ML24043A056
| ML24043A056 | |
| Person / Time | |
|---|---|
| Issue date: | 02/05/2024 |
| From: | Office of Public Affairs |
| To: | |
| Sieracki A | |
| References | |
| Download: ML24043A056 (23) | |
Text
U.S. Nuclear Regulatory Commission
Privacy Impact Assessment NRCs Official Presence Social Media Initiative Office of Public Affairs
Version 1.0 02/05/2024
Instruction Notes:
Please do not enter the PIA document into ADAMS. An ADAMS accession number will be assigned through the e-Concurrence system which will be handled by the Privacy Team
Template Version 2.0 (08/2023)
NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024 Document Revision History
Date Version PIA Name/Description Author 02/05/2024 1.0 NRC Official Presence Social Media Alexa Sieracki Initiative - Initial Release NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024 Table of Contents
1 Description 1
2 Authorities and Other Requirements 3
3 Characterization of the Information 3
4 Data Security 5
5 Privacy Act Determination 8
6 Records and Information Management-Retention and Disposal 9
7 Paperwork Reduction Act 11
8 Privacy Act Determination 14
9 OMB Clearance Determination 15
10 Records Retention and Disposal Schedule Determination 16
11 Branch Chief Review and Concurrence 17
Appendix A 19 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024
The agency is subject to the requirements of the E-Government Act and is committed to identifying and addressing privacy risks whenever it develops or makes changes to its information systems. The questions below help determine any privacy risks related to the E-Government Act or later guidance by the Office of Management and Budget (OMB) and the National Institute of Standards and Technology (NIST).
Name/System/Subsystem/Service Name: NRC Official Presence Social Media Initiative.
Data Storage Location (i.e., Database Server, SharePoint, Cloud, Other Government Agency, Power Platform) Posts are saved to SharePoint before they are placed on social media.
Date Submitted for review/approval: February 5, 2024.
1 Description
1.1 Provide the description of the system/subsystem, technology (i.e., Microsoft Products), program, or other data collections (hereinafter referred to as project).
Explain the reason the project is being created.
The Nuclear Regulatory Commission's (NRCs) Official Presence Social Media initiative is designed to increase the NRC's use of third-party social media services, enabling the NRC to conduct its Open Government activities in new and innovative ways, while complying with applicable laws, policies, and regulations. As an effort under the NRC's Open Government Flagship initiative1, the implementation of an agency-wide official presence using third-party social media services/sites supports transparency, collaboration, participation with the public, and other key stakeholders. These social media activities are consistent with the NRC's current policies and procedures for the deployment of the tools and services envisioned under this effort.
The use of social media platforms/tools represents a strategic communication mechanism to expand NRC outreach to engage new audiences. These tools help individuals and organizations better understand the NRCs mission, roles, responsibilities, actions, and policies as well as provide them with more easily accessible information on specific topics of interest.
Social media interactions and applications include a sphere of non-government websites and web-based tools that focus on connecting users, inside and outside of NRC, to share information and communicate about NRC activities. Third parties control and operate these non-governmental websites; however, the NRC may use them as alternative channels to provide information and engage with the public. The NRC may also use these platforms to make information and services widely available, while promoting transparency and accountability, as a service for those seeking information about or services from the NRC. This privacy impact assessment (PIA) analyzes the NRCs use of social media and how these interactions and applications could result in the NRC receiving personally identifiable information (PII). This PIA describes the information the NRC may have access to, how it will use the information, and what information is retained and shared.
1 1 NRCs Open Government Flagship Initiative, http://www.nrc.gov/public-involve/open/philosophy/nrcopen-gov-plan.pdf#page=35
PIA Template (08-2023) 1 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024
Please mark appropriate response below if your project/system will involve the following:
PowerApps Public Website Dashboard Internal Website SharePoint None Other external social media platforms
1.2 Does this privacy impact assessment (PIA) support a proposed new project, proposed modification to an existing project, or other situation? Select options that best apply in table below.
Mark appropriate response.
