Skip to content

IP records protection #86

Open
Open
@andres-mendez-b

Description

@andres-mendez-b

In section "7. Cooperation" I read:

To help in those situations, you agree to maintain all records relating to the development of any Company IP, and, if the Company asks, to provide those records to the Company.

I think that giving the responsibility for IP record protection to the employee poses the company at risk for different reasons:

1.- Looking at ISO 27002, there is a security control regarding records "18.1.3 Protection of records". That control begins with:
"Records should be protected from loss, destruction, falsification, unauthorized access and unauthorized release, in accordance with legislatory, regulatory, contractual and business requirements."
If there are records relevant to the company regarding IP, the company should require the employee to provide them to the company while at work. By doing so, the company can perform a proper backup of that information, and avoid the employee (or future ex-employee) from losing it.

2.- There is another ISO 27002 security control which which gives a hint about what should be considered when an employee is fired, "9.2.6 Removal or adjustment of access rights". That control ends with:
"In cases of management-initiated termination, disgruntled employees or external party users can deliberately corrupt information or sabotage information processing facilities."
Again, you can't trust a former employee with keeping those records for the company's good.

3.- Again, thinking about information security, there is another security control affected here, "8.1.4 Return of assets". That gives more hints:
"In cases where an employee or external party user purchases the organization’s equipment or uses their own personal equipment, procedures should be followed to ensure that all relevant information is transferred to the organization and securely erased from the equipment (see 11.2.7).
In cases where an employee or external party user has knowledge that is important to ongoing operations, that information should be documented and transferred to the organization.
During the notice period of termination, the organization should control unauthorized copying of relevant information (e.g. intellectual property) by terminated employees and contractors."

Maybe what BEIA proposes sounds good if we are talking that the employee works on open source projects for the employer, and that he works on personal open source projects at the same time. But BEIA says "But BEIPA is not specific to open source", and then we can go into problems (from my point of view).

These are just a few that come to my mind to support my suggestion: it is a VERY BAD idea to delegate IP record management on employees.

Metadata

Metadata

Assignees

No one assigned

    Labels

    No labels
    No labels

    Type

    No type

    Projects

    No projects

    Milestone

    No milestone

    Relationships

    None yet

    Development

    No branches or pull requests

    Issue actions