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|
1.
OPDIV
|
National
Institutes of Health
|
2.
PIA Unique Identifier
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|
2a.
Name
|
NIGMS
Scientific Information Reporting System (SIRS)
|
3.
The subject of this PIA is which of the following?
|
Minor
Application (child)
|
3a.
Identify the Enterprise Performance Lifecycle Phase of the
system.
|
Operational
|
3b.
Is this a FISMA-Reportable system?
|
No
|
4.
Does the system include a Website or online application available
to and for the use of the general public?
|
No
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
4 Comment
|
|
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5.
Identify the operator.
|
Agency
|
6.
Point of Contact (POC)
|
POC
Title
|
Project
Manager
|
POC
Name
|
Christy
Tran
|
POC
Organization
|
NIGMS
|
POC
Email
|
christy.tran@nih.gov
|
POC
Phone
|
301 594
2680
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Accept
/ Reject Status
|
Undefined
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Question
6 Comment
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7.
Is this a new or existing system?
|
New
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8.
Does the system have Security Authorization (SA)?
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Yes
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Accept
/ Reject Status
|
Undefined
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Question
8 Comment
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8a.
Date of Security Authorization
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5/15/2018
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9.
Indicate the following reason(s) for updating this PIA. Choose
from the following options.
|
PIA
Validation (PIA Refresh/Annual Review)
|
Other
|
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Accept
/ Reject Status
|
Undefined
|
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Question
9 Comment
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10.
Describe in further detail any changes to the system that have
occurred since the last PIA.
|
The
National Institutes of Health (NIH) implemented an NIH-wide
information technology (IT) realignment, which requires all IT
resources to reevaluate related privacy controls. As a result of
the realignment, this system is now subset of the NIGMS
Information Technology Infrastructure System (NITI). The SIR’s
functions remain unchanged.
|
Accept
/ Reject Status
|
Undefined
|
|
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Question
10 Comment
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11.
Describe the purpose of the system.
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SIRS replaced the functionality
of APRSIS, a non-NIGMS System. SIRS support the tracking of NIGMS
grants through the submittal of grantee Annual Progress Reports
(APRs). It will provide NIGMS the ability to generate internal
reports and have easy access to data necessary for Congressional
reporting.
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Accept
/ Reject Status
|
Undefined
|
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Question
11 Comment
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12.
Describe the type of information the system will collect,
maintain (store), or share. (Subsequent questions will identify
if this information is PII and ask about the specific data
elements.)
|
The system collects: grant data;
research data; institutional profile data; personnel roster data;
evaluation data; publication data; subproject data; research
highlight data and facility data.
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
12 Comment
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13.
Provide an overview of the system and describe the information it
will collect, maintain (store), or share, either permanently or
temporarily.
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SIRS is
a web application developed and managed by NIGMS. Access to the
system is restricted to NIGMS staff / IRMB support staff and
grantees with NIH Commons accounts. Data from the system is
maintained in the NIGMS Oracle Databases. SIRS collects and
maintains grant and research data provided by the grantee, in
addition to grant information provided by IMPAC II. The research
information includes specifics like evaluation updates regarding
significant unexpected outcomes; presentation information; and
the reporting of at least 3 notable scientific advances. SIRS
will also collect and maintain contact data on personnel from the
institution. The contact information collected will include name,
business e-mail addresses and business phone numbers. The data
collected in SIRS will be maintained in SIRS and will not be
shared with other systems.
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Accept
/ Reject Status
|
Undefined
|
|
|
Question
13 Comment
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14.
Does the system collect, maintain, use or share PII?
|
Yes
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Accept
/ Reject Status
|
Undefined
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Question
14 Comment
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15.
Indicate the type of PII that the system will collect or
maintain.
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Name
E-Mail
Address
Phone
Numbers
Degrees
Position
Title
Research
Data
|
|
|
|
|
|
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Accept
/ Reject Status
|
Undefined
|
|
|
Question
15 Comment
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16.
Indicate the categories of individuals about whom PII is
collected, maintained or shared.
|
Public
Citizens
|
|
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Accept
/ Reject Status
|
Undefined
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|
|
Question
16 Comment
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Principal
Investigators - Contact Information; and Institutions - Research
data
|
|
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17.
