10 Print PIA

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U.S. Visitor Immigrant Status and Indicator Technology (US-VISIT)

10 Print PIA

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Privacy Impact Assessment Update
for the
Conversion to 10-Fingerprint Collection for the

United States Visitor and Immigrant Status
Indicator Technology Program (US-VISIT)
November 15, 2007
Contact Point
Barbara M. Harrison, Acting Privacy Officer
US-VISIT Program
(202) 298-5200
Reviewing Official
Hugo Teufel III
Chief Privacy Officer
Department of Homeland Security
(703) 235-0780

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Abstract
US-VISIT is an office and program within the National Protection and Programs Directorate
of the Department of Homeland Security. The office manages DHS’ IDENT system and provides
biometrics-based identity management services to agencies throughout immigration and border
management, law enforcement, and intelligence communities. The Program provides an
integrated, automated, biometric entry and exit system that records the arrival and departure of
foreign nationals. US-VISIT is publishing this Privacy Impact Assessment (PIA) to update and
describe the US-VISIT Program’s change from collecting two (2) fingerprints to collecting up to
ten (10) fingerprints (using inkless optical reading devices) from foreign nationals upon entering
or exiting the United States. 1

Overview
The US-VISIT Program began its phased roll-out in January 2004. Each phase expanded
the Program’s capabilities, covered populations, or locations. Currently, US-VISIT collects 2
fingerprints, generally the right and left index fingers, from foreign nationals to associate an
identity with biometrics collected from a first-time encounter or to verify the identity of an
individual previously encountered, and to conduct various immigration, terrorism, and criminal
background checks. The collection of only 2 fingerprints, however, limits US-VISIT’s ability to
more effectively match the prints in other governmental biometric databases. In particular, the
Federal Bureau of Investigation’s (FBI) Automated Fingerprint Identification System (IAFIS) is
based on the collection of 10 fingerprints. US-VISIT’s ability to submit 10 fingerprints against
such databases will improve the likelihood of identifying known or potential criminals and
terrorists. Moreover, the National Institute of Standards and Technology (NIST) advocates
collecting more fingerprints to improve the accuracy of identifying individuals. 2
US-VISIT will begin to collect up to 10 fingerprints at a limited number of ports of entry
(POE) in late November 2007. Deployment to additional POEs is planned to begin in 2008. Since
2 fingerprints are already taken from foreign nationals arriving to the U.S., the only noticeable
difference to a foreign traveler will be the collection of a greater number of (up to 10)
                                                           
1 This PIA updates the previously published Privacy Impact Assessment for the Automated Biometric Identification
System (IDENT) (July 31, 2006); and Privacy Impact Assessment for the US-VISIT Program In Conjunction with the
Notice on Automatic Identification of Certain Nonimmigrants Exiting the United States at Select Land Ports of Entry
(July 1, 2005).
2

See Testimony of Dr. Martin Herman, Chief, Information Access Division, Information Technology Laboratory,
National Institute of Standards and Technology before the U.S. House of Representatives Committee on Homeland
Security, Subcommittee on Economic Security, Infrastructure Protection, and Cybersecurity, Ensuring the Security
of America's Borders through the Use of Biometric Passports and other Identity Documents (June 22, 2005).
http://www.nist.gov/testimony/2005/mherman_house_hs_biometrics_6-22.html.

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fingerprints. US-VISIT will be testing two methods of collecting 10-fingerprints in order to
determine the most effective and efficient method. In all cases, fingerprints will continue to be
collected using inkless, optical collection devices. Methods to be tested will include: (a) the
“three-slap process” where individuals provide four flat fingerprints from the right hand, four flat
fingerprints from the left hand, and then simultaneous capture of the two thumbs; and (b) the
“four-slap process,” which requires four flat fingerprints from the right hand, and the right
thumbprint, then four flat fingerprints from the left hand, and the left thumbprint. Once an
individual’s 10 fingerprints are collected and stored in DHS’ Automated Biometric Identification
System (IDENT), subsequent encounters, in most cases, will require the collection of fewer than
10 fingerprints for purposes of verification.

