Title: 7 Steps to Building a Retention Management Program
1 - 7 Steps to Building a Retention Management
Program - R. Scott Murchison, CRM
- Director, Records Information Management
Services - MatchPoint Solutions
2Learning Objectives
- The New Compliance Landscape
- What is Retention Management?
- Building a Retention Management Plan
3The NewComplianceLandscape
4The New Compliance Landscape
- Increased Regulation
- Sarbanes-Oxley (SOX)
- HIPAA
- Gramm-Leach-Bliley
- USA Patriot
- SEC, NASD
- PCI DSS
- E-Sign
- CA SB 1386
5The New Compliance Landscape
- Increased Regulation
- Document internal controls
- Shield private or personal information
- Shield personal financial information
- Retain electronic information for specific time
periods
6The New Compliance Landscape
- Litigation Readiness and Response
- Revised Federal Rules of Civil Procedure (FRCP)
e-discovery requirements - California Electronic Discovery Act (AB 5)
7The New Compliance Landscape
- Litigation Readiness and Response
- Include all electronically stored information
(ESI) - Lock down content from alteration
- Document full chain-of-custody of ESI
8What is Retention Management?
9Retention Management is
- Keeping business information only for as long as
is needed to - meet government or industry regulations
- defend a position in litigation or tax audits
- meet ongoing business activities
10Retention The New Way
- Amendments to
- Federal Rules of Civil Procedure (FRCP)
- Went into Effect December 1, 2006
- Proceedings in U.S. federal courts
- Specifically addresses discovery of
electronically stored information (ESI) - That means electronic records and backup tapes
11Retention More Than Paper
- Backup tapes and archival media (more on this
subject later) - Data on desktops and laptops (Word, Excel, etc.)
- Data on PDAs (Blackberry, PalmPilot, etc.)
- Data stored on file and mail servers (email, IMs,
etc.) - Databases
- Marketing collateral
- Voicemails
- Website / web pages
12Retention More Than Paper
- Map Out ESI
- Deleted data
- Data on systems no longer in use
- Data in remote or third-party locations
- Copies of production data used in demos, test
systems, etc. - Retention Policies That Include ESI
- Email
- Electronic records
- Litigation Hold Procedures That Include ESI
- Simplify identification, retrieval and production
of potentially relevant data - Proactively prepare for electronic discovery
requests (Litigation Readiness Team)
AIIM Compliance Solution Center Primer on FRCP,
2007
13Applying Retention
- Retention Rules That Apply (partial list)
- 1 yr Period from personnel action for personnel
records - (Age Discrimination in Employment Act)
- 2 yrs Period for generation (government contract
- employment period)
- 3 yrs Period from contract payment (government
- contract records retention rule)
- 6 yrs Government contract statute of limitations
14Applying Retention
- All retention rules for a particular record type
must be considered - Retention should be applied evenly, routinely and
repeatably across all business units - All records of the company should be included,
regardless of media - Retention requirements can change based upon
events, e.g., subpoenas
15Making Retention ManagementCompliant
16Step 1. Know What You HaveStep 2. Create
Comprehensive PolicyStep 3. Create a Usable
Retention ScheduleStep 4. Establish
ProceduresStep 5. Train UsersStep 6. Audit
ComplianceStep 7. Litigation/Audit Readiness
The 7 Steps to Records Retention
17Know What You Have
- Take and inventory of all your records
- Paper / physical (both on- and off-site)
- Data in databases
- Email archives (.pst/.nsf/IT archives)
- Network shares
- Backup media
- Determine who the owners of all records are
18Step 1. Know What You HaveStep 2. Create
Comprehensive PolicyStep 3. Create a Usable
Retention ScheduleStep 4. Establish
ProceduresStep 5. Train UsersStep 6. Audit
ComplianceStep 7. Litigation/Audit Readiness
The 7 Steps to Records Retention
19Create a Comprehensive Policy
- Comprehensive records management policy
- Definition of Record and Non-record or
Transient Information - Thou shalt dispose of records and information
only in accordance with policy following the
approved records retention schedule - Include responsibilities and consequences of
failure to follow - Policy must be applied evenly, routinely and
repeatably - Policy must be applied to all information,
regardless of format
20What is a Record?
- Information regardless of medium created,
received and maintained as evidence and
information by an organization or person, in
pursuance of legal obligations or in the
transaction of business. - ISO International Standard 15489-1
- Information and Documentation Records
Management - Its the ContentNot the Container
21What is a Record?