How many individuals' PII is in the system?
|
100-499
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Accept
/ Reject Status
|
Undefined
|
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Question
17 Comment
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18.
For what primary purpose is the PII used?
|
Principal
Investigators: To identify and contact grantees; Institutions: To
support the annual reporting process.
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
18 Comment
|
|
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19.
Describe the secondary uses for which the PII will be used (e.g.
testing, training or research)
|
Principal
Investigators: The PII /contact information is only utilized to
contact the Principal Investigators.
Institutions:
The PII / research information is only utilized to track grant
success.
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
19 Comment
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|
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20.
Describe the function of the SSN.
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Not
Applicable.
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Accept
/ Reject Status
|
Undefined
|
|
|
Question
20 Comment
|
|
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|
20a.
Cite the legal authority to use the SSN.
|
Not
Applicable.
|
21.
Identify legal authorities governing information use and
disclosure specific to the system and program.
|
The
legal authority to operate and maintain this Privacy Act records
system is 5. U.S.C. 301; 42 U.S.C. 217a, 241, 282(b)(6), 284a,
and 288. 48 CFR Subpart 15.3 and Subpart 42.15.
|
22.
Are records on the system retrieved by one or more PII data
elements?
|
Yes
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
22 Comment
|
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22a.
Identify the number and title of the Privacy Act System of
Records Notice (SORN) that is being used to cover the system or
identify if a SORN is being developed.
|
Published:
|
09-25-0036
(Inherited via IMPAC 2 SORN)
|
Published:
|
|
Published:
|
|
In
Progress
|
Undefined
|
|
|
23.
Identify the sources of PII in the system.
|
Government
Sources – Within the OpDiv
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
23 Comment
|
|
|
|
23a.
Identify the OMB information collection approval number and
expiration date.
|
OMB#
0925-0735 03/31/2019
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24.
Is the PII shared with other organizations?
|
No
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
24 Comment
|
|
|
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24a.
Identify with whom the PII is shared or disclosed and for what
purpose.
|
Within
HHS
|
No
|
|
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Other
Federal Agency/Agencies
|
No
|
|
|
State
or Local Agency/Agencies
|
No
|
|
|
Private
Sector
|
No
|
|
|
24b.
Describe any agreements in place that authorizes the information
sharing or disclosure (e.g. Computer Matching Agreement,
Memorandum of Understanding (MOU), or Information Sharing
Agreement (ISA)).
|
Not
applicable.
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24c.
Describe the procedures for accounting for disclosures.
|
Not
applicable.
|
|
|
25.
Describe the process in place to notify individuals that their
personal information will be collected. If no prior notice is
given, explain the reason.
|
Individuals
are aware as part of the grant application process that they will
be required to provide information for yearly progress reports
submitted to the NIH.
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
25 Comment
|
|
|
|
26.
Is the submission of PII by individuals voluntary or mandatory?
|
Voluntary
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
26 Comment
|
|
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|
27.
Describe the method for individuals to opt-out of the collection
or use of their PII. If there is no option to object to the
information collection, provide a reason.
|
Submission
is voluntary since application to receive grants from the
Institutional Development Awards (IDeA) program and The Native
American Research Centers for Health (NARCH) initiative is
voluntary.
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
27 Comment
|
|
|
|
28.
Describe the process to notify and obtain consent from the
individuals whose PII is in the system when major changes occur
to the system (e.g., disclosure and/or data uses have changed
since the notice at the time of original collection).
Alternatively, describe why they cannot be notified or have their
consent obtained.
|
There
will be no substantive changes to data uses. Information is
collected in order to evaluate the progress of grantees and
compile reports on the status of each program.
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
28 Comment
|
|
|
|
29.
Describe the process in place to resolve an individual's concerns
when they believe their PII has been inappropriately obtained,
used, or disclosed, or that the PII is inaccurate. If no process
exists, explain why not.
|
Individuals
can submit an IT help desk ticket which is sent to the NIGMS
Information Resources Management Branch (IRMB) to report any
issues. Individuals also have the option to be directed to the
IC’s privacy policy page which includes an e-mail address
where users can direct their concerns.