Status Options New system/project Modification to an existing system/project.
If modifying or making other updates to an existing system/project, provide the ADAMS ML of the existing PIA and describe the modification.
Editorial and programmatic updates to previously submitted PIA for this topic (ML22249A062)
Annual Review If making minor edits to an existing system/project, briefly describe the changes below.
Other (explain)
1.3 Points of
Contact:
(Do not adjust or change table fields. Annotate N/A if unknown. If multiple individuals need to be added in a certain field, please add lines where necessary.)
Project System ISSO Business Technical Executive Manager Owner/Data Project Project Sponsor Owner/Steward Manager Manager Name Holly Holly Harrington Alexa Harrington (Acting) Sieracki (Acting)
Office/ Director, Director, OPA OPA Division OPA
/Branch Telephone (301) 415- (301) 415-8203 (301) 415-8203 7509
PIA Template (08-2023) 2 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024 2 Authorities and Other Requirements
2.1 What specific legal authorities and/or agreements permit the collection of information for the project?
Provide all statutory and regulatory authorities for operating the project, including the authority to collect the information; NRC internal policy is not a legal authority. Please mark appropriate response in table below.
Mark with an X on all that Authority Citation/Reference apply.
Statute Executive Order Federal Regulation Memorandum of Understanding/Agreement Other (summarize and No information is collected from our provide a copy of relevant followers.
portion)
2.2 Explain how the information will be used under the authority listed above (i.e., enroll employees in a subsidies program to provide subsidy payment).
N/A we do not collect information from our followers.
If the project collects Social Security numbers, state why this is necessary and how it will be used.
N/A.
3 Characterization of the Information
In the table below, mark the categories of individuals for whom information is collected.
Category of individual Federal employees Contractors Members of the Public (any individual other than a federal employee, consultant, or contractor)
Licensees Other N/A we do not collect information from individuals
PIA Template (08-2023) 3 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024
In the table below, is a list of the most common types of PII collected. Mark all PII that is collected and stored by the project/system. If there is additional PII not defined in the table below, a comprehensive listing of PII is provided for further reference in ADAMS at the following link: PII Reference Table 2023.
Categories of Information o
'cense Number t License Plate Number Citizenship Passport numb ality tives Information Taxpayer Identification Number ress Credit/Der ti Alien R Ethnicity Informati Criminal History Personaress entifiers (facial images, fingerprints, i Personal Bank Account Number Emergency e.g., a third party to contact in case of an emerg Personal Mobile Nu Accommodation/disabi Other We do not collect PII from followers or users
3.1 Describe how the data is collected for the project. (i.e., NRC Form, survey, questionnaire, existing NRC files/ databases, response to a background check).
Data is collected via third party social media platforms.
3.2 If using a form to collect the information, provide the form number, title and/or a link.
N/A.
3.3 Who provides the information? Is it provided directly from the individual or a third party.
Social media users provide information to a third-party social media service/site, we do not collect or access this information.
PIA Template (08-2023) 4 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024
3.4 Explain how the accuracy of the data collection is validated. If the project does not check for accuracy, please explain why.
N/A.
3.5 Will PII data be used in a test environment? If so, explain the rationale.
N/A.
3.6 What procedures are in place to allow the subject individual to correct inaccurate or erroneous information?
N/A.
4 Data Security 4.1 Describe who has access to the data in the project (i.e., internal NRC, system administrators, external agencies, contractors, public).
Third party social media services/sites.
4.2 If the project/system shares information with any other NRC systems, identify the system, what information is being shared and the method of sharing.
N/A.
4.3 If the project/system connects, receives, or shares information with any external non-NRC partners or systems, identify what is being shared.
Identify what agreements are in place with the external non-NRC partner or system in the table below.
Agreement Type Contract Provide Contract Number:
License Provide License Information:
Memorandum of Understanding Provide ADAMS ML number for MOU:
Other None
PIA Template (08-2023) 5 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024
4.4 Describe how the data is accessed and describe the access control mechanisms that prevent misuse.
Designated OPA representatives (which may include authorized contractors) may contribute to and post information. Information will be managed using the capabilities provided by the third-party social media service/site.
