U.S. DEPARTMENT OF
HOUSING AND URBAN DEVELOPMENT
INITIAL PRIVACY ASSESSMENT
(IPA)
SINGLE FAMILY INSURANCE SYSTEM (SFIS)
Office of Housing
March 2, 2016
INTRODUCTION
What is an Initial Privacy Assessment?
An Initial Privacy Assessment (IPA) is designed to assess whether a Privacy Impact Assessment (PIA), a Privacy Act system of records notice (SORN), and/or other related privacy documents are required. The responses to the IPA will provide a foundation for determining if either a PIA or SORN or both will be required, and will also help to identify any policy concerns.
The IPA incorporates the matters previously addressed in the Department's Personally Identifiable Information (PII) Survey, and thus replaces the survey.
When should an IPA be completed?
An IPA should be completed for all information collection activities, whether the system is electronic or contains only records in paper form, and should be completed before commencement of any testing or pilot project of an information system or prior to implementing new information collections requests. Additionally, an IPA should be completed any time there is a change to the information system or collection to determine whether there are any privacy issues as a result of such a change.
Who should complete the IPA?
The IPA should be written and reviewed by a combination of the component's (e.g., Privacy Act Officer, System Owner, Project Leaders, Paperwork Reduction Act Compliance Officers), and the program-specific office responsible for the system, project or information collections.
How is the IPA related to the Capital Planning, Certification and Accreditation, and the Paperwork Reduction Act process?
Upon completion and approval of the IPA by the Privacy Officer the official document may be uploaded into the C&A tool, and provided as part of the IT Capital Planning, and Paperwork Reduction Act package as validation of the completed evaluation. The completed IPA demonstrates that the program components have consciously considered privacy and related requirements as part of the overall information activities. For an IT system that does not require a C&A, such as a minor application that runs on a system that does require a C&A, an IPA still should be completed to determine if other related privacy documentation are required for that system or project.
Where should the completed IPA be sent?
A copy of the completed IPA should be sent to the Office of Privacy Project Leads for review. The Privacy Officer will review the IPA and determine what additional privacy documentation is required, and then will advise the Program component accordingly.
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Initial Privacy Assessment
INFORMATION ABOUT THE SYSTEM OR PROJECT
Date Submitted for Review: March 2, 2016
Project Name/Acronym: Single Family Insurance System (SFIS)
System Owner/Contact information: Kathleen Malone, Director, Office of Financial Services, (202) 402-2035
Project Leader/Contact Information: Pauline Devore, Chief, Systems Branch, Office of Housing, (202) 402-8311
Which of the following describes the type of records in the system:
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DATE REVIEWED: |
PRIVACY REVIEWING OFFICIALS NAME: |
The IPA is “not” an official document until all signatures are obtained for this page.
By signing below the Program Office or Support Office attest that the content captured in this document is accurate and complete and meet the requirements of applicable federal regulations and HUD internal policies.
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/s/ |
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SYSTEM OR PROJECT OWNERKathleen Malone, Director
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Office of Financial Services |
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PROGRAM AREA MANAGERNatalia Yee, Director |
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Single Family Insurance Operations Division |
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ACTING PRIVACY OFFICERFrieda B. Edwards, Acting Privacy Officer |
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Office of the Chief Information Officer |
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U. S. Department of Housing and Urban Development
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File Type | application/vnd.openxmlformats-officedocument.wordprocessingml.document |
Author | Pelczar, Robert D |
File Modified | 0000-00-00 |
File Created | 2021-01-22 |