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Social Networking Sites-Security
30 – 05 - 2013
Background
 SNSs-Facebook, Orkut, Twitter, Friendster, MySpace, Hi5, etc.
 Virtual community- People standoffish- New privacy settings -
 Criminals exploit –Inactiveness of the account - Poor security for
information in social networking forum- Personal lives of people are
publicly discussed- Greater damage.
Privacy
 Right to control one’s personal information,
 Ability to determine how that information should be obtained and
used.
 Right to Privacy is an implied right under Fundamental Rights.
 The Supreme Court of India Spelt out from the provision of Article 21
which deals with the right to life and liberty.
 Its application vis-à-vis internet content has not yet been directly
clarified by a judicial ruling.
ITAA-2008-Protecting Privacy.
 Sections 43 A/ 72A for privacy issues.
 Section 43A- Sensitive Information/Reasonable Security Practice by the
data handlers-Compensation from the body corporate that has been
negligent.
 Section 72A -A person including an intermediary could be held liable if
he discloses “sensitive information” which he accessed while providing
services under a contract.
Continued.,
ITAA-2008-Encroaching privacy.
 Sections 69/ 69B encroach upon the right to privacy.
 Section 69 of the amended Act empowers the state to issue directions for
interception, monitoring, decryption of any information through any
computer resource.
 Section 69B empowers the Government the authority to monitor, collect
traffic data or information through any computer resource for cyber
security
Privacy and security
 The security and privacy issues are entirely two different beasts.
 A security issue occurs when a hacker gains unauthorized access to a
site’s protected coding or written language.
 Privacy issues are those involving the unwarranted access to the private
information which doesn’t necessarily have to involve security breaches.
 But both types of breaches are often intertwined on social
networks, especially since anyone who breaches a site’s security network
opens the door for easy access to private information belonging to any
user.
Youth culture.
 They may not always know what is appropriate, factual, or legal for them to view
or use.
 A youth who has grown up with computers, other IT devices and the Internet
may be developing different standards for behaving “online” as opposed to when
they are “offline”, because they are interacting more via cyberspace, where social
sanctions are not clearly defined or consistently sanctioned as they are in the
real world.
 Concerns about youth creating fake profiles in order to carry out harmful
activities online or, conversely, to protect their real identities are also increasing
along with social networking popularity lying about one’s age.
Data Protection by Corporations
 Social networking fraud. These sites create exponential networks and
allow tapping into other people’s network and their friends’ networks. -
 The most common method for obtaining personal information is social
engineering. Once personal information is provided to an
unscrupulous company or person, it is difficult to regain control of the
information.
 Justification for restricting employee Internet access to social
networking sites in an organization- for the following reasons :virus or
spyware prevention-employee productivity drain-bandwidth concerns-
liability issues
Security Measures.
 Users can also block specific Facebook users . Facebook also limits the
ability of search-site Web crawlers to harvest user information.
 A new option has also been introduced by Facebook where a user who
logs in from a different computer is asked for authorization.
 This login is notified to the registered email of the Facebook user. So if
the account is hacked or an unknown user logs in, the information of
such an access is instantaneously sent on the registered email.
ITAA-2008-0FFENCES.
 Jurisdiction under IT Act, 2008 extends to persons outside India and
persons who are not citizens of India provided at least one computer
situated in India has been used in the commission of the offence. That
is the reason why they have adopted two distinct provisions relating to
jurisdiction, in Section 1(2) and Section 75.
 Section 66: This Section is attracted when the imposter fraudulently
and dishonestly with ulterior motive uses the fake profiles to spread
spam or viruses or commit data theft
Continued.,
 Section 66A: When the imposter posts offensive or menacing
information on the fake profile concerning the person in whose name
the profile is created. Further, the fake profile also misleads the
recipient about the origin of the Message posted..
 Section 66C: When the imposter uses the unique identification
feature of the real person like his/her photograph and other personal
details to create a fake profile, the offence under Section 66C
Information Technology Act is attracted
 Section 66D: When the imposter personates the real person by means
of a fake profile and cheats then the provision of Section 66D is
attracted .