OPA moderators and designated NRC staff have access to all public comments that are posted to the NRC official presence social media sites.
This access is strictly controlled to only those persons designated with the task of posting information viewing third party analytics.
4.5 Explain how the data is transmitted and how confidentiality is protected (i.e.,
encrypting the communication or by encrypting the information before it is transmitted).
When the OPA Administrator or Moderator is logged in, their information is transmitted to the browsers securely and encrypted over a Hypertext Transfer Protocol Secure (HTTPS) protocol.
4.6 Describe where the data is being stored (i.e., NRC, Cloud, Contractor Site).
There are two places where the information is maintained.
- Third party social media services/sites. These are not controlled by the NRC. Security controls are implemented by these providers, and some have third-party certifications.
Whenever possible, to meet business requirements, the NRC will leverage third-party social media services that are sponsored by the General Services Administration (GSA). GSA is also in the process of standing up a secure cloud service for selected third-party social media services. NRC will leverage available services through GSA in order to take advantage of GSA-provided terms of service and enhanced security features.
- ADAMS. This system is operated in accordance with FISMA requirements.
4.7 Explain if the project can be accessed or operated at more than one location.
Yes, The social media site/application is designed to be accessed by anyone from anywhere.
Information content managed by the third-party social media service consists of non-sensitive public information.
4.8 Can the project be accessed by a contractor? If so, do they possess an NRC badge?
Yes, but we do not collect information about individuals, therefore; contract clauses are not applicable.
4.9 Explain the auditing measures and technical safeguards in place to prevent misuse of data.
The content and dialogue posted on the social media service will be in the public domain.
Information that is misstated or misused should be reported to OPA, who will follow up with the
PIA Template (08-2023) 6 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024
NRC program offices, as appropriate. Most third-party social media services/sites provide auditing capabilities for content that is published and comments that are posted by visitors.
4.10 Describe if the project has the capability to identify, locate, and monitor (i.e.,
trace/track/observe) individuals.
No.
4.11 Define which FISMA boundary this project is part of.
Authority to Use was recertified via email from then-NRC CIO David Nelson on September 29, 2017 (ML17286A073). Intent to post public information to Instagram was acknowledged via email by CISO copying OCIO on August 23, 2022 (ML22237A248).
Contact:
Natalya Bobryakova, OCIO IT Specialist: (301) 287-0671.
4.12 Is there an Authority to Operate (ATO) associated with this project/system?
Authorization Status Unkno If no, please note that the authorization status must be reported to the Chief Information Security Officer (CISO) and Computer Security Organization (CSOs)
Point of Contact (POC) via e-mail quarterly to ensure the authorization remains on track.
In Progress provi aATO.
Estimated date:
Yes Indicate the data ilte, High, Undefinedapproved by the f Informatiofficer (CISO) entiality-Moderate bility-Mode
4.13 Provide the NRC system Enterprise Architecture (EA)/Inventory number. If unknown, contact EA Service Desk to get the EA/Inventory number.
Official Presence Social Media EA-20100012.
PIA Template (08-2023) 7 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024 5 Privacy Act Determination
5.1 Is the data collected retrieved by a personal identifier?
Mark the appropriate response.
Response
Yes, the PII is retrieved by a personal identifier (i.e., individuals name, address, SSN, etc.)
List the identifiers that will be used to retrieve the information on the individual.
No, the PII is not retrieved by a personal identifier.
If no, explain how the data is retrieved from the project.
N/A we do not collect PII
5.2 For all collections where the information is retrieved by a personal identifier, the Privacy Act requires that the agency publish a System of Record Notice (SORN) in the Federal Register. As per the Privacy Act of 1974, "the term 'system of records' means a group of any records under the control of any agency from which information is retrieved by the name of the individual or by some other personal identifier assigned to the individual.
Mark the appropriate response in the table below.
