Title: Dirk VAN ERPS
1Gathering digital evidence by the EU Commission
in inspections
- Dirk VAN ERPS
- Head of Unit Cartels II
- Forensic IT Project Manager
- Madrid, 5 July 2013
2Digital Evidence Gathering Powers
- Reg. 1/2003, Art. 20, 2
- "The officials are empowered
- (b) to examine the books and other records
related to the business irrespective of the
medium on which they are stored - (c) to take or obtain in any form copies of or
extracts from such books or records"
3Digital Evidence Gathering Powers
- Means
- We can look at electronic documents
- We can make electronic copies of (electronic or
paper) documents - (see point 9 of Explanatory Note)
4Digital Evidence Gathering Powers
- DG Comp has started in April 2013 to take
systematically electronic copies of electronic
documents - DG Comp is planning to make electronic copies
(scans) of paper documents one test in June 2013
5The revised Explanatory Note
- What for
- - provide transparency to company, kind of FAQ
- - handed over to company representative at start
of inspection - - available on internet
- For information only and without prejudice to
formal interpretation of powers of investigation
6Clarifications in 18 March 2013 version
- - provides examples on company's IT environment
and storage media that can be searched "laptops,
desktops, tablets, mobile phones, CD-Roms, DVDs,
USB-key and so on" (point 10) - - reference to 'obligation to cooperate fully and
actively with the inspection' (point 11) - - more examples stemming from this
-"explaining organisation and IT environment"
7Clarifications in 18 March 2013 version
- "temporarily disconnecting running computers from
network, removing and re-installing hard drives
from computers and providing 'administrator
access rights'-support" - Possibility to use company hardware (that is not
wiped at the end by Commission) (pt 11) - Inspectors can keep storage media until end of
inspection but may return earlier after having
made forensic copy of data (pt 12)
8Clarifications in 18 March 2013 version
- Commission cleanses all Commission data carriers
used to transfer data at end of inspection (pt
13) - Revised Note to coincide with introduction of new
workflow -
9Previous Workflow
IT Inspector
Company ComputerNo Dedicated Search Tools
DG COMP FIT LaptopForensic Software
FIT Inspector
10New Workflow
IT Inspector
Nuix Operator
FIT Inspector
Nuix Reviewers
11Digital review method has not changed
- Possible relevant documents are 'collected' (no
systematic 'imaging' of entire content, but still
forensic copy from laptops/desktops) - Possible relevant documents are indexed
- Possible relevant documents are reviewed, now on
a 'platform' basis - Commission official decides whether document is
relevant - Company receives list and copy of relevant
documents
12Digital review method has not changed
- In principle, review is done on the spot, on the
basis of the content of the individual document,
by a Commission official (in the presence of
company representative) - Sealed envelope (or 'continued inspection')
procedure remains exceptional - Less than 10 of cases
- Often on request of company (as 'Nuix' was not
available on site)
13We are not obliged to
- Define the relevance of a document on the basis
of a Commission pair of eyes looking at the
individual document (but we do) - Describe our interpretation of our rights (but we
do transparency via Inspection Explanatory
Note) - Describe our workflow and our tools (but we do
article and presentation as this one) - Cleanse/Sanitise/Wipe our tools at the end of the
inspection (but we do)
14Legal issues
- Location of server irrelevant what is available
to company staff is available to Commission
official - LPP can be excluded from 'search data' and
reviewed separately between Team leader and
company representative - Keywords are not provided as they are only
'intelligence' helping to define possible
individual relevant documents (that are provided) - Chain of custody company signs 'document list'
that identifies individual documents by path file
and name and Hash Value for entire collection
15Legal issues
- 'Continued inspection' or 'sealed envelope'
procedure Nexans/Prysmian challenge General
Court measure implementing inspection decision
not separable act - Personal Data we process in compliance with Reg.
45/2001 applicable to Commission, but no
hindrance to obtain the data - No procedural harmonisation within ECN but
exchange of practices and experience in ECN
Forensic IT Working Group
16DEMO
- Presentation of the Demo CD that is provided to
inspected company at start of inspection to
explain procedure
17The End
- Thank you
- Any further questions?
- Dirk.Van-Erps_at_ec.europa.eu
- The views expressed are personal and do not
commit the Commission