Characterizing the Security Implications of Third-Party Emergency Alert Systems over Cellular Text Messaging Services

Author(s):  
Patrick Traynor
Keyword(s):  
2017 ◽  
Vol 18 (4) ◽  
pp. 40-44
Author(s):  
Russell Sacks ◽  
Jennifer Morton ◽  
Jenny Jordan ◽  
Steven Blau ◽  
Sean Kelly

Purpose In April 2017, FINRA issued a regulatory notice addressing the use of social media and digital communications by broker-dealers. The notice expanded on previous FINRA guidance on these topics. This article provides clarity regarding how social media and digital communications fit within the requirements of various FINRA rules and provides guidance to firms and their registered representatives. Design/methodology/approach The principal topics addressed by FINRA’s regulatory notice are: (a) text messaging, (b) personal versus business communications, (c) third-party content and hyperlinks, (d) native advertising, (e) testimonials and endorsements and (f) links to BrokerCheck. This article presents an overview of each of these topics, respectively. Findings Under recordkeeping requirements, firms must ensure that they are able to retain communications made through text messaging and chat services. Business communications, which relate to the products or services of the firm, are subject to filing and content requirements, while personal communications are not. Under certain circumstances, third-party posts on social media sites established by the member and testimonials may be attributable to the firm. Native advertising, while permissible, must comply with content requirements. Firm-created electronic applications do not have to provide a link to BrokerCheck. Originality/value Firms and their registered representatives will gain a better understanding of what is permissible pursuant to FINRA and SEC rules as they communicate digitally and via social media.


2021 ◽  
Vol 14 (2) ◽  
pp. 183-200
Author(s):  
Vito Walter Anelli ◽  
Yashar Deldjoo ◽  
Tommaso Di Noia ◽  
Antonio Ferrara

In Machine Learning scenarios, privacy is a crucial concern when models have to be trained with private data coming from users of a service, such as a recommender system, a location-based mobile service, a mobile phone text messaging service providing next word prediction, or a face image classification system. The main issue is that, often, data are collected, transferred, and processed by third parties. These transactions violate new regulations, such as GDPR. Furthermore, users usually are not willing to share private data such as their visited locations, the text messages they wrote, or the photo they took with a third party. On the other hand, users appreciate services that work based on their behaviors and preferences. In order to address these issues, Federated Learning (FL) has been recently proposed as a means to build ML models based on private datasets distributed over a large number of clients, while preventing data leakage. A federation of users is asked to train a same global model on their private data, while a central coordinating server receives locally computed updates by clients and aggregate them to obtain a better global model, without the need to use clients’ actual data. In this work, we extend the FL approach by pushing forward the state-of-the-art approaches in the aggregation step of FL, which we deem crucial for building a high-quality global model. Specifically, we propose an approach that takes into account a suite of client-specific criteria that constitute the basis for assigning a score to each client based on a priority of criteria defined by the service provider. Extensive experiments on two publicly available datasets indicate the merits of the proposed approach compared to standard FL baseline.


2017 ◽  
Vol 18 (3) ◽  
pp. 48-51 ◽  
Author(s):  
Matthew T. Wirig ◽  
Kate S. Poorbaugh

Purpose To summarize recent FINRA guidance on social media and digital communications published in Regulatory Notice 17-18. Design/methodology/approach The intention was to provide a brief summary of the recent FINRA guidance on social media and digital communications published in Regulatory Notice 17-18 along with previous guidance in Regulatory Notices 10-06 and 11-39. Findings The new guidance focuses on a number of areas of digital communications including text messaging, personal communications, hyperlinks and sharing, native advertising, testimonials and endorsements, correction of third-party content and BrokerCheck links. Practical implications Firms should review this new guidance alongside existing FINRA guidance and their current social media and digital communications practices. Where firms observe deficiencies in their existing practices, adjustments should be made before they find themselves the subject of a FINRA investigation, examination or enforcement action. Originality/value Practical explanation by experienced financial services lawyers.


Author(s):  
J. Sasi Bhanu ◽  
J. K. R. Sastry ◽  
T. Chandrasekhara Reddy

Users use Android-based applications for communicating through emailing, text messaging, and transmission of audio and video objects. The attackers manipulate the email, text, videos, or audio so that users' receipt of the messages causes malware through their handheld devices. A runtime routine is invoked, which causes damage to the local resources of the mobile phone. The manipulation of the messages is done using different signatures, making it difficult to recognize the same using a single approach. Multiple approaches are sometimes required to detect different signature-based incoming messages. Choosing a method that suits the signature of the incoming message is the key. Malware can also enter at the time of installing third-party apps, clicking on the links provided in the messages, installing and invoking the malware in the background. Many issues are involved in dealing with malware detecting, prevention, and curing. A comprehensive architecture is required to deal with every aspect of dealing malware. In this paper, a comprehensive architecture is presented that considers malware's issue, especially concerning malware affected through short message service (SMS) messages operated under the Android operating system. The disection of the SMS messages have been implemented and 99% accuracy has been achieved.