Response
Yes, this system is covered by an existing SORN. (See existing SORNs:
https://www.nrc.gov/reading-rm/foia/privacy-systems.html )
Provide the SORN name, number, (List all SORNs that apply):
SORN is in progress SORN needs to be created Unaware of an existing SORN No, this system is not a system of records and a SORN is not applicable.
PIA Template (08-2023) 8 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024
5.3 When an individual is asked to provide personal data (i.e., form, webpage, survey), is a Privacy Act Statement (PAS) provided?
A Privacy Act Statement is a disclosure statement required to appear on documents used by agencies when an individual is asked to provide personal data. It is required for any forms, surveys, or other documents, including electronic forms, used to solicit personal information from individuals that will be maintained in a system of records.
Mark the appropriate response.
Options Privacy Act Statement icab Unknown
5.4 Is providI mandatory or voluntary? the individual by not providing the
N/A.
6 Records and Information Management-Retention and Disposal
The National Archives and Records Administration (NARA), in collaboration with federal agencies, approves whether records are Temporary (eligible at some point for destruction/deletion because they no longer have business value) or Permanent (eligible at some point to be transferred to the National Archives because of historical or evidential significance). Records/data and information with historical value, identified as having a permanent disposition, are transferred to the National Archives of the United States at the end of their retention period. All other records identified as having a temporary disposition are destroyed at the end of their retention period in accordance with the NARA Records Schedule or the General Records Schedule.
These determinations are made through records retention schedules and NARA statutes (44 United States Code (U.S.C.), 36 Code of Federation Regulations (CFR)). Under 36 CFR, agencies are required to establish procedures for addressing Records and Information Management (RIM) requirements. This includes strategies for establishing and managing recordkeeping requirements and disposition instructions before approving new electronic information systems or enhancements to existing systems.
The following questions are intended to determine whether the records/data and information in the system have approved records retention schedules and disposition instructions, whether the system incorporates RIM strategies including support for NARAs Universal Electronic Records Management (ERM) requirements, and if a mitigation strategy is needed to ensure compliance.
PIA Template (08-2023) 9 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024
If the project/system:
- Does not have an approved records retention schedule and/or
- Does not have an automated RIM functionality,
- Involves a cloud solution,
- And/or if there are additional questions regarding Records and Information Management
- Retention and Disposal, please contact the NRC Records staff at ITIMPolicy.Resource@nrc.gov for further guidance.
If the project/system has a record retention schedule or an automated RIM functionality, please complete the questions below.
6.1 Does this project map to an applicable retention schedule in NRCs Comprehensive Records Disposition Schedule (NUREG-0910), or NARAs General Records Schedules?
NUREG-0910, NRC Comprehensive Records Disposition Schedule NARAs General Records Schedules Unscheduled
6.2 If so, cite the schedule number, approved disposition, and describe how this is accomplished.
System Name (include sub-systems, platforms, NRC Official Presence Social Media or other locations where the same data resides) Initiative Records Retention Schedule Number(s) SEE TABLE BELOW FOR RECORDS RETENTION SCHEDULE NUMBERS AND APPROVED DISPOSITION INSTRUCTIONS
Additional guidance:
NRC Announcement: Reminder of Records Preservation Obligations and Use of SharePoint (ML24009A264)
IRMG 2019 Creating and Managing Social Media Records on NRC-sponsored Social Media Websites (ML20008D327)
NARA Bulletin 2014-02, Guidance on managing social media records, provides high-level requirements to consider when scheduling these records
(https://www.archives.gov/records-
PIA Template (08-2023) 10 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024
mgmt/bulletins/2014/2014-02.html)
Approved Disposition Instructions SEE TABLE BELOW FOR APPROVED DISPOSITION INSTRUCTIONS Is there a current automated functionality or a N/A manual process to support RIM requirements? This includes the ability to apply records retention and disposition policies in the system(s) to support records accessibility, reliability, integrity, and disposition.
Disposition of Temporary Records N/A
Will the records/data or a composite be automatically or manually deleted once they reach their approved retention?