Section 1.0 Characterization of the Information
The following questions are intended to define the scope of the information requested
and/or collected as well as the reasons for its collection as part of the system, rule, or technology
being developed.

1.1

What information is collected, used, disseminated, or maintained in
the system?

US-VISIT will continue to collect biometrics and limited biographic information as
described in previous PIAs (available at www.dhs.gov/privacy, follow link to “Privacy Impact
Assessments”). Instead of collecting 2 fingerprints as US-VISIT has done in the past, US-VISIT will
now collect up to 10 fingerprints on first encounters with individuals. In subsequent encounters,
some number of fingerprints less than 10 may be collected to verify the identity of a previously
encountered individual.

1.2

What are the sources of the information in the system?

Fingerprints are collected directly from the individual. Up to 10 fingerprints will be
collected during an individual’s encounter with a Customs and Border Protection (CBP) officer at a
POE while going through the US-VISIT matching and verification process.

1.3 Why is the information being collected, used, disseminated, or
maintained?
There is no change in the reasons why US-VISIT is collecting biometrics and biographics
from foreign nationals, as described in previous PIAs. US-VISIT currently collects fingerprints
from foreign nationals for purposes of allowing DHS to gauge admissibility by conducting various
checks against immigration, criminal, and terrorism databases and lists. The transition from 2 to

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10 fingerprint collection will improve US-VISIT’s ability to effectively interoperate with other
databases throughout the government, such as the FBI’s IAFIS database. US-VISIT’s ability to query
10 fingerprints against such databases will improve the likelihood of identifying known or
potential criminals and terrorists simply because there is a higher accuracy and a higher match rate
when the agency uses more fingerprints of an individual. Improving the likelihood of matching
fingerprints will better support decision-making, potentially improving processing capabilities and
enhancing privacy by more accurately identifying suspect individuals.

1.4

How is the information collected?

All foreign nationals subject to US-VISIT requirements will be required to provide up to 10
fingerprints, along with the same limited biographic information they provide currently, when
processed through a CBP lane equipped with a 10-fingerprint scanner, in most cases on a first
encounter. In all cases, fingerprints will continue to be collected using inkless, optical collection
devices. There will be two collection methods tested: (a) the “three-slap process” where
individuals provide four flat fingerprints from the right hand, four flat fingerprints from the left
hand, and then simultaneous capture of the two thumbs; and (b) the “four-slap process,” which
requires four flat fingerprints from the right hand, and the right thumbprint, then four flat
fingerprints from the left hand, and the left thumbprint. Once an individual’s 10 fingerprints are
collected and stored in IDENT, subsequent encounters, in most cases, will require the collection of
fewer than 10 fingerprints for purposes of verification.

1.5

How will the information be checked for accuracy?

The collection of up to 10 fingerprints rather than 2 fingerprints will improve the
likelihood of matching against fingerprints of known persons as well as latent prints (i.e., full or
partial fingerprints of unknown persons, such as from a bomb fragment) when establishing and
verifying an individual’s identity, since there are more fingerprints with which to compare. The
additional fingerprint data will improve IDENT’s interoperability with other government
databases, while reducing the time needed to determine an individual’s potential security risk or
eligibility to receive a benefit.
 

1.6

What specific legal authorities, arrangements, and/or agreements
defined the collection of information?

The statutory authority for the collection of biometrics from those individuals entering and
exiting the U.S. includes, but is not limited to, the Uniting and Strengthening America by
Providing Appropriate Tools Required to Intercept and Obstruct Terrorism Act of 2001, (USA
PATRIOT Act); the Homeland Security Act of 2002; the Enhanced Border Security and Visa Reform

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Act of 2002 (Border Security Act); and the Intelligence Reform and Terrorism Prevention Act of
2004 (IRTPA). See 8 U.S.C. §§ 1365a note, 1365b.
In addition, the data maintained in IDENT are collected based on program authorities for
each agency collecting the data from individuals. These authorities are described in the PIAs,
SORNs, or other materials published by each program.

1.7

Privacy Impact Analysis: Given the amount and type of data being
collected, discuss what privacy risks were identified and how they
were mitigated.

