US edition
Where your financial data goes, stated plainly.
Real controls, honest status: what is in place today and what is still in progress.
Finbryn treats client financial data as sensitive by default. A written information security program is in progress, and multi-factor authentication and least-privilege access are already in place. Below is every control, with its real status, not a marketing claim.
How access and data are handled
Least-privilege access
Team members reach only the client systems and files their role requires, not a shared blanket login.
Device policy
Work on client files happens under a written device policy, not on personal, unmanaged machines.
Where the work is done
Work is performed by our accounting team in Pakistan under contract with Northlane Solutions Inc.. Personal data transfers are covered by the safeguards described in the privacy policy, including a written data processing agreement signed before any data moves.
Tax data consent
Any US tax return information is handled under an IRC Section 7216 consent process, signed before that data reaches the team, exactly as US rules require.
Security
Controls and their current status
- In place6
- In progress7
- Planned3
Multi-factor authentication on client systems
Every team member connecting to a client's accounting software, bank feed, or shared storage does so behind multi-factor authentication. Single-factor password access to client systems is not permitted under our internal access policy, regardless of role or tenure.
Evidence: policy document
In placeLeast-privilege access control
Team members are granted access only to the specific client files and systems their engagement requires, not blanket access across the client base. Access is reviewed when an engagement ends or a role changes, and removed promptly rather than left open.
Evidence: policy document
In placeNo local storage of client files
Client accounting data is worked on inside the client's own software (QuickBooks Online, Xero, or similar) or an approved shared workspace, not downloaded and saved to an individual team member's laptop or personal device. This limits how many places a client's financial data can end up.
Evidence: policy document
In placeSigned non-disclosure agreement for every staff member
Every team member with any access to client financial information signs a non-disclosure agreement before their first day on an engagement, covering client data specifically, not just general company confidentiality. This is a condition of employment, not an optional add-on for larger accounts.
Evidence: policy document
In placeFull-disk encryption on team devices
Laptops used to access client accounting systems run full-disk encryption, so a lost or stolen device does not expose readable client data. This is a baseline device requirement before any team member is granted client system access, not a later hardening step.
Evidence: policy document
In placeDocumented onboarding and offboarding for client access
Every engagement follows a written checklist for granting access when a team member joins a client's books and revoking it when they leave the engagement or the company. This removes the common failure mode where a departed team member's access to a client's accounting software is simply forgotten.
Evidence: policy document
In placeWritten information security program (WISP)
A written information security program aligned to IRS Publication 4557, covