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pdfPrivacy Impact Assessment Update
for the
Advance Passenger Information System (APIS): Land
Pre-Arrival System (LPAS) for Bus and Rail
DHS/CBP/PIA-001(h)
December 13, 2019
Contact Point
John Maulella
Director, Traveler Entry Programs
US Customs and Border Protection
(202) 344-2605
Reviewing Official
Jonathan R. Cantor
Acting Chief Privacy Officer
Department of Homeland Security
(202) 343-1717
Privacy Impact Assessment Update
DHS/CBP/PIA-001(h) APIS LPAS
Page 1
Abstract
U.S. Customs and Border Protection (CBP) uses advance passenger information (API) to
ensure the security of legitimate passengers and fulfill its border security mission. CBP has
collected mandatory and voluntary API from air, rail, bus, and sea carriers for over a decade. CBP
uses API to identify high-risk passengers and crew members who may pose a risk to border,
aviation, or public security, may be a terrorist or suspected terrorist or affiliated with or suspected
of being affiliated with terrorists, may be inadmissible, may be a person of interest, may otherwise
be engaged in activity in violation of U.S. law, or may be the subject of wants or warrants. CBP is
publishing this update to the longstanding Advance Passenger Information System (APIS) Privacy
Impact Assessment (PIA) series to document the Land Pre-Arrival System (LPAS) mobile
application and conduct a privacy risk assessment of this new method for rail and bus carriers to
voluntarily submit API to CBP.
Overview
CBP, pursuant to existing regulations,1 currently requires commercial air and vessel
carriers and private aircraft pilots to provide CBP with personally identifiable information (PII)
about passengers and crewmembers traveling by air or sea and arriving in and/or departing from
(and, in the case of aircraft crew, overflying) the United States. This information, often collected
and maintained on what is referred to as the passenger manifest, can be found on routine travel
documents that passengers and crew members must provide when processed into or out of the
United States; most of the information is included on the Machine Readable Zone (MRZ) of a
person’s passport. Once collected, the information is transmitted to CBP through the Advance
Passenger Information System (APIS), an electronic data interchange system used by DHS for
international commercial air and vessel carriers and for advance information transmitted to CBP
by private aircraft pilots.
Using advance passenger and crew information, CBP is able to perform enforcement and
security queries against various multi-agency law enforcement and terrorist databases and identify
high-risk passengers and crew members who may pose a risk or threat to travel safety or to national
or public security, or of non-compliance with U.S. civil and criminal laws, while simultaneously
facilitating the travel of legitimate passengers and crew members.
Voluntary APIS Submissions
Under 19 U.S.C. 1431(b), CBP has the authority to collect manifest data from vessels,
aircraft, or vehicles entering the United States. In addition to the mandatory submissions provided
1
CBP’s APIS regulations include 19 CFR 4.7b, 4.64, 122.22, 122.49a, 122.49b, 122.49c, 122.75a, and 122.75b.
Privacy Impact Assessment Update
DHS/CBP/PIA-001(h) APIS LPAS
Page 2
by both commercial air and vessel carriers and private aircraft pilots, CBP receives voluntary APIS
submissions from rail and bus carriers.2 To fulfill its border enforcement mission more efficiently,
CBP needs to be able to accurately assess the threat risk of individuals entering the United States,
including passengers and crew members aboard all rail and bus traffic crossing the border.
Private and commercial rail and bus carriers can submit passenger and crew manifests to
CBP via direct system connections or through the Electronic Advance Passenger Information
System (eAPIS) web interface.3 This information is submitted into eAPIS from either the carrier
or a third-party contractor hired on behalf of the carrier to gather and submit passenger information.
Passenger information successfully submitted into the eAPIS web interface and received by CBP
is stored as Advance Passenger Information System (APIS) data.4
The voluntary bus/rail APIS program began after air carriers and vessels were mandated to
provide API to CBP prior to arrival in the United States. In order to keep security processes similar
in the land environment, CBP developed a voluntary program for bus/rail. The voluntary program
allows bus and rail carriers to submit traveler manifest data, gathered from the information
travelers provide, into eAPIS, the CBP APIS web portal. Oftentimes, the information bus/rail
carriers provide to CBP is incomplete or inaccurate, causing CBP officers to update the manifest
upon inspection or not use the manifest for processing at all. This has resulted in limited
submissions of API by bus and rail carriers and limited usage of bus and rail API by CBP to
facilitate processing. Due to the limitations of the current voluntary program, CBP has been unable
to evaluate the effectiveness of API in the bus and rail environment.