Anytime biometric data (fingerprints, digital photograph) and biographic data (textual
expressions of name, gender, date of birth) are collected, there is a risk of unauthorized access
and disclosure. In order to mitigate privacy risks inherent in the collection of personally
identifiable information, DHS employs physical, technical, and administrative security controls.
These controls are validated through a Certification and Accreditation process on a regular basis.
Users have limited access based on their roles and are trained in the proper handling of personally
identifiable information. The infrastructure behind US-VISIT will not be changing significantly
to accommodate the collection of more fingerprints, so access to, and security of, additional
information will follow currents procedures (see Section 8.0 herein). US-VISIT’s privacy
program will continue to ensure the protection of all collected data.

Section 2.0 Uses of the System and the Information
The following questions are intended to delineate clearly the use of information and the
accuracy of the data being used.

2.1

Describe all the uses of information.

There will be no change to the uses of data collected by US-VISIT from foreign nationals as
described in previous PIAs. This information will be used to identify and verify an individual’s
identity in the course of determining whether the alien is admissible, eligible for a benefit, and
otherwise in lawful status.

2.2

What types of tools are used to analyze data and what type of data
may be produced?

There is no change from previous PIAs as to the type of analysis tools used or the type of
analysis performed. The collected data will be matched against DHS and other mission-related
federal government databases to identify potential immigration or criminal impediments to

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admission, or receipt of a benefit. The results of any analysis done on collected fingerprints and
biographic data are used to identify or verify an individual’s identity in determining admissibility
to the U.S., eligibility for a benefit, or continued lawful status (e.g. analysis to determine whether
the alien poses a criminal or national security threat).

2.3

If the system used commercial or publicly available data please
explain why and how it is used.

US-VISIT does not use commercial or publicly available data.

2.4

Privacy Impact Analysis: Described any types of controls that may
be in place to ensure that information is handled in accordance
with the above described uses.

There are no changes from previous PIAs as to the controls in place to ensure that the
information is appropriately handled. The 10 fingerprints will be used in the same way and for
the same purposes as the 2 fingerprints. DHS employs physical, technical, and administrative
security controls that are validated through a Certification and Accreditation process on a regular
basis. Users have limited access based on their roles and are trained in the proper handling of
personally identifiable information.

Section 3.0 Retention
The following questions are intended to outline how long information will be retained
after the initial collection.

3.1

How long is information retained?

In accordance with the IDENT System of Records Notice (SORN), biometric and
biographic data are treated the same for retention purposes. These data will be retained no longer
than 75 years.

3.2

Has the retention schedule been approved by the National
Archives and Records Administration (NARA)?

The retention schedule for IDENT has been approved by NARA.

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3.3

Privacy Impact Analysis: Given the purpose of retaining the
information, explain why the information is needed for the
indicated period.

There is no change to reasons governing the retention period for data in IDENT based on
the collection of 10 rather than 2 fingerprints. IDENT data is retained for the minimal period
necessary to carry out DHS’ national security, law enforcement, immigration, intelligence and
other mission-related functions.

Section 4.0 Internal Sharing and Disclosure
The following questions are intended to define the scope of sharing within the Department
of Homeland Security.

4.1

With which internal organization(s) is the information shared, what
information is shared and for what purposes?

The internal organizations with which US-VISIT shares data will remain the same in its 10
fingerprint collection.
As a primary DHS-wide repository of biometrics, and specifically as the holder of US-VISIT
data, IDENT data is currently shared with components throughout DHS (e.g., United States
Citizenship and Immigration Services, United States Customs and Border Protection, and
Immigration and Customs Enforcement). US-VISIT shares the data contained in IDENT for DHS
national security, law enforcement, immigration, intelligence, and other mission-related functions
and to provide associated testing, training, management reporting, planning and analysis, or other
administrative uses that require the use of biometrics to identify or verify the identity of
individuals.

4.2

How is the information transmitted or disclosed?

