amount for its computation of Qualifying Liabilities. 2 -------- Singapore Government Securities means any debt securities issued by the Singapore Government under any written law; [MAS Notice 613 (Amendment