Continued.,
 Section 79 An intermediary shall not be liable for any third party
information data or communication link made available or hosted by
him if; (a) the function of the intermediary is limited to providing
access to a communication system over which information made
available by third parties is transmitted or temporarily stored or hosted;
(b) the intermediary does not initiate the transmission or select the
receiver of the transmission and select or modify the information
contained in the transmission; (c) the intermediary observes due
diligence while discharging his duties.
Continued.,
 Section 85 Every person who, at the time of the contravention, was in
charge of and was responsible for the conduct of the business of the
company would be guilty of the contravention.
 Not liable if he proves that the contravention took place without his
knowledge/ he exercised all due diligence to prevent the contravention
 . “Body corporate” has been defined as any company and includes a
firm, sole proprietorship or other association of individuals engaged in
commercial or professional activities. Thus, government agencies and
nonprofit organizations are entirely excluded from the ambit of this
section.
Conclusion and Suggestions
 Adequate amount of caution/ common sense.
 Anti-Phishing Working Group (APWG).
 Anti-spam reputation systems.
 Awareness-raising/educational campaigns by users/Sites.
 Cross reference verification by social networking websites.
 Cyber Crime Insurance Programme.
 Discover trends to prevent future harm.
 Effective enforcement of laws
 Encouragement for “Security Culture” in the community.
Continued.,
 External auditors for updating knowledge/ procedures.
 ICP should be made liable and not the ISP.
 Information Security Auditors in the organization.
 Introduce IPv6 for IPv4 for better monitoring and security.
 Pop-up confirmation.
 Read and understand documents.
 Regularly check your privacy settings on social networking sites.
 Research should be carried out
 Self-regulation.
 Skill improvement of IOs/prosecuting and judicial officers.
 Taught Children about the harms and ways to counter it.
Thank You
 " SEC RITY IS NOT COMPLETE WITHOUT 'U' "
S.Balu , Addl.SP. (Retd)/
Adviser-Admin & PR,
HAND IN HAND INDIA.
Cell : +91 9841013541
E-mail : baluacp@gmail.com

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Htc itmr 30-05-13

  • 2. Background  SNSs-Facebook, Orkut, Twitter, Friendster, MySpace, Hi5, etc.  Virtual community- People standoffish- New privacy settings -  Criminals exploit –Inactiveness of the account - Poor security for information in social networking forum- Personal lives of people are publicly discussed- Greater damage.
  • 3. Privacy  Right to control one’s personal information,  Ability to determine how that information should be obtained and used.  Right to Privacy is an implied right under Fundamental Rights.  The Supreme Court of India Spelt out from the provision of Article 21 which deals with the right to life and liberty.  Its application vis-à-vis internet content has not yet been directly clarified by a judicial ruling.
  • 4. ITAA-2008-Protecting Privacy.  Sections 43 A/ 72A for privacy issues.  Section 43A- Sensitive Information/Reasonable Security Practice by the data handlers-Compensation from the body corporate that has been negligent.  Section 72A -A person including an intermediary could be held liable if he discloses “sensitive information” which he accessed while providing services under a contract. Continued.,
  • 5. ITAA-2008-Encroaching privacy.  Sections 69/ 69B encroach upon the right to privacy.  Section 69 of the amended Act empowers the state to issue directions for interception, monitoring, decryption of any information through any computer resource.  Section 69B empowers the Government the authority to monitor, collect traffic data or information through any computer resource for cyber security
  • 6. Privacy and security  The security and privacy issues are entirely two different beasts.  A security issue occurs when a hacker gains unauthorized access to a site’s protected coding or written language.  Privacy issues are those involving the unwarranted access to the private information which doesn’t necessarily have to involve security breaches.  But both types of breaches are often intertwined on social networks, especially since anyone who breaches a site’s security network opens the door for easy access to private information belonging to any user.
