Cross-Framework Mapping

Connecticut Data Privacy Act (CTDPA)vsFTC GLBA Safeguards Rule (16 CFR Part 314)

See exactly how Connecticut Data Privacy Act (CTDPA) controls map to FTC GLBA Safeguards Rule (16 CFR Part 314). Pre-computed mappings, identified gaps, and coverage analysis.

43
Controls Mapped
29
Gaps Found
28%
Coverage

According to the TheArtOfService Compliance Knowledge Graph:

Connecticut Data Privacy Act (CTDPA) maps to FTC GLBA Safeguards Rule (16 CFR Part 314) with 28% coverage across 20 directly mapped controls. Analysis of 72 Connecticut Data Privacy Act (CTDPA) controls identifies 52 compliance gaps — primarily concentrated in Consumer Rights.

Source: TheArtOfService Knowledge Graph | 72 controls analysed | 693 frameworks | 819K+ cross-framework mappings

Control Mappings

Showing 20 of 43 mapped controls across 5 domains. Sign up to explore all 819K+ mappings across 693 frameworks.

Definitions and Scope(14 mappings)

7012(a)Definitions2 targets
Sec. 314.2(a)Definition of financial institution
Sec. 314.2(b)Definition of customer information
BIPA-SEC5-1Biometric Identifier Definition3 targets
Sec. 314.2(a)Definition of financial institution
Sec. 314.2(b)Definition of customer information
Sec. 314.4(c)(5)Multi-factor authentication
BIPA-SEC5-2Biometric Information Definition
Sec. 314.4(c)(5)Multi-factor authentication
CTDPA-1Definitions3 targets
NGC-5.260(i)Patron and Employee Data Protection
Sec. 314.2(a)Definition of financial institution
Sec. 314.2(b)Definition of customer information
NAIC-668-3Definitions5 targets
FTC-314.4gProgram Evaluation and Adjustment
FTC-314.4iBoard / Senior Officer Reporting
FTC-314.5Exemption for Small Institutions
Sec. 314.4(c)(3)Encryption of customer information
Sec. 314.4(c)(5)Multi-factor authentication

Controller Obligations(6 mappings)

CPA-CO-1Privacy Notice Requirements2 targets
NGC-5.260(i)Patron and Employee Data Protection
Sec. 314.2(b)Definition of customer information
CPA-CO-2Purpose Limitation2 targets
NGC-5.260(i)Patron and Employee Data Protection
Sec. 314.2(b)Definition of customer information
CPA-CO-3Data Minimization2 targets
NGC-5.260(i)Patron and Employee Data Protection
Sec. 314.2(b)Definition of customer information

+23 more mappings

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Related Comparisons

Other Connecticut Data Privacy Act (CTDPA) comparisons

Other FTC GLBA Safeguards Rule (16 CFR Part 314) comparisons

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What are the key differences between Connecticut Data Privacy Act (CTDPA) and FTC GLBA Safeguards Rule (16 CFR Part 314)?

Connecticut Data Privacy Act (CTDPA) has 72 controls across its framework, while FTC GLBA Safeguards Rule (16 CFR Part 314) covers 36 controls. Direct mapping analysis identifies 20 overlapping controls (28% coverage). The frameworks diverge most significantly in Consumer Rights, where 21 Connecticut Data Privacy Act (CTDPA) controls have no direct FTC GLBA Safeguards Rule (16 CFR Part 314) equivalent.

How many controls map between Connecticut Data Privacy Act (CTDPA) and FTC GLBA Safeguards Rule (16 CFR Part 314)?

Of 72 total Connecticut Data Privacy Act (CTDPA) controls, 20 map directly to FTC GLBA Safeguards Rule (16 CFR Part 314) controls — representing 28% coverage. The remaining 52 controls represent compliance gaps requiring additional documentation or compensating controls to satisfy both frameworks simultaneously.

What are the compliance gaps when mapping Connecticut Data Privacy Act (CTDPA) to FTC GLBA Safeguards Rule (16 CFR Part 314)?

52 Connecticut Data Privacy Act (CTDPA) controls have no direct equivalent in FTC GLBA Safeguards Rule (16 CFR Part 314). The highest concentration of gaps is in Consumer Rights with 21 unmapped controls. These gaps represent areas where additional controls, policies, or documentation must be created to achieve compliance with both frameworks.

Which control domains have the most gaps between Connecticut Data Privacy Act (CTDPA) and FTC GLBA Safeguards Rule (16 CFR Part 314)?

The domain with the highest gap count is Consumer Rights (21 gaps). Export the full domain-by-domain gap breakdown via the Professional tier to generate a prioritised remediation roadmap.

This platform provides educational compliance tools, not legal, regulatory, or professional compliance advice. Cross-framework mappings are AI-assisted interpretations and do not reproduce or replace official standards. Framework names and trademarks belong to their respective owners. Consult qualified professionals for your specific compliance requirements. See our Terms of Service.