When data are transmitted between IDENT and other systems on the DHS core network, it
is done on an unclassified, secured wide area network. Other types of transmission or disclosure
may be required in some circumstances. The mode of transmission or disclosure for each
program will be done in accordance with DHS policy, regulation and, if applicable, under the
terms of an agreement executed between the parties.

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4.3

Privacy Impact Analysis: Given the internal sharing, discuss what
privacy risks were identified and how they were mitigated.

As there is no change to internal sharing of data based on the transition from 2 to 10
fingerprints, there is no change to the privacy risks from those described in previous PIAs. In
many cases data sharing within DHS is required by statute, regulation, or Executive Order. In all
cases, however, this data must be kept secure, accurate, and appropriately controlled. US-VISIT
ensures that any privacy risks are mitigated through auditing access controls, re-sharing limits
(where appropriate), and other physical, technical, and administrative controls.

Section 5.0 External Sharing and Disclosure
The following questions are intended to define the content, scope, and authority for
information sharing external to DHS, which includes Federal, state and local government and the
private sector.

5.1

With which external organization(s) is the information shared, what
information is shared, and for what purposes?

The external organizations with which US-VISIT shares data is not changed. US-VISIT will
share 10-fingerprint data with the same organizations that it shares any other type of IDENT data,
such as Federal, state, local, tribal, foreign, or international government agencies engaged in
national security, law enforcement, immigration, intelligence, and other mission-related
functions. For instance, data will be shared with the FBI for purposes of identifying known or
potential criminals and terrorists.
All such external sharing will be subject to applicable laws, regulations, and memoranda of
understanding (MOU), business rules and any other appropriate restraints on external data
sharing.

5.2

Is the sharing of personally identifiable information outside the
Department compatible with the original collection? If so, is it
covered by an appropriate routine use in a SORN? If so, please
describe. If not, please describe under what legal mechanism the
program or system is allowed to share the personally identifiable
information outside of DHS?

The sharing of 10-fingerprint data supports the purpose for the original collection as stated
in the IDENT SORN, which is to enable DHS to carry out its national security, law enforcement,
immigration, intelligence, and other mission-related functions, and to provide associated testing,

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training, management reporting, planning and analysis, and other administrative uses, by allowing
DHS to either confirm or reject an individual’s claimed identity by comparing biographic and
biometric information associated with the individual.

5.3

How is the information shared outside the Department and what
security measures safeguard its transmission?

Ten-fingerprint data will be transmitted or disclosed to external organizations in one of
three ways:
•
•
•

Direct limited access to IDENT, where personnel of these organizations are co-located with
DHS personnel with access to the system;
Limited direct connections to other systems, where data may be transmitted directly
between IDENT and those other systems; and
Secure transfer, including encryption on portable media, where there is no direct
connection between systems.

The mode of transmission or disclosure for each program will be described in an MOU or
other data sharing agreement associated with that particular program.
DHS enters into MOUs or other agreements with all non-DHS organizations with which
information from IDENT is shared. These agreements provide the conditions for sharing or
disclosing information, including governing the protection and use of the information.

5.4

Privacy Impact Analysis: Given the external sharing, explain the
privacy risks identified and describe how they were mitigated.

As there is no change to external sharing of data based on the transition from 2 to 10
fingerprints, there is no change to the privacy risks from those described in previous PIAs. Data
shared with external organizations must be kept secure, accurate, and appropriately controlled.
US-VISIT ensures that any privacy risks are mitigated through data sharing agreements, which
require auditing, access controls, re-sharing limits, and other physical, technical, and
administrative controls.

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Section 6.0 Notice
The following questions are directed at notice to the individual of the scope of information
collected, the right to consent to uses of said information, and the right to decline to provide
information.

6.1

Was notice provided to the individual prior to collection of
information? If yes, please provide a copy of the notice as an
appendix. (A notice may include a posted privacy policy, a Privacy
Act notice on forms, or a system of records notice published in the
Federal Register Notice.) If notice was not provided, why not?

Notice of the collection is provided by the publication of this PIA and the IDENT SORN, as
updated (72 FR 3180, June 5, 2007). In addition, notice is provided at international arrival lanes
equipped with fingerprint scanners capable of capturing 10 fingerprints, and through a variety of
outreach efforts.