Bus Submissions
Presently, private bus carriers voluntarily submit bus manifest data into eAPIS and
manually enter it. CBP established a program of unique carrier codes to issue to private bus carriers
for electronic submission via eAPIS. The unique carrier code permits private bus carriers to
voluntarily submit advance passenger and crew information to CBP. The carrier code is used when
creating an eAPIS account. eAPIS submission accounts have been created for 31 different bus
2
CBP has published extensive guidance for the travel industry in regards to APIS compliance. Guidance to
voluntary APIS submission is available for Bus and Rail. See CBP Bus APIS Document Guidance, available at:
https://www.cbp.gov/sites/default/files/documents/cbp_bus_apis_doc_1_3.pdf and CBP Rail APIS Document
Guidance, available at: https://www.cbp.gov/sites/default/files/documents/apis_doc_3.pdf.
3
eAPIS is a CBP web-based computer application that provides for the collection of electronic traveler manifest
information from commercial carriers for international travel both into and out of the United States. The eAPIS
website is available at: https://eapis.cbp.dhs.gov/.
4
See DHS/CBP/PIA-001(d) Advanced Passenger Information System-Voluntary Rail and Bus Submissions (APISVRBS), (Feb 19, 2009), available at
https://www.dhs.gov/sites/default/files/publications/privacy_pia_cbp_apis_vrbs_0.pdf, and DHS/CBP-005
Advanced [sic] Passenger Information System (APIS) System of Records Notice (SORN), 80 FR 13407 (March 13,
2015).
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carriers and/or their third-party submitters. This data is generally received by CBP before a bus
departs from either a Mexican or Canadian location for the United States.
In addition to the eAPIS submission process, bus carriers and/or their third-party submitters
can choose to enter and submit manifest data into the LPAS mobile application. The assigned
carrier code and sender ID5 are required to create an account in the LPAS mobile application and
login.gov.6 Login.gov is a service that officers secure and private online access to government
programs, such as federal benefits, services, and applications. Login.gov manages user
authentication by allowing users to sign in with an email address, password, multi-factor method,
and identity proofing by verifying an individual’s asserted identity on behalf of partner agencies.
Individuals with a login.gov account can sign in to multiple government websites (including
LPAS) with the same email address and password.
CBP provides both the carrier code and sender ID to carriers. The carrier code and sender
ID are an additional layer of security used to authenticate the bus carrier employee into the LPAS
mobile app. Without the carrier code and sender ID, the bus carrier employee cannot access the
LPAS mobile application. All data collected in LPAS is transmitted to APIS.
LPAS allows the carrier to capture and upload data through an automated process, using
the machine readable zone (MRZ) reader embedded into the application. Only in specific cases
will the MRZ reader not work on the document (i.e., a minor child traveling with a non-Western
Hemisphere Travel Initiative document, a tribal card holder); in those cases, the carrier must
manually enter the passenger data (as it does now) into the application and it will be forwarded to
CBP electronically.
Rail Submissions
Rail carriers operating trains that cross the U.S. border with either Mexico or Canada are
subject to part 123 of Title 19 of the Code of Federal Regulations. Part 123 includes provisions
governing how carriers report arrival and manifests. Pursuant to 19 CFR 123.1, rail carriers are
required to make a report of arrival to CBP for any train arriving in the United States from a foreign
location, which must be made upon arrival of the train at a U.S. Port of Entry (POE). Individuals
arriving in the United States from a foreign location must also report their arrival to CBP once
they arrive in the United States.
Similar to bus manifest submissions, rail carriers currently receive unique carrier codes
that are used with eAPIS. Passenger and crew information is collected upon train ticket purchase
and sent by the rail carriers to CBP upon train departure for the United States. Carriers submit the
5
When the Office of Field Operations creates carrier codes they also create Sender Accounts for individuals who
use the carrier codes. Sender accounts are identified by a unique code referred to as the Sender ID, which is used to
identify the user who sent the manifest.
6
See GSA/PIA-Login.gov, (August 26, 2019), available at
https://www.gsa.gov/cdnstatic/Logingov_PIA_August2019.pdf.
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DHS/CBP/PIA-001(h) APIS LPAS
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information via eAPIS or by fax. The CBP LPAS mobile application will allow rail carriers and/or
their third-party submitters to enter their carrier code and sender ID into the LPAS mobile app and
login.gov. CBP provides both the carrier code and sender ID to carriers. The carrier code and
sender ID are used to authenticate the rail carrier employee into the LPAS mobile app. Without
the carrier code and sender ID, the rail carrier employee cannot access the LPAS mobile
application. All data collected in LPAS will be transmitted to APIS.