2021 ◽  
Vol 8 (1) ◽  
pp. 98-110
Author(s):  
Casey L Li ◽  
Anthony KC Chan ◽  
Davide Matino ◽  
Mihir D Bhatt ◽  
Kay Decker ◽  
...  

Abstract Introduction Patients with haemophilia require regular assessments and physical examinations. The COVID-19 pandemic has resulted in the rapid adoption of telemedicine to enable virtual consultations and reduce hospital visits. However, the process of virtual consultations is new to many haemophilia clinics. A better understanding of best practices in telemedicine is important to ensure optimal quality of care for patients with haemophilia. Objectives To summarise the current literature on the use of direct-to-consumer telemedicine for patients with haemophilia and to describe the effectiveness and potential limitations of the technology and methods used. Methods A comprehensive search was conducted in MEDLINE and EMBASE databases using terms referring to the concepts “haemophilia” AND “telemedicine” and their synonyms. There were no time or language restrictions. Title, abstracts, and full texts were screened. Included articles involved telemedicine interventions to facilitate clinical services directly between patients and providers without the use of third-party personnel. The primary outcome was the satisfaction of providers and patients. Secondary outcomes included economic considerations and clinical outcomes. Information was extracted based on study-specific, patient-specific, intervention-specific, and outcome-specific data. Results Of the 925 articles screened, six were identified and summarised. Three described telemedicine within the context of COVID-19. Technologies used included telephone calls, videoconferencing, text messaging, and email. All studies involved a multidisciplinary team. Telemedicine in haemophilia care was found to positively impact the patient experience. Providers were satisfied with telemedicine. It was also suggested to be economically beneficial and positively impacted patient outcomes. However, none of the articles reported on how telemedicine was specifically used to perform assessments during the virtual consultation process. Conclusions There is preliminary evidence that telemedicine may be beneficial in haemophilia care. Overall, patients and providers reported high satisfaction with the usage of direct-to-consumer telemedicine. This positive reception warrants improvements in standardisation of reporting and quality of study design to better assess its clinical and economic impact. Developing a standard guideline for virtual consultations would support healthcare practitioners in how to best incorporate telemedicine to improve quality of care.


2020 ◽  
Vol 43 ◽  
Author(s):  
Michael Tomasello

Abstract My response to the commentaries focuses on four issues: (1) the diversity both within and between cultures of the many different faces of obligation; (2) the possible evolutionary roots of the sense of obligation, including possible sources that I did not consider; (3) the possible ontogenetic roots of the sense of obligation, including especially children's understanding of groups from a third-party perspective (rather than through participation, as in my account); and (4) the relation between philosophical accounts of normative phenomena in general – which are pitched as not totally empirical – and empirical accounts such as my own. I have tried to distinguish comments that argue for extensions of the theory from those that represent genuine disagreement.


Author(s):  
Carl E. Henderson

Over the past few years it has become apparent in our multi-user facility that the computer system and software supplied in 1985 with our CAMECA CAMEBAX-MICRO electron microprobe analyzer has the greatest potential for improvement and updating of any component of the instrument. While the standard CAMECA software running on a DEC PDP-11/23+ computer under the RSX-11M operating system can perform almost any task required of the instrument, the commands are not always intuitive and can be difficult to remember for the casual user (of which our laboratory has many). Given the widespread and growing use of other microcomputers (such as PC’s and Macintoshes) by users of the microprobe, the PDP has become the “oddball” and has also fallen behind the state-of-the-art in terms of processing speed and disk storage capabilities. Upgrade paths within products available from DEC are considered to be too expensive for the benefits received. After using a Macintosh for other tasks in the laboratory, such as instrument use and billing records, word processing, and graphics display, its unique and “friendly” user interface suggested an easier-to-use system for computer control of the electron microprobe automation. Specifically a Macintosh IIx was chosen for its capacity for third-party add-on cards used in instrument control.


2008 ◽  
Vol 18 (1) ◽  
pp. 9-20 ◽  
Author(s):  
Mark Kander ◽  
Steve White

Abstract This article explains the development and use of ICD-9-CM diagnosis codes, CPT procedure codes, and HCPCS supply/device codes. Examples of appropriate coding combinations, and Coding rules adopted by most third party payers are given. Additionally, references for complete code lists on the Web and a list of voice-related CPT code edits are included. The reader is given adequate information to report an evaluation or treatment session with accurate diagnosis, procedure, and supply/device codes. Speech-language pathologists can accurately code services when given adequate resources and rules and are encouraged to insert relevant codes in the medical record rather than depend on billing personnel to accurately provide this information. Consultation is available from the Division 3 Reimbursement Committee members and from [email protected] .


Sign in / Sign up

Export Citation Format

Share Document