Bulletin: SLS00253

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Bulletin: SLS00253

Bulletin Document
V 1
Date: July 12, 2005
To: All Issuing Offices
RE: Privacy of Personal Information of Consumers and Customers; Disposal and Updated Privacy Notice

Dear Associates:

Privacy Requirements

The Gramm-Leach-Bliley Financial Services Modernization Act (G-L-B) protects the privacy of nonpublic personal financial information relating to consumers and customers (Customer Information). This law, and regulations, impose requirements upon title insurance companies and title insurance agents to protect the confidentiality of the nonpublic personal financial information, and to retain adequate safeguards.

You may see these requirements by reviewing:

  • Bulletin NL000103. This Bulletin discusses G-L-B and your obligations.

  • Bulletin SLS00160. This Bulletin discusses Safeguards Rules and other privacy issues.

    Information securing programs include safeguards used to dispose of nonpublic personal financial information.

Disposal Rule

Recently, the Federal Trade Commission (FTC) adopted Disposal Rules (at 16 CFR §§682.1, et seq.) for proper disposal of consumer information by businesses. Consumer information means a consumer report or any document that "is derived from a consumer report." This may include information in a lender package.

A business with consumer information must use proper procedures when disposing of the consumer information. The procedures must include reasonable measures to protect against unauthorized access to or use of the information. Examples of reasonable measures may include:

  • Implement and monitor compliance with procedures that require burning, pulverizing, or shredding of paper containing consumer information so that it cannot practicable be read or reconstructed.

  • Implement and monitor compliance with procedures that require destruction or erasure of electronic media containing consumer information so that it cannot practicably be read or reconstructed.

  • Enter and monitor compliance with a contract with another company engaged in record destruction consistent with this rule. Due diligent investigation of the company could include review of an independent audit of the company's operation, several references or reliable sources, certification by a recognized trade association, review of security policies or procedures, or other measures to determine competency and integrity.

Persons subject to G-L-B and the Safeguards Rule of FTC must incorporate proper disposal of consumer information into their information security programs. The above procedures are part of the SISCO security program, where applicable. You may wish to consider incorporation of similar procedures in your security program.

Modified Disclosure Forms

Attached in Exhibit 1 are modified Privacy Notices. These notices are not intended to replace state specific privacy notices in states such as California and Oregon . The revised Stewart Privacy Notice should be used elsewhere.

THIS BULLETIN IS FURNISHED TO INFORM YOU OF CURRENT DEVELOPMENTS. AS A REMINDER, YOU ARE CHARGED WITH KNOWLEDGE OF THE CONTENT ON VIRTUAL UNDERWRITER  AS IT EXISTS FROM TIME TO TIME AS IT APPLIES TO YOU, AS WELL AS ANY OTHER INSTRUCTIONS. OUR UNDERWRITING AGREEMENTS DO NOT AUTHORIZE OUR ISSUING AGENTS TO ENGAGE IN SETTLEMENTS OR CLOSINGS ON BEHALF OF STEWART TITLE GUARANTY COMPANY. THIS BULLETIN IS NOT INTENDED TO DIRECT YOUR ESCROW OR SETTLEMENT PRACTICES OR TO CHANGE PROVISIONS OF APPLICABLE UNDERWRITING AGREEMENTS. CONFIDENTIAL, PROPRIETARY, OR NONPUBLIC PERSONAL INFORMATION SHOULD NEVER BE SHARED OR DISSEMINATED EXCEPT AS ALLOWED BY LAW. IF APPLICABLE STATE LAW OR REGULATION IMPOSES ADDITIONAL REQUIREMENTS, YOU SHOULD CONTINUE TO COMPLY WITH THOSE REQUIREMENTS.

 EXHIBIT 1

Revised Privacy Notice

SAMPLE PRIVACY FORM

(Modified June __, 2005)

[Insert name of title insurer and all affiliates of title insurer and/or name of agent]

Privacy Policy Notice

PURPOSE OF THIS NOTICE

Title V of the Gramm-Leach-Bliley Act (GLBA) generally prohibits any financial institution, directly or through its affiliates, from sharing nonpublic personal information about you with a nonaffiliated third party unless the institution provides you with a notice of its privacy policies and practices, such as the type of information that it collects about you and the categories of persons or entities to whom it may be disclosed. In compliance with the GLBA, we are providing you with this document, which notifies you of the privacy policies and practices of [insert name of institution and its affiliates mentioned in this notice]

We may collect nonpublic personal information about you from the following sources:

Information we receive from you such as on applications or other forms.
Information about your transactions we secure from our files, or from [our affiliates or] others.
Information we receive from a consumer reporting agency.
Information that we receive from others involved in your transaction, such as the real estate agent or lender.

Unless it is specifically stated otherwise in an amended Privacy Policy Notice, no additional nonpublic personal information will be collected about you.

We may disclose any of the above information that we collect about our customers or former customers to our affiliates or to nonaffiliated third parties as permitted by law.

We also may disclose this information about our customers or former customers tononaffiliated companies that perform services on our behalf.

WE DO NOT DISCLOSE ANY NONPUBLIC PERSONAL INFORMATION ABOUT YOU WITH ANYONE FOR ANY PURPOSE THAT IS NOT SPECIFICALLY PERMITTED BY LAW.

We restrict access to nonpublic personal information about you to those employees who need to know that information in order to provide products or services to you. We maintain physical, electronic, and procedural safeguards that comply with federal regulations to guard your nonpublic personal information. 


Stewart Title Guaranty Company, Stewart Title Insurance Company, Stewart Title Insurance Company of Oregon, National Land Title Insurance Company, Arkansas Title Insurance Company, Charter Land Title Insurance Company

Privacy Policy Notice

PURPOSE OF THIS NOTICE

Title V of the Gramm-Leach-Bliley Act (GLBA) generally prohibits any financial institution, directly or through its affiliates, from sharing nonpublic personal information about you with a nonaffiliated third party unless the institution provides you with a notice of its privacy policies and practices, such as the type of information that it collects about you and the categories of persons or entities to whom it may be disclosed. In compliance with the GLBA, we are providing you with this document, which notifies you of the privacy policies and practices of Stewart Title Guaranty Company, Stewart Title Insurance Company, Stewart Title Insurance Company of Oregon, National Land Title Insurance Company, Arkansas Title Insurance Company, and Charter Land Title Insurance Company

We may collect nonpublic personal information about you from the following sources:

Information we receive from you such as on applications or other forms.
Information about your transactions we secure from our files, or from [our affiliates or] others.
Information we receive from a consumer reporting agency.
Information that we receive from others involved in your transaction, such as the real estate agent or lender.

Unless it is specifically stated otherwise in an amended Privacy Policy Notice, no additional nonpublic personal information will be collected about you.

We may disclose any of the above information that we collect about our customers or former customers to our affiliates or to nonaffiliated third parties as permitted by law.

We also may disclose this information about our customers or former customers to nonaffiliated companies that perform services on our behalf.

WE DO NOT DISCLOSE ANY NONPUBLIC PERSONAL INFORMATION ABOUT YOU WITH ANYONE FOR ANY PURPOSE THAT IS NOT SPECIFICALLY PERMITTED BY LAW.

We maintain physical, electronic, and procedural safeguards that comply with federal regulations to guard your nonpublic personal information.  Some states give you the right to access and correct nonpublic personal information.  You may contact us in writing at our Home Office, if your state law gives you this right.


References