FaceTime Communications and MiFID Regulations
Let's start with the recent guidance issued by the UK Financial Services
Authority (FSA) on instant messaging use in relation to the Markets in
Financial Instruments Directive (MiFID), which came into effect on the 1st
November 2007.
In its Policy Statement: Telephone Recording: recording of voice conversations
and electronic communications, the FSA quite clear implicates instant
messaging, but also leaves it open to include any subsequent forms of
electronic communications:
The term electronic communication has a wide application. It includes
fax, email, Bloomberg mail, video conferencing, SMS, business to business
devices, chat and instant messaging. But is not limited to these as it captures
any electronic communications involving receiving client orders and the
agreeing and arranging transactions.
The report also specifies that:
More specifically it was proposed that firms - including banks,
stockbrokers, investment management firms (in general) and insurance companies
- be required to record telephone lines that are used for the receipt of client
orders, the negotiation, agreement and arrangement of transactions across
financial markets. Firms would also be required to retain electronic
communications related to these same activities (including fax, e-mail, chat
and instant messaging).
And highlights some of the issues surrounding Instant Messaging usage:
There are IM solutions that are free and available on the internet.
However, as reported in the Actica report: "many of the free variants have no
capability to record communications and those that do, commonly provide no way
for system administrators to mandate recording/archiving of conversations.
Although business processes can be used with these free and internet based
solutions to record and archive communications, the assurances for these
solutions are low."
Conclusions
After reviewing the guidance thoroughly FaceTime has determined that there are
two legitimate responses to the guidance:
1. Allow secured and managed IM to be used in the organization with appropriate
usage policies and technological safeguards.
Or alternatively but less plausibly:
2. Block all public IM and File Sharing Networks.
In both cases, FaceTime's solutions have a unique value proposition. In fact,
our "defence-in-depth" approach is the only way to satisfy the two possible
responses to the guidance.
Unified Security Gateway, is a secure Web gateway appliance that enables
enterprises to benefit from collaboration and productivity benefits of
real-time communications without sacrificing security and control.
IMAuditor with the additional ability to layer auditing, monitoring, IM
specific anti-virus and a rich set of compliance workflow capabilities into an
IM environment.
Together these products comprise a working set that is a perfect fit for FSA
member firms that are looking for an immediate and proven solution.
If you have any additional questions regarding how FaceTime solutions can
ensure true compliance for your workplace IM, please complete your details and
we'll get right back to you.
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