California Consumers Protection Act & Relius Administration
I sent this in as a ticket the other day, which has been acknowledged, but I was wondering if anyone in the group had already done some legwork in trying to sort through this. I am curious if automated processes to enforce compliance within an on-prem Relius Administration environment will have to be created entirely by Relius customers with participants in California.
INITIAL REQUEST:
What is being done within the Relius Administration product to make the
software accommodate the requirements California Consumers Protection Act
2018 that takes effect on Jan. 1, 2020. Does FIS have any documentation or
statements about how the product will meet these standards or what steps
Relius customers must take to make the software compliant?
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This was response:
**EXTERNAL EMAIL**
Hi Alan,
Is this with regard to saving information such as web access, etc for the
participant? This information is currently available in Relius under
Utilities > Web Database Utilities > Transactions and will show the access
information for the participant for web activity as well as the sponsor and
CSR web (if utilized). This is retained in Relius until it is deleted by
your firm through Utilities > System Administration > Database Maintenance.
Thank you
Beth