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
29 Comment
|
|
|
|
30.
Describe the process in place for periodic reviews of PII
contained in the system to ensure the data's integrity,
availability, accuracy and relevancy. If no processes are in
place, explain why not.
|
Principal
Investigators (PI): Data is obtained from IMPAC II and when PI's
submit their annual progress reports annually and they have the
opportunity to update their contact information to ensure
integrity, accuracy and availability. Institutions: Research
data is submitted annually. During the submission process, data
can be changed to support accuracy and relevancy. After the
submission process, the data cannot be changed.
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
30 Comment
|
|
|
|
31.
Identify who will have access to the PII in the system and the
reason why they require access.
|
Users
|
Yes
(external PIs and internal NIGSM Users)
|
|
|
Administrators
|
Yes
|
|
|
Developers
|
Yes
|
|
|
Contractors
|
Yes
|
|
|
Others
|
Undefined
|
|
|
32.
Describe the procedures in place to determine which system users
(administrators, developers, contractors, etc.) may access PII.
|
External
Users - Principal Investigators and Institutions will only have
access to their respective contact and research data in the
production system. Internal NIGMS staff will have access to all
the data, including PII, in the production system. The system
developers and administrators, who are direct contractors
supporting NIGMS, have access to the production system.
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
32 Comment
|
|
|
|
33.
Describe the methods in place to allow those with access to PII
to only access the minimum amount of information necessary to
perform their job.
|
Determinations
are made based on Role based access controls and least privilege.
User rights are provisioned based on controls within the system,
allowing users only access to the minimum amount of PII necessary
to perform their job.
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
33 Comment
|
|
|
|
34.
Identify training and awareness provided to personnel (system
owners, managers, operators, contractors and/or program managers)
using the system to make them aware of their responsibilities for
protecting the information being collected and maintained.
|
According
to NIH policy, all personnel (employees and direct contractors)
must complete the annual mandatory security, privacy and
information management awareness training prior to the use of, or
access to, information systems. There are four categories of
mandatory IT training (Information Security, Counterintelligence,
Privacy Awareness, and Records Management).
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
34 Comment
|
|
|
|
35.
Describe training system users receive (above and beyond general
security and privacy awareness training).
|
External
Users are exempt from training due to access provided by Era
Commons accounts. All NIGMS Staff, including the SIRS System
Administrators and Developers are required to take the general
security and privacy awareness training. In addition. SIRS System
Administrators and Developers are considered personnel with IT
Security responsibilities. These individuals are required to take
additional security training.
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
35 Comment
|
|
|
|
36.
Do contracts include Federal Acquisition Regulation and other
appropriate clauses ensuring adherence to privacy provisions and
practices?
|
Yes
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
36 Comment
|
|
|
|
37.
Describe the process and guidelines in place with regard to the
retention and destruction of PII. Cite specific records retention
schedules.
|
The
majority of PII is collected from IMPAC II and is administered by
ERA commons. PII not collected through IMPAC II is evaluated in
accordance with the NARA record retention schedule: E-0002,
Official case files of funded grants, unfunded grants, and award
applications, appeals and litigation records:
DAA-0443-2013-0004-0002.
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
37 Comment
|
|
|
|
38.
Describe, briefly but with specificity, how the PII will be
secured in the system using administrative, technical, and
physical controls.
|
Website
access will be managed via NTFS and Single Sign-On. The server
on which the Administrative interface is hosted will be available
only on the NIGMS internal network and is protected by AD account
and password. The web front end is hosted on a server in the
NIGMS Public DMZ and is protected by AD account and password and
sits behind NIH enterprise Single Sign-On. Only users with access
will be able to access the system. Active Directory will be
employed for internal user authentication and external users will
use Commons accounts. Additionally, various physical access
control measures are in place to protect the system / data
including the implementation of ID badges, guard stations at
specific locations and the utilization of key card access at
specific entry points / during specific hours. Specifically, the
system code / Hdw components are located in a secure room with
restricted Card Key access in Building 12. The data is contained
in Oracle and is only accessible with role-based access.
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
38 Comment
|
|
|
|
|
|
|
|
39.