Reason for the PIA Update
CBP is updating the previously published DHS/CBP/PIA-001(d) Advanced Passenger
Information System-Voluntary Rail and Bus Submissions (APIS-VRBS) PIA, dated February
2009, to discuss a new method for rail and bus operators to voluntarily submit API to CBP. CBP
is piloting a mobile option for reporting carrier manifest information to CBP for the bus/rail
environment. Manifest submission for bus/rail continues to be voluntary. For this pilot, CBP will
leverage the existing CBP Reporting Offsite Arrival-Mobile (ROAM) application7 to include an
option for bus/rail carriers to report U.S. entry to CBP via their smart device or tablet.
CBP is currently developing a stand-alone LPAS mobile application.8 LPAS will collect
and process all pre-arrival bus and rail manifest information to the designated U.S. POE selected
by the bus and rail carrier prior to arrival. CBP Officers will access the manifest data submitted to
CBP and use it to make informed admissibility and enforcement decisions prior to passenger
arrival.
For this initial pilot phase, bus and rail carriers will access LPAS via the existing CBP
ROAM mobile application. In order to use CBP ROAM, carrier employees have to create a
login.gov account,9 which is used to log in to CBP ROAM and verify credentials. To create a
login.gov account, the carrier employee provides a valid email address as the user ID and a phone
number for security authentication. The carrier employee then creates a password for log-in.10
Once the carrier employee has obtained login.gov access, that employee will be able to
enter the CBP ROAM mobile application. CBP has added a “transportation” option listed on the
drop-down screen, to allow carrier employees to select their mode of travel (i.e., bus or rail). This
7
A PIA for the ROAM mobile application itself is forthcoming.
ROAM is only to be used as a temporary platform for bus and rail manifest data collection. The bus and rail carrier
functionality in ROAM will be decommissioned when the stand-alone mobile application, LPAS, is deemed
operational.
9
See GSA/PIA-Login.gov, (August 26, 2019), available at
https://www.gsa.gov/cdnstatic/Logingov_PIA_August2019.pdf
10
Carrier employees who do not have a login.gov account should create an account. Carrier employees who already
have a login.gov account should sign into their existing account, and then they will be directed back to the CBP
ROAM app.
8
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option is available to anyone who accesses the CBP ROAM application; however, CBP will accept
manifest submissions only from those carriers authenticated with a carrier code as part of their
user profile.
After log-in, bus and rail carrier employees select the bus or rail option to begin the
manifest submission process. Carrier employees are prompted to input their manifest information
(i.e., passengers biographic information, conveyance, and trip details), and then submit to CBP.
All information submitted into LPAS is sent directly to CBP APIS in the same manner as the
eAPIS web portal submission process. For the initial launch, only carriers at the northern border
will be able to use LPAS. CBP anticipates implementing LPAS for the southern border in the
future.
Notice
Carriers participating in the pilot are responsible for notifying each passenger about
information collected prior to arriving at a U.S. POE. Carriers must inform each passenger that the
information collected in the LPAS mobile application will be transferred to CBP. Since the
passengers do not have access to use the LPAS mobile application, providing passengers notice at
the time of collection provides transparency and provides passengers an opportunity to consent to
this data collection.
Upon passenger presentation at the departure location, the carrier will use a tablet or
smartphone device to scan the Machine Readable Zone (MRZ) of a passenger’s passport using the
camera functionality within LPAS. The LPAS functionality produces a scan of the passport MRZ
to populate the text fields within the LPAS submission screen but does not take a photograph of
the travel document and does not store any information on the device or in the application. Once
the carrier employee has scanned the MRZ of travel documents (or manually entered the
information, if necessary) into LPAS for each passenger, the carrier employee will submit the
manifest to CBP via the tablet or smartphone. As previously noted, no data is stored within the
application, nor is it stored locally on the device.
After submission, CBP uses the information on the manifests to vet passengers prior to
arrival and display results to CBP Officers.
Location-based information
In order to prevent fraudulent use of LPAS and provide operational awareness to CBP
Officers, CBP ROAM captures GPS location at the time of manifest submission to CBP. CBP
Officers use the location information to verify a carrier’s self-reported anticipated POE and ensure
CBP personnel are positioned appropriately to conduct inspections. In addition, the GPS location
is a requirement that allows the receiving POE to gather an estimate on the amount of time they
have to vet passengers before they arrive at the designated POE. This information is necessary to
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CBP as it provides the opportunity for the POE to allocate resources to process the bus or rail entry
into the United States.
