Tag Archives: Rebecca Sobel

SEC Charges Issuer for Inadequate Cybersecurity Disclosure Controls: Action Suggests a More Active SEC Enforcement Role Concerning Disclosure Controls and Procedures for Cybersecurity

by Cathy Clarkin, Bob Downes, John Evangelakos, Nicole Friedlander, Tony Lewis, Sarah Payne, Steve Peikin, Kamil Shields and Rebecca Sobel

On June 15, 2021, the Securities and Exchange Commission (“SEC”) announced charges against First American Financial Corporation (“First American”) for failure to maintain adequate disclosure controls and procedures in violation of Exchange Act Rule 13a-15(a).[1]  The charges, which were simultaneously settled pursuant to a cease-and-desist order (the “Order”) imposing a $487,616 civil money penalty, related to a vulnerability in First American’s proprietary software application that caused tens of millions of document images—many containing consumers’ personal information—to be publicly accessible.  After being notified by a journalist about the vulnerability on May 24, 2019, First American issued a press release and subsequently filed a Form 8-K with the SEC.  According to the Order, however, the senior executives responsible for these disclosures were not informed prior to the time the disclosures were made that certain First American personnel had longstanding prior knowledge of the vulnerability, and that the vulnerability had not been remediated in accordance with the company’s policies.  In light of the action—and increased scrutiny by U.S. authorities concerning cybersecurity in the wake of nationally significant ransomware attacks and cyberattacks involving SolarWinds and Microsoft software—issuers should review and confirm the efficacy of their disclosure controls and procedures for analyzing and escalating key information about cybersecurity incidents and vulnerabilities.

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