Identify the publicly-available URL.
|
https://sirs.nigms.nih.gov
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
39 Comment
|
|
|
|
40.
Does the website have a posted privacy notice?
|
Yes
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
40 Comment
|
|
|
|
|
|
40a.
Is the privacy policy available in a machine-readable format?
|
No
|
|
|
41.
Does the website use web measurement and customization
technology?
|
No
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
41 Comment
|
|
|
|
|
|
41a.
Select the type of website measurement and customization
technologies is in use and if it is used to collect PII. (Select
all that apply).
|
Web
Beacons
|
No
|
Collects
PII?
|
Undefined
|
Web
Bugs
|
No
|
Collects
PII?
|
Undefined
|
Session
Cookies
|
No
|
Collects
PII?
|
Undefined
|
Persistent
Cookies
|
No
|
Collects
PII?
|
Undefined
|
Other
...
|
|
Collects
PII?
|
Undefined
|
|
|
42.
Does the website have any information or pages directed at
children under the age of thirteen?
|
No
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
42 Comment
|
|
|
|
|
|
42a.
Is there a unique privacy policy for the website, and does the
unique privacy policy address the process for obtaining parental
consent if any information is collected?
|
Not
applicable
|
|
|
43.
Does the website contain links to non-federal government websites
external to HHS?
|
No
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
43 Comment
|
|
|
|
|
|
43a.
Is a disclaimer notice provided to users that follow external
links to websites not owned or operated by HHS?
|
Not
applicable
|
|
|
|
|
|
REVIEWER
QUESTIONS:
The following section contains Reviewer Questions which are not
to be filled out unless the user is an OPDIV Senior Officer for
Privacy.
|
1.
Are the questions on the PIA answered correctly, accurately, and
completely?
|
Undefined
|
Reviewer
Notes
|
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
1 Comment
|
|
|
|
2.
Does the PIA appropriately communicate the purpose of PII in the
system and is the purpose justified by appropriate legal
authorities?
|
Undefined
|
Reviewer
Notes
|
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
2 Comment
|
|
|
|
3.
Do system owners demonstrate appropriate understanding of the
impact of the PII in the system and provide sufficient oversight
to employees and contractors?
|
Undefined
|
Reviewer
Notes
|
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
3 Comment
|
|
|
|
4.
Does the PIA appropriately describe the PII quality and integrity
of the data?
|
Undefined
|
Reviewer
Notes
|
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
4 Comment
|
|
|
|
5.
Is this a candidate for PII minimization?
|
Undefined
|
Reviewer
Notes
|
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
5 Comment
|
|
|
|
6.
Does the PIA accurately identify data retention procedures and
records retention schedules?
|
Undefined
|
Reviewer
Notes
|
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
6 Comment
|
|
|
|
7.
Are the individuals whose PII is in the system provided
appropriate participation?
|
Undefined
|
Reviewer
Notes
|
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
7 Comment
|
|
|
|
8.
Does the PIA raise any concerns about the security of the PII?
|
Undefined
|
Reviewer
Notes
|
|
Accept
/ Reject Status
|
Undefined
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
8 Comment
|
|
|
|
9.
Is applicability of the Privacy Act captured correctly and is a
SORN published or does it need to be?
|
Undefined
|
Reviewer
Notes
|
|
Accept
/ Reject Status
|
Undefined
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
9 Comment
|
|
|
|
10.
Is the PII appropriately limited for use internally and with
third parties?
|
Undefined
|
Reviewer
Notes
|
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
10 Comment
|
|
|
|
11.
Does the PIA demonstrate compliance with all Web privacy
requirements?
|
Undefined
|
Reviewer
Notes
|
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
11 Comment
|
|
|
|
12.
Were any changes made to the system because of the completion of
this PIA?
|
Undefined
|
Reviewer
Notes
|
|
Accept
/ Reject Status
|
Undefined
|
|
|
Question
12 Comment
|
|
|
|
General
Comments
|
|
|
Status
and Approvals
|
IC
Status
|
Undefined
|
OSOP
Status
|
Undefined
|
OPDIV
Senior Official for Privacy Signature
|
|
HHS
Senior Agency Official for Privacy
|
|