Cross-Framework Mapping

Minnesota Consumer Data Privacy ActvsFTC GLBA Safeguards Rule (16 CFR Part 314)

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

6
Controls Mapped
2
Gaps Found
62%
Coverage

Need this as a report you can hand to an assessor? A coverage crosswalk for this pair can be built to order.

According to the TheArtOfService Compliance Knowledge Graph:

Minnesota Consumer Data Privacy Act maps to FTC GLBA Safeguards Rule (16 CFR Part 314) with 62% coverage across 5 directly mapped controls. Analysis of 8 Minnesota Consumer Data Privacy Act controls identifies 3 compliance gaps, primarily concentrated in Consumer Rights and AI Profiling Question - Minnesota CDPA.

Source: TheArtOfService Knowledge Graph | 8 controls analysed | 682 frameworks | 306K+ cross-framework mappings

Control Mappings

Showing 6 of 6 mapped controls across 5 domains. Sign up to explore all 306K+ mappings across 682 frameworks.

Chief Privacy Officer Governance - Minnesota CDPA(2 mappings)

MN-CDPA-Chief-Privacy-Officer-Section-325O-06-MN-UNIQUE-Designation-Privacy-Programme-TrainingMinnesota CDPA Chief Privacy Officer + Section 325O.06 + MINNESOTA-UNIQUE Designation + Privacy Programme + Training2 targets
FTC-Safeguards-9-Elements9 Safeguard Elements - Access, Inventory, Encryption, Secure-Dev, MFA, Disposal, Change-Mgmt, Monitoring, Pen-Test (16 CFR 314.4(c))
FTC-Safeguards-IR-Plan-BoardReporting-FTC-NotificationWritten Incident Response Plan + Board Reporting + FTC Breach Notification (16 CFR 314.4(h), (i), (j))

Data Privacy Assessment - Minnesota CDPA(1 mappings)

MN-CDPA-Data-Privacy-Assessment-DPIA-Section-325O-07-Sensitive-Targeted-Sale-Profiling-AI-Consumer-HealthMinnesota CDPA DPIA + Section 325O.07 + Sensitive + Targeted + Sale + Profiling + AI + Consumer Health
FTC-Safeguards-9-Elements9 Safeguard Elements - Access, Inventory, Encryption, Secure-Dev, MFA, Disposal, Change-Mgmt, Monitoring, Pen-Test (16 CFR 314.4(c))

Enforcement Sanctions and Data Broker Registration - Minnesota CDPA(1 mappings)

MN-CDPA-Enforcement-AG-Ellison-Section-325O-10-USD-7500-Per-Violation-Data-Broker-Registration-325O-13-Sunset-25-Jan-2026Minnesota CDPA Enforcement + AG Ellison + Section 325O.10 + USD 7,500 Per Violation + Data Broker Registration + Sunset 25 January 2026
FTC-Safeguards-Scope-DefsScope, Definitions and Financial Institution Applicability (16 CFR 314.1, 314.2)

Processor Contract Security and Pseudonymisation - Minnesota CDPA(1 mappings)

MN-CDPA-Processor-Contract-Security-Section-325O-08-Pseudonymisation-Section-325O-09-De-IdentificationMinnesota CDPA Processor + Section 325O.08 + Security + Pseudonymisation + Section 325O.09 + De-Identification
FTC-Safeguards-Scope-DefsScope, Definitions and Financial Institution Applicability (16 CFR 314.1, 314.2)

Universal Opt-Out Sensitive and Health Data - Minnesota CDPA(1 mappings)

MN-CDPA-Universal-Opt-Out-GPC-Sensitive-Data-Section-325O-02-Consumer-Health-Data-Children-Known-Child-TransgenderMinnesota CDPA Universal Opt-Out + GPC + Sensitive + Section 325O.02 + Consumer Health Data + Children + Known Child + Transgender
FTC-Safeguards-9-Elements9 Safeguard Elements - Access, Inventory, Encryption, Secure-Dev, MFA, Disposal, Change-Mgmt, Monitoring, Pen-Test (16 CFR 314.4(c))
Coverage crosswalk

A Minnesota Consumer Data Privacy Act to FTC GLBA Safeguards Rule (16 CFR Part 314) crosswalk, built to order

The table above lists candidate mappings. A crosswalk answers the narrower question you are probably here for: which FTC GLBA Safeguards Rule (16 CFR Part 314) controls your existing Minnesota Consumer Data Privacy Act work already satisfies, which are real gaps, and the reasoning behind every claim so you can check it. One pair, $299, one time.

Minnesota Consumer Data Privacy Act into FTC GLBA Safeguards Rule (16 CFR Part 314)
Not published yet

This direction has not been through crosswalk review and sign off, so no coverage figure is published for it. Reporting an unreviewed number would be worse than reporting none. It can be built to order at the same price as a pair that is already on the shelf.

If the two frameworks turn out to have too little in common for a crosswalk to help you, we say so and refund it rather than send a number worth nothing.

FTC GLBA Safeguards Rule (16 CFR Part 314) into Minnesota Consumer Data Privacy Act
Not published yet

This direction has not been through crosswalk review and sign off, so no coverage figure is published for it. Reporting an unreviewed number would be worse than reporting none. It can be built to order at the same price as a pair that is already on the shelf.

If the two frameworks turn out to have too little in common for a crosswalk to help you, we say so and refund it rather than send a number worth nothing.

Minnesota Consumer Data Privacy Act to FTC GLBA Safeguards Rule (16 CFR Part 314) (built to order)
$299
per framework pair, one time
  • Every evidenced control, with the reasoning behind it
  • Every gap, with what it requires
  • Its level of review stated plainly, not a bare number

Why this page shows two different percentages. The 62% in the header counts how many Minnesota Consumer Data Privacy Act controls carry at least one candidate mapping in the graph, before any review. The crosswalk percentage counts something stricter: how many FTC GLBA Safeguards Rule (16 CFR Part 314) controls are actually evidenced, after a pass that argued against each mapping and kept only what survived. They answer different questions and they are not meant to agree.

A crosswalk narrows the work. It does not replace an audit, and your assessor may take a different view on individual controls. Mappings between frameworks are judgements, not text printed in either standard, which is why every claim in the report shows its reasoning. Questions go to support@theartofservice.com.

Related Comparisons

Other Minnesota Consumer Data Privacy Act comparisons

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

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

Minnesota Consumer Data Privacy Act has 8 controls across its framework, while FTC GLBA Safeguards Rule (16 CFR Part 314) covers 11 controls. Direct mapping analysis identifies 5 overlapping controls (62% coverage). The frameworks diverge most significantly in Consumer Rights and AI Profiling Question - Minnesota CDPA, where 1 Minnesota Consumer Data Privacy Act controls have no direct FTC GLBA Safeguards Rule (16 CFR Part 314) equivalent.

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

Of 8 total Minnesota Consumer Data Privacy Act controls, 5 map directly to FTC GLBA Safeguards Rule (16 CFR Part 314) controls, representing 62% coverage. The remaining 3 controls represent compliance gaps requiring additional documentation or compensating controls to satisfy both frameworks simultaneously.

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

3 Minnesota Consumer Data Privacy Act controls have no direct equivalent in FTC GLBA Safeguards Rule (16 CFR Part 314). The highest concentration of gaps is in Consumer Rights and AI Profiling Question - Minnesota CDPA with 1 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 Minnesota Consumer Data Privacy Act and FTC GLBA Safeguards Rule (16 CFR Part 314)?

The domain with the highest gap count is Consumer Rights and AI Profiling Question - Minnesota CDPA (1 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.