Disposition of Permanent Records N/A
Will the records be exported to an approved format and transferred to the National Archives based on approved retention and disposition instructions?
If so, what formats will be used?
NRC Transfer Guidance (Information and Records Management Guideline
- IRMG)
SCHEDULE NUMBER SCHEDULE TITLE APPROVED DISPOSITION INSTRUCTION GRS 6.4 item 010 Public affairs-related Temporary.
routine operational records Destroy when 3 years old, or no longer needed, whichever is later.
GRS 6.4 item 020 Public correspondence and Temporary.
communications not Destroy when 90 days old, requiring formal action but longer retention is authorized if required for business use.
GRS 5.2 item 010 - Transitory records Temporary.
Destroy when no longer (supersedes GRS 4.2 item needed for business use, or 010 covering general according to an agency information requests and predetermined time period or responses) business rule.
NUREG 0910 version 4 NRC Comprehensive Disposition includes both Records Disposition Temporary and Permanent Schedule (schedules will due to the content of be assigned based on the
PIA Template (08-2023) 11 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024
content of social media data/records posted in posts put into ADAMS) ADAMS.
Unscheduled records- Permanent (until an approved Additional records schedule is information/data/records from assigned)
Social Media platforms kept in ADAMS will need to be scheduled; therefore, NRC records personnel will need to work with staff to develop a records retention and disposition schedule for records created or maintained. Until the approval of such schedule, these records and information are Permanent. Their willful disposal or concealment (and related offenses) is punishable by fine or imprisonment, according to 18 U.S.C.,
Chapter 101, and Section 2071.
Implementation of retention schedules is mandatory under 44 U.S. 3303a (d), and although this does not prevent further development of the project, retention functionality or a manual process must be incorporated to meet this requirement.
PIA Template (08-2023) 12 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024 7 Paperwork Reduction Act
The Paperwork Reduction Act (PRA) of 1995 requires that agencies obtain an Office of Management and Budget (OMB) approval in the form of a "control number"before promulgating a paper form, website, surveys, questionnaires, or electronic submission from 10 or more members of the public. If the data collection is from federal employees regarding work-related duties, then a PRA clearance is not necessary.
7.1 Will the project be collecting any information from 10 or more persons who are not Federal employees?
No. Guidance in OMBs memorandum on Social media, Web-Based Interactive Technologies, and the Paperwork Reduction Act, (April 7, 2010) states that items collected by third party websites or platforms that are not collecting information on behalf of the Federal Government are not subject to the PRA.
7.2 Is there any collection of information addressed to all or a substantial majority of an industry (i.e., Fuel Fabrication Facilities or Fuel Cycle Facilities)?
N/A.
7.3 Is the collection of information required by a rule of general applicability?
N/A.
Note: For information collection (OMB clearances) questions: contact the NRCs Clearance Officer. Additional guidance can be found on the NRCs internal Information Collections Web page at: https://intranet.nrc.gov/ocio/33456.
STOP HERE - The remaining pages will be completed by the Privacy Officer, Records Management, and Information Collections Team.
PIA Template (08-2023) 13 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024 PIA Template (08-2023) 148 Privacy Act Determination Project/System Name: NRC Official Presence Social Media Initiative.
Submitting Office: Office of Public Affairs.
Privacy Officer Review Review Results Action Items This project/system does not contain PII.No further action is necessary for Privacy.
This project/system does contain PII; the Privacy Act does NOT apply, since information is NOT retrieved by a personal identifier.Must be protected with restricted access to those with a valid need-to-know.
This project/system does contain PII; the Privacy Act does apply.SORN is required- Information is retrieved by a personal identifier.
Comments:
Reviewers Name Title Privacy Officer Signed by Hardy, Sally on 03/06/24
NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024 PIA Template (08-2023) 159 OMB Clearance Determination NRC Clearance Officer Review Review Results No OMB clearance is needed.
OMB clearance is needed.
Currently has OMB Clearance. Clearance No.
