Refresh, Audit, and Staffing
Ongoing policies refresh
Keep policies and schedules up to date.
How we help
A records retention schedule or data retention policy is a living framework that must evolve as organizations and regulatory landscapes change. New record types emerge, legacy records become obsolete, legal citations are updated, and new recordkeeping and privacy laws take effect. All of these require thoughtful review to avoid creating unintended risk.
We provide ongoing refresh services for records retention schedules/data retention policies and related privacy notices.
If you’ve been asking yourself…
“How do we update our records retention policies and schedules?”
“How do we ensure compliance with new or changed recordkeeping requirements?”
“We are operating in new countries. Does our schedule reflect those new requirements?”
“Are we receiving or creating any new types of records? Does our schedule contain any old records that we are no longer creating and have expired?”
“How do we ensure our records retention schedule addresses records from newly added business units?”
“Has our records retention schedule been updated to reflect the retention of personal information? Have we documented the legitimate business need for retaining this information?”
“Have we updated our privacy policies to reflect updated privacy requirements? Have any new privacy rules been enacted? Are we operating in any new countries with either existing or new privacy rules?
…you’ve come to the right place.
Learn more about our services and explore related resources below.
Related resources
What We Do
Our ongoing policies refresh services
We help you keep policies and schedules up to date, ensuring they meet new legal, regulatory, business, and privacy requirements while preserving defensibility and reducing risk.
Ongoing Policies Refresh
We perform annual or periodic updates of records retention schedules/data retention polices and privacy policies and notices.
A records retention schedule/data retention policy must be periodically reviewed and updated. New record types are created, old record types become obsolete, legal citations change, and new recordkeeping regulations come into play.
Our structured review identifies new and revised legal and regulatory requirements, emerging privacy obligations, newly created or received record categories (including personal information), and records that are no longer generated. We also reassess retention periods based on current business value and operational needs.
This service can be performed on a predetermined yearly, 18-month, or other term.
Risks of Auto-Updating Schedules
Technology now permits schedules to be managed and automatically updated online as laws and regulations change. Automatically-updated retention periods may seem more compliant, but they present a new type of risk.
Regulators are looking for companies to demonstrate they are following their policies. If a schedule is updated every month, a company would in turn need to update their records processes and training every month. When a company’s policy changes, there is the expectation that processes are updated concurrently. This amount of process change is challenging for most organizations, increasing the likelihood of a gap between policy and implementation.
Connect with a member of the Contoural team to learn more about our information governance consulting services.
As an independent provider, Contoural does not sell or resell any products, take product referral fees, or provide discovery services such as matter-specific document identification, document collection, or document review. Our advice is based solely on the needs of our clients and is not driven by the sale of products.