Employees working for bus/rail carriers must enable location services on their mobile
device before entering information into LPAS. The application will not work without turning on
the device’s location-based services. LPAS uses a geofencing feature that is set at 250 miles north
of the United States/Canadian border. In order for the manifest data to be transmitted from the
user’s mobile device to CBP APIS, the user’s mobile device must be within the 250-mile radius.
LPAS only captures location information at the exact time of bus/rail operator’s submission. CBP
officers have access to view a GPS map on the dashboard. The map displays a blue dot only; LPAS
does not display the GPS coordinates or address of the carrier, employee, or bus/rail location in
the mobile application. The location of the bus/rail operator is not tracked beyond the time of
submission of the data.
Location information also assists CBP in identifying fraudulent use of the application. CBP
officers will use the map location to determine if submission locations are actually known bus
stops. CBP will be able to detect “spoofing” techniques that alter the location of the device. CBP
is able to determine if the point of origin is accurate. If not accurate, the CBP officer can contact
the carrier via phone to gather the correct data.
Privacy Impact Analysis
Authorities and Other Requirements
There are no changes to authorities as a result of this update.
Characterization of the Information
The information collected from passengers and crew members by rail and bus carriers for
transmission to CBP via LPAS remains the same as the current process under eAPIS and as
previously described and analyzed in full in the 2009 voluntary bus and rail APIS submissions
PIA.
In addition to the previously published data elements described in the 2009 PIA, the LPAS
mobile application (1) captures the GPS location of the carrier employee mobile device at the time
the passenger manifest is submitted from the device, and (2) relies on General Services
Administration (GSA) login.gov to authenticate carriers to the mobile application.
Location-based services are mandatory, and carriers must agree to permit the LPAS mobile
application access to their device’s location-based services/GPS prior to entering the mobile
application. CBP deletes location information from LPAS after the bus or train is cleared through
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the POE. GPS location information captured from the carrier at the time of manifest submission is
not sent to APIS.
Uses of the Information
There are no changes to uses of APIS as a result of this update.
Notice
The method of collecting voluntary APIS information from bus and rail carriers is
changing, however the risks to notice that exist with all API remain the same. CBP does not
provide explicit notice to bus and rail passengers at the time of collection. Carriers submit API via
LPAS in the same manner they submitted information using eAPIS. Individual passengers cannot
log in and use LPAS to submit their own information to CBP. Individuals may decline to provide
the requisite API prior to boarding the train or bus, however they may be subject to action by the
carrier and be in violation of carrier terms of service or contract of carriage.
Privacy Risk: There is a privacy risk to notice since the carriers will use a tablet or
smartphone device to scan the MRZ of a passenger’s passport or travel document; passengers may
be unaware that the collection is done on behalf of CBP.
Mitigation: This risk is partially mitigated. Typically, the carriers provide notice that an
appropriate travel document is required as part of international travel, and they will deny a
passenger the ability to board if a passenger does not possess a valid travel document. Passengers
are required to have all travel documentation prior to admission into the United States. However,
there a risk that passengers will be unaware that the carrier is submitting their travel document
information in advance to CBP. As all passengers are required to provide CBP a valid travel
document prior to admission into the United States, most (if not all) passengers on an international
bus or rail conveyance are aware that CBP will review their identification documents.
If a carrier does not choose to participate in the voluntary APIS submission process, bus
and rail passengers are still required to provide their information once they have arrived at a U.S.
POE.
Data Retention by the Project
There are no changes to data retention as a result of this update.
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DHS/CBP/PIA-001(h) APIS LPAS
Page 8
Information Sharing
There are no changes to information sharing as a result of this update.
Redress
There are no changes to redress as a result of this update.
Auditing and Accountability
There are no changes to auditing and accountability as a result of this update.
Responsible Official
John Maulella
Director, Traveler Entry Programs
Office of Field Operations
U.S. Customs and Border Protection
202-344-2605
Debra L. Danisek
CBP Privacy Officer
Office of the Commissioner
U.S. Customs and Border Protection
202-344-1610
Approval Signature
[Original signed and on file with the DHS Privacy Office]
________________________________
Jonathan R. Cantor
Acting Chief Privacy Officer
Department of Homeland Security
File Type | application/pdf |
File Title | DHS/CBP/PIA-001(h) Advance Passenger Information System (APIS): Land Pre-Arrival System (LPAS) for Bus and Rail |
Author | U.S. Department of Homeland Security Privacy Office |
File Modified | 2019-12-16 |
File Created | 2019-12-16 |