Of late, Chairman Simons indicated the necessity for privacy and information protection legislation that will supply the FTC expanded authority.
Even though the FTC has broad authority under area 5 of this FTC Act to handle consumer harms pertaining to privacy and information protection, Chairman Simons has described area 5 as РІР‚Сљan imperfect toolРІР‚Сњ to address those concerns.  alternatively, the FTC supports data safety legislation that will supply the agency with (1) the capability to look for civil charges to efficiently deter conduct that is unlawful (2) jurisdiction over non-profits and typical providers; and (3) the authority to issue implementing rules underneath the Administrative Procedure behave as appropriate. 
Furthermore, on March 5, 2019, the FTC asked for opinions on proposed amendments towards the GLBA Safeguards Rule  and also the Privacy Rule.
 Andrew Smith, Director for the FTCРІР‚в„ўs Bureau of customer Protection, stated the goal of the proposition would be to РІР‚Сљprovide more certainty to companies.РІР‚Сњ He additionally stated so it РІР‚Сљshows that, where we’ve rulemaking authority, we shall exercise it as required to carry on with utilizing the market styles and react to technological developments.РІР‚Сњ  The Safeguard Rule proposition is modeled to some extent regarding the nyc state dept. of Financial Services Cybersecurity Rule and includes proposed modifications such as (1) designation of the Chief Ideas protection Officer; (2) elaborating from the current danger evaluation requirement, including needing a written report; (3) needing encryption of consumer information, both at peace plus in transportation; (4) applying access control protocols aimed to avoid unauthorized users from accessing customer information; (5) mandating making use of multi-factor verification to gain access to consumer information; (6) needing the establishment of incident reaction plans or information safety reaction plans in the eventuality of an event; and (7) elevating cyber governance up to a board-level problem and needing regular reports to an organizationРІР‚в„ўs board of directors or other regulating systems.  These proposed rulemakings as well as the FTCРІР‚в„ўs advocacy for enhanced data security legislation shows the agencyРІР‚в„ўs concentrate on privacy and cybersecurity dilemmas.