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Reso 2024-3666
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Reso 2024-3666
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Last modified
8/5/2024 9:06:16 AM
Creation date
7/31/2024 3:57:23 PM
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Template:
CityClerk-Resolutions
Resolution Type
Resolution
Resolution Number
2024-3666
Date (mm/dd/yyyy)
06/20/2024
Supplemental fields
Comment
Sent to PD Chief Asst. Plesa to get remainder of signatures.
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INTERAGENCY AGREEMENT BETWEEN THE MIAMI BEACH POLICE DEPARTMENT <br />AND City of Sunny Isles Beach FOR CRIMINIAL JUSTICE <br />INFORMATION EXCHANGE AND SYSTEM USEAGE <br />WITNESSETH <br />WHEREAS, this Information Exchange Agreement is made and entered into, by the Miami Beach Police <br />Department hereafter referred to as MBPD, and The City of Sunny Isles Beach, through its Police Department 'hereafter referred <br />to as AGENCY2, are criminal justice agencies, formally recognized by the Federal Bureau of <br />Investigations. (FBI) and the Florida Department of Law Enforcement (FDLE); and <br />WHEREAS, MBPD and AGENCY2 are headquartered within the boundaries of the State of Florida; <br />WHEREAS, MBPD presently hosts and maintains an electronic database for the Vigilant License Plate <br />Reader (LPR) System to assist law enforcement agencies in detection, identification and recovery of stolen <br />vehicles, wanted persons, missing and/or endangered children/adults, and persons who have committed <br />serious and violent crimes. Additionally, the System can be utilized to assist in developing and pursuing <br />leads in criminal investigations by locating suspects, witnesses, and victims. for the creation and storage of <br />offense reports, hereafter referred to as Criminal Justice Information (CJI); and <br />WHEREAS, MBPD has elected to be the Lead Agency for statewide vetting of the Vigilant Vendor <br />(Vendor) personnel. <br />WHERAS, MBPD is willing to share Vendor employee background screening information obtained from <br />state and national fingerprint -based records checks with AGENCY2, in a manner consistent with the <br />requirements of the CSP; <br />WHEREAS, The Federal Bureau of Investigation (FBI) issued a memorandum informing states that LPR <br />extract data is now considered criminal justice information (CJI), and therefore must meet protection <br />requirements set forth under the CJIS Security Policy (CJISSECPOL). This information was released to all <br />law enforcement agencies by the FDLE via CJIS Memorandum 2022-11. <br />WHEREAS, The AGENCY2 wishes to access and utilize CJI from the MBPD's LPR System for the <br />administration of criminal justice; <br />NOW THEREFORE, the parties agree as follows: <br />1. The LPR System may be hosted and maintained locally at the MBPD or on a secure government - <br />approved cloud platform such as Microsoft Azure GovCloud, pursuant to approval by FDLE. <br />2. The AGENCY2 shall be entitled to use, through agents and employees of MBPD the LPR System. <br />a. The MBPD is required to conduct level two background checks on all LPR system Vendor <br />personnel with unescorted access to unencrypted CJI and retain those results under their ORI in <br />FALCON. <br />b. The MBPD shall ensure that Vendor notifies MBPD in the event Vendor hires or terminates <br />Vendor personnel so that the FALCON database can be updated. <br />c. The MBPD must ensure that all Vendor personnel have taken and maintain current CJISONLINE <br />Awareness Training prior to gaining access to the LPR System and annually thereafter. <br />d. The MBPD must ensure that a copy of the Security Addendum Certification Page is completed by <br />all Vendor personnel and must maintain a copy of the Certification Page. <br />e. The MBPD is responsible to ensure that Vendor personnel are meeting the requirements outlined <br />in the CJISSECPOL including all requirements for remote/logical access. <br />108 <br />
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