  • 7. Youth culture.  They may not always know what is appropriate, factual, or legal for them to view or use.  A youth who has grown up with computers, other IT devices and the Internet may be developing different standards for behaving “online” as opposed to when they are “offline”, because they are interacting more via cyberspace, where social sanctions are not clearly defined or consistently sanctioned as they are in the real world.  Concerns about youth creating fake profiles in order to carry out harmful activities online or, conversely, to protect their real identities are also increasing along with social networking popularity lying about one’s age.
  • 8. Data Protection by Corporations  Social networking fraud. These sites create exponential networks and allow tapping into other people’s network and their friends’ networks. -  The most common method for obtaining personal information is social engineering. Once personal information is provided to an unscrupulous company or person, it is difficult to regain control of the information.  Justification for restricting employee Internet access to social networking sites in an organization- for the following reasons :virus or spyware prevention-employee productivity drain-bandwidth concerns- liability issues
  • 9. Security Measures.  Users can also block specific Facebook users . Facebook also limits the ability of search-site Web crawlers to harvest user information.  A new option has also been introduced by Facebook where a user who logs in from a different computer is asked for authorization.  This login is notified to the registered email of the Facebook user. So if the account is hacked or an unknown user logs in, the information of such an access is instantaneously sent on the registered email.
  • 10. ITAA-2008-0FFENCES.  Jurisdiction under IT Act, 2008 extends to persons outside India and persons who are not citizens of India provided at least one computer situated in India has been used in the commission of the offence. That is the reason why they have adopted two distinct provisions relating to jurisdiction, in Section 1(2) and Section 75.  Section 66: This Section is attracted when the imposter fraudulently and dishonestly with ulterior motive uses the fake profiles to spread spam or viruses or commit data theft Continued.,
  • 11.  Section 66A: When the imposter posts offensive or menacing information on the fake profile concerning the person in whose name the profile is created. Further, the fake profile also misleads the recipient about the origin of the Message posted..  Section 66C: When the imposter uses the unique identification feature of the real person like his/her photograph and other personal details to create a fake profile, the offence under Section 66C Information Technology Act is attracted  Section 66D: When the imposter personates the real person by means of a fake profile and cheats then the provision of Section 66D is attracted . Continued.,
  • 12.  Section 79 An intermediary shall not be liable for any third party information data or communication link made available or hosted by him if; (a) the function of the intermediary is limited to providing access to a communication system over which information made available by third parties is transmitted or temporarily stored or hosted; (b) the intermediary does not initiate the transmission or select the receiver of the transmission and select or modify the information contained in the transmission; (c) the intermediary observes due diligence while discharging his duties. Continued.,
  • 13.  Section 85 Every person who, at the time of the contravention, was in charge of and was responsible for the conduct of the business of the company would be guilty of the contravention.  Not liable if he proves that the contravention took place without his knowledge/ he exercised all due diligence to prevent the contravention  . “Body corporate” has been defined as any company and includes a firm, sole proprietorship or other association of individuals engaged in commercial or professional activities. Thus, government agencies and nonprofit organizations are entirely excluded from the ambit of this section.
  • 14. Conclusion and Suggestions  Adequate amount of caution/ common sense.  Anti-Phishing Working Group (APWG).  Anti-spam reputation systems.  Awareness-raising/educational campaigns by users/Sites.  Cross reference verification by social networking websites.  Cyber Crime Insurance Programme.  Discover trends to prevent future harm.  Effective enforcement of laws  Encouragement for “Security Culture” in the community. Continued.,
  • 15.  External auditors for updating knowledge/ procedures.  ICP should be made liable and not the ISP.  Information Security Auditors in the organization.  Introduce IPv6 for IPv4 for better monitoring and security.  Pop-up confirmation.  Read and understand documents.  Regularly check your privacy settings on social networking sites.  Research should be carried out  Self-regulation.  Skill improvement of IOs/prosecuting and judicial officers.  Taught Children about the harms and ways to counter it.
  • 16. Thank You  " SEC RITY IS NOT COMPLETE WITHOUT 'U' " S.Balu , Addl.SP. (Retd)/ Adviser-Admin & PR, HAND IN HAND INDIA. Cell : +91 9841013541 E-mail : baluacp@gmail.com