Further to our report on the SEC’s recent enforcement action against a company for failure to maintain adequate disclosure controls and procedures in connection with its cybersecurity-related disclosures, Gibson Dunn’s “How to Stay on Top of Cybersecurity Disclosures as SEC Ramps Up Enforcement” (Legaltech news) provides sound guidance to companies on how to minimize the likelihood of disclosure violations and successful enforcement proceedings. Not surprisingly, implementation of formal and regular communications across relevant function areas with responsibility for the company’s cybersecurity, data privacy, and public disclosures is critical to risk mitigation.