Comments:
The collection of general comments from the public that are posted to the NRC official presence social media sites is exempt from the requirements of the Paperwork Reduction Act.
Reviewers Name Title Agency Clearance Officer Signed by Cullison, David on 02/23/24
NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024 PIA Template (08-2023) 1610 Records Retention and Disposal Schedule Determination Records Information Management Review Review Results No record schedule required.
Additional information is needed to complete assessment.
Needs to be scheduled.
Existing records retention and disposition schedule covers the system - no modifications needed.
Comments:
Reviewers Name Title Sr. Program Analyst, Electronic Records Manager Signed by Dove, Marna on 03/05/24
NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024 PIA Template (08-2023) 1711 Branch Chief Review and Concurrence Review Results This project/system does not collect, maintain, or disseminate information in identifiable form.
This project/system does collect, maintain, or disseminate information in identifiable form.
I concur with the Privacy Act, Information Collections, and Records Management reviews.
Chief Information Security Officer Chief Information Security Division Office of the Chief Information Officer Signed by Feibus, Jonathan on 03/07/24
NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024
ADDITIONAL ACTION ITEMS/CONCERNS
Name of Project/System: NRC Official Presence Social Media Initiative
Date CISD received PIA for review: Date CISD completed PIA review:
February 5, 2024 March 6, 2024 Action Items/Concerns:
See Appendix A for Social media interactions and applications covered by this privacy impact assessment.
Copies of this PIA will be provided to:
Gwendolyn Hayden Acting Director IT Services Development and Operations Division Office of the Chief Information Officer
Jonathan Feibus Chief Information Security Officer Chief Information Security Division Office of the Chief Information Officer
PIA Template (08-2023) 18 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024 Appendix A
Social media interactions and applications covered by this privacy impact assessment include:
- Video Channel, such as YouTube.com (via GSA)
- Micro-blogging Tool, such as Twitter.com (via GSA)
- Photo Gallery, such as Flickr.com (via GSA)
- Social Networking, such as Facebook (via GSA)
- Social Networking, such as Instagram (via GSA)
Future areas will be added as the need for additional NRC official presence sites are further established. To support the expansion of the Open Governance capabilities, to increase collaboration, transparency, and participation in the NRC regulatory activities, it is expected that multiple solutions will be leveraged by the NRC. This envisioned approach is consistent with the desire to increase NRC's communication channels in support of various business and Open Government needs.
Site YouTube.com (via GSA)
Privacy Policy https://policies.google.com/privacy?hl=en Registration
- E-mail Address - NRC email address of the NRC Requirements representative (required for NRC
- Username - Publicly-displayed username for the account.
administrator and
- Password - for account moderator managing
- Location (Country) - for account the NRC Video
- Postal Code - for account Channel)
Other Information YouTube will be used by OPA or a designated office representative to publish videos that are publicly available on topics for the purpose of informing and educating the public. Visitors will NOT have the option to post comments about the videos. YouTube registration requires an email address and password. This information will not be collected by NRC.
Visitors For some activities on YouTube, like posting comments, flagging videos, or watching restricted videos, visitors will need to establish a YouTube or Google Account. Some personal information is required to create an account, including an email address and a password. This information is used to protect the visitors' account from unauthorized access. No account information is needed for viewing videos. No account information is collected by the NRC.
PIA Template (08-2023) 19 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024
Purpose Micro-blogging Tool Site Twitter.com Privacy Policy https://twitter.com/en/privacy Registration
- Account profile information (name, title, and other information Requirements (required adequate to represent the NRC authorized representatives to the for NRC administrator public) and moderator
- Username - for account managing the NRC
- Password - for account Twitter feed)
- E-mail Address - NRC email address of the NRC representative Other Information Twitter will be used by OPA or a designated office representative to publish snippets of content for the purpose of providing information to the public. Visitors will have the option to flag as favorite, retweet, or reply in response to the agency's twitter posts. In order to retweet or reply, visitors will be asked to register on the Twitter site. Registration requires the user to enter their name, email address, username, and password. This information will not be collected by NRC. A policy will be posted and made available to visitors to establish expectations on replies submitted and their use by the NRC.