Because Its the Content and Not the
Container
- Records
- Original, signed contracts
- HR records inside a PeopleSoft database
- Emails discussing personnel evaluations
- Marketing websites, brochures, and posters
- Images of invoices inside an SAP database
- Non-Records
- Drafts of unsigned contracts inside a document
management database - Templates used to build form documents
- Emails discussing lunch plans
- Informational posters (e.g. Benefits Sign-up
Today) - An SAP or PeopleSoft database
22Step 1. Know What You HaveStep 2. Create
Comprehensive PolicyStep 3. Create a Usable
Retention ScheduleStep 4. Establish
ProceduresStep 5. Train UsersStep 6. Audit
ComplianceStep 7. Litigation/Audit Readiness
The 7 Steps to Records Retention
23Create a Usable Retention Schedule
- KISS method
- Keep It Short and Sweet
- Simplify terms - use language that Helen Keller
could see - Eliminate redundancies
- Help IT understand how to apply event-based
retention to electronic data - Do the legal validation
- Create an Oversight Committee to approve the
final draft and all future changes
24Step 1. Know What You HaveStep 2. Create
Comprehensive PolicyStep 3. Create a Usable
Retention ScheduleStep 4. Establish
ProceduresStep 5. Train UsersStep 6. Audit
ComplianceStep 7. Litigation/Audit Readiness
The 7 Steps to Records Retention
25Establish Procedures
- Applying the schedule
- Annually at a minimum
- Make it an Event
- Updating / adding / retiring
- Again, at least annually
- Oversight Committee approval
- Disposition procedures
- Consider shredding bins instead of recycling
- Approval by records coordinators, liaisons
- Exiting employee information
26Establish Procedures
27Step 1. Know What You HaveStep 2. Create
Comprehensive PolicyStep 3. Create a Usable
Retention ScheduleStep 4. Establish
ProceduresStep 5. Train UsersStep 6. Audit
ComplianceStep 7. Litigation/Audit Readiness
The 7 Steps to Records Retention
28Train Users
- Applying the schedule
- Annually at a minimum
- Daily for non-records/transient information
- Add to new hire orientations
- How to read schedule
- What policy is
- How to find policy and schedule
- Who to ask with questions
- Exiting employees
- How to disburse
- How to dispose
29Step 1. Know What You HaveStep 2. Create
Comprehensive PolicyStep 3. Create a Usable
Retention ScheduleStep 4. Establish
ProceduresStep 5. Train UsersStep 6. Audit
ComplianceStep 7. Litigation/Audit Readiness
The 7 Steps to Records Retention
30Audit Compliance
- Compliance Monitoring
- Document full electronic audit trail
(chain-of-custody) - Keep vendor compliance statements (test them as
well) - Periodic department and user testing
- Compliance and remediation reporting
- Ongoing user training
- Follow up, Follow up, Follow up
31Step 1. Know What You HaveStep 2. Create
Comprehensive PolicyStep 3. Create a Usable
Retention ScheduleStep 4. Establish
ProceduresStep 5. Train UsersStep 6. Audit
ComplianceStep 7. Litigation/Audit Readiness
The 7 Steps to Records Retention
32Litigation/Audit Readiness
- Hold Procedures
- Plan a strategy before litigation happens
- Identify all ESI and map to retention schedule
- Identify all records custodians
- Include IT, Legal, Records, HR, Tax, and Business
Unit representative - Fully document all holds and review proactively
and periodically to ensure holds are still active
33Litigation/Audit Readiness
- New IT Backup Strategy
- Backup redefined for only disaster recovery
- Short retention period (30/60 days)
- Retain only archived information
- Retain application data consistent with
retention schedule - Include a data migration, or
up-convert, strategy to
keep
data current
34Compliant Retention Program
35Step 1. Know What You HaveStep 2. Create
Comprehensive PolicyStep 3. Create a Usable
Retention ScheduleStep 4. Establish
ProceduresStep 5. Train UsersStep 6. Audit
ComplianceStep 7. Litigation/Audit Readiness
The 8 Steps to Records Retention
Step 8. Rinse, Repeat Continuous
Refinement
36Steps You Can Take Today
- Comprehensive records management policy
- Up-to-date, simple-to-use retention schedule
- Evenly applied, routinely followed, repeatable
procedures - Legal/audit disposition hold procedure
- Fully documented compliance
- Audit, testing and enforcement
37Questions?
Thank You
R. Scott Murchison, CRM Director, RIM
Services MatchPoint Solutions (510)
552-9960 smurchison_at_matchps.com smurchconsulting_at_g
mail.com