6.2

Do individuals have an opportunity and/or right to decline to
provide information?

Foreign travelers covered by the Program and arriving to the U.S. are currently required to
provide 2 fingerprints for verification purposes prior to being admitted to the country. If an
individual refuses to provide the required amount of fingerprints, then he/she may be sent for
further inspection and entry may be denied. This remains true for those individuals from whom
10 fingerprints rather than 2 fingerprints are collected. This process is necessary due to the
national security, law enforcement, immigration, intelligence, and other DHS-mission related
purposes underlying the collection of fingerprints from foreign nationals arriving to the United
States.

6.3

Do individuals have the right to consent to particular uses of the
information? If so, how does the individual exercise the right?

Up to 10 fingerprints are collected from all individuals covered by US-VISIT. Because of
the border management purposes of this collection, individuals will have no right to consent to a
particular use of their data.

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6.4

Privacy Impact Analysis: Describe how notice is provided to
individuals, and how the risks associated with individuals being
unaware of the collection are mitigated.

Notice is provided through the publication of this PIA and the IDENT SORN. The 10fingerprint data are collected with the knowledge of the individual for the purposes of national
security, law enforcement, immigration, intelligence, and other DHS-related missions. In most
cases, individuals do not have any right or opportunity to refuse providing this data or consenting
to its particular uses.

Section 7.0 Individual Access, Redress and Correction
The following questions are directed at an individual’s ability to ensure the accuracy of the
information collected about them.

7.1

What are the procedures which allow individuals to gain access to
their own information?

The transition from 2 to 10 fingerprint collection does not alter the procedures used by an
individual to access his/her information contained in IDENT.
US-VISIT information may, in some cases, be exempt from individual access because access
to the data in IDENT could inform the subject of an investigation of an actual or potential
criminal, civil, or regulatory violation, to the existence of the investigation, and reveal
investigative interest on the part of DHS or another agency. In those cases, access to records could
permit the individual who is the subject of a record to impede the investigation, tamper with
witnesses or evidence, and avoid detection or apprehension. However, in many other cases,
individuals may request and receive access by submitting a request to the Privacy Officer, USVISIT Program, U.S. Department of Homeland Security, Washington, DC 20528.

7.2

What are the procedures for correcting erroneous information?

The transition from 2 to 10 fingerprint collection does not alter the procedures for an
individual to correct erroneous information contained in IDENT. Individuals may have an
opportunity to correct their data when it is being collected; otherwise, they may submit a redress
request to the Traveler Redress Inquiry Program (TRIP) at WWW.DHS.GOV/TRIP or via mail,
facsimile or email in accordance with instructions available at WWW.DHS.GOV/TRIP.

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7.3

How are individuals notified of the procedures for correcting their
information?

Redress procedures are established and operated by DHS through Traveler Redress Inquiry
Program which can be contacted at WWW.DHS.GOV/TRIP.

7.4

If no redress is provided, are alternatives available?

Redress is provided.

7.5

Privacy Impact Analysis: Given the access and other procedural
rights provided for in the Privacy Act of 1974, what procedural
rights are provided and, if access, correction and redress rights are
not provided please explain why not.

Redress is provided through TRIP. While the system that contains the fingerprints, IDENT,
does exempt some rights of access, this is done on a case-by-case basis. For instance, access may
not be provided to those under criminal investigation. In the vast majority of cases, access and
redress are provided. It is in the best interest of US-VISIT to ensure that the data are as accurate as
possible, so that appropriate decisions may be made using this data.

Section 8.0 Technical Access and Security
The following questions are intended to describe technical safeguards and security
measures.

8.1

Which user group(s) will have access to the system?

DHS personnel and contractors will have access to US-VISIT data as described in previous
PIAs. The primary user groups include CBP officers, system managers, developers, and analysts.
Access will be limited to the extent required for the particular user group to complete their
responsibilities.

8.2

Will Department contractors have access to the system?

Contractors will have access to US-VISIT data. The extent of access will vary based on the
need to fulfill the requirements of the contract under appropriate non-disclosure and use
limitations.