Visitors In order to retweet or reply to the tweets posted by OPA or NRC authorized representatives, visitors must sign up for a Twitter account. Along with any comments/tweets posted on the site, Twitter publishes the individual's name and username.
Purpose Photo Gallery Site Flickr.com (via GSA)
Privacy Policy https://www.flickr.com/help/privacy
Registration
- Account profile information (name (first and last), gender, Requirements birthday, country, postal code)
(required for NRC
- Username - for account administrator and
- Password - for account moderator managing
- E-mail Address - NRC email address of the NRC the NRC Photo representative Gallery)
Other Information Flickr will be used by OPA or a designated office representative to publish photos in order to raise awareness of the agency's current activities, enhance information about existing collections of visual content such as historic photos, and allow the public to easily browse, view, and download content. Visitors will NOT have the option to post comments. Other content may be viewable to the public at large. Flickr registration requires an email address and password. This information will not be collected by NRC.
PIA Template (08-2023) 20 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024
Visitors Visitors may view photos or content on Flickr without having an account. However, in order to add a photo to a user's "Favorites",
they must have a Flickr account. Some personal information is required to create an account, including an email address and a password. This information is used to protect the visitors' account from unauthorized access. No account information will be collected by NRC.
Purpose Social Networking Tool Site Facebook.com (via GSA)
Privacy Policy https://www.facebook.com/privacy/policy/
Registration
- Account profile information (name, title, and other information Requirements adequate to represent the NRC authorized representatives to the (required for NRC public) administrator and
- Username - for account moderator managing
- Password - for account the NRC public blogs)
- E-mail Address - NRC email address of the NRC representative Other Information Facebook will be used by OPA to publish content that is publicly available on topics of interest for the purpose of informing the public. Visitors will have the option to post comments on published content. This information will not be solicited by the NRC. A comment policy will be posted and available to visitors to establish expectations and guidelines on comments submitted and their use by the NRC.
Facebook uses cookies to enable features, provide personalized experience, protect security of accounts, improve, deliver, and understand advertisements on Facebook, and to research the use of products and services. Facebook visitors have the option to refuse cookies before using Facebook, with the drawback that certain features of Facebook may not function properly.
Facebook will not share cookie information with the NRC and NRC will not solicit this information.
PIA Template (08-2023) 21 NRC Official Presence Social Media Initiative Version 1.0 Privacy Impact Assessment 02/05/2024
Visitors Visitors, by virtue of creating an account with Facebook, have provided information including names, email addresses, birthdays and gender some of which is always publicly available according to Facebook policy. However, the NRC will not solicit personally identifiable information from visitors.
Purpose Social Networking Tool Site Instagram.com (via GSA)
Privacy Policy https://privacycenter.instagram.com/policy/
Registration
- Account profile information (name, title, and other Requirements information adequate to represent the NRC authorized (required for NRC representatives to the public) administrator and
- Username - for account moderator managing
- Password - for account the NRC public blogs)
- E-mail Address - NRC email address of the NRC representative Other Information Instagram will be used by OPA to publish content that is publicly available on topics of interest for the purpose of informing the public. Visitors will have the option to post comments on published content. This information will not be solicited by the NRC. A comment policy will be posted and available to visitors to establish expectations and guidelines on comments submitted and their use by the NRC.
Instagram uses cookies to enable features, provide personalized experience, protect security of accounts, improve, deliver, and understand advertisements on Instagram, and to research the use of products and services. Instagram visitors have the option to refuse cookies before using Instagram, with the drawback that certain features of Instagram may not function properly.
Instagram will not share cookie information with the NRC and NRC will not solicit this information.
Visitors Visitors, by virtue of creating an account with Instagram, have provided information including names, email addresses, birthdays and gender some of which is always publicly available according to Instagram policy. However, the NRC will not solicit personally identifiable information from visitors.
PIA Template (08-2023) 22