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8.3

Describe what privacy training is provided to users either generally
or specifically relevant to the program or system?

All government employees and contractors are required to complete privacy training when
they initially join the US-VISIT program. Subsequent yearly privacy refresher training is required
of all government employees and contractors on US-VISIT.

8.4

Has Certification & Accreditation been completed for the system or
system supporting the program?

IDENT was granted an authority to operate in May 2007, this authority to operate will
expire in May 2010, unless reaccreditation takes place beforehand.

8.5

What auditing measures and technical safeguards are in place to
prevent misuse of data?

US-VISIT secures its data by complying with the requirements of DHS information
technology security policy, particularly the DHS Information Technology (IT) Security Program
Handbook for Sensitive Systems (Attachment A to DHS Management Directive 4300.1), as
described in previous PIAs.

8.6

Privacy Impact Analysis: Given the sensitivity and scope of the
information collected, as well as any information sharing
conducted on the system, what privacy risks were identified and
how do the security controls mitigate them?

Anytime biometric data (fingerprints, digital photograph) and biographic data (textual
expressions of name, gender, date of birth) are collected, there is a risk of unauthorized access and
disclosure. However, the change from collecting 2 to collecting 10 fingerprints does not affect the
existing technical access and security controls protecting that data. In order to mitigate privacy
risks inherent in the collection of personally identifiable information, DHS employs physical,
technical, and administrative security controls. These controls are validated through a Certification
and Accreditation process on a regular basis. Users have limited access that is established based on
their roles. Users are also trained in the handling of personally identifiable information. The
specific access controls for each use of information is described in the PIA relating to that use of
information.
 

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Section 9.0 Technology
The following questions are directed at critically analyzing the selection process for any
technologies utilized by the system, including system hardware, RFID, biometrics and other
technology.

9.1

Was the system built from the ground up or purchased and
installed?

IDENT and the 10-fingerprint capture devices are comprised of standard commercial
hardware and software that has been modified to meet the needs of DHS.

9.2

Describe how data integrity, privacy, and security were analyzed as
part of the decisions made for your system.

Policy, operational, and technical aspects were extensively analyzed to ensure that data
integrity, privacy, and security protections were preserved in the transition from the collection of
2 fingerprints to the collection of 10 fingerprints. US-VISIT uses a privacy risk management
process based on information life cycle analysis and fair information principles. Technical and
programmatic design choices are informed by this approach, which analyzes proposed changes in
terms of their life-cycle processes—collection, use and disclosure, processing, and retention and
destruction—and the potential they may create for noncompliance with relevant statutes or
regulations (the Privacy Act in particular) or for violations of fair information principles. When
analysis determines that privacy risks may exist, either alternative design choices or appropriate
technical, physical, and/or procedural mitigation approaches are developed.

9.3

What design choices were made to enhance privacy?

The design, development and implementation of all systems involved in the transition
from the collection of 2 fingerprints to the collection of 10 fingerprints was assessed using a
privacy risk management process that includes a PIA, and compliance with the IDENT SORN,
applicable laws, regulations, guidance and best practices.

9.4

Privacy Impact Analysis: Given the above choices regarding
technology, what privacy impacts were considered and how were
they resolved?

There are no significant technical changes to IDENT to support the transition from the
collection of 2 fingerprints to the collection of 10 fingerprints. The major technical change is the

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move to devices that collect 10 rather than 2 fingerprints, and these devices are continuously
tested and upgraded to ensure that they provide the best service possible, while not compromising
the privacy of the traveler.

Responsible Officials:
Barbara M. Harrison, Acting US-VISIT Privacy Officer
Department of Homeland Security

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Approval Signature Page

Original signed and on file with the DHS Privacy Office

Hugo Teufel III
Chief Privacy Officer
Department of Homeland Security


File Typeapplication/pdf
File TitleDepartment of Homeland Security Privacy Impact Assessment 10 Print
AuthorDepartment of Homeland Security Privacy Impact Assessment 10 Pri
File Modified2010-02-24
File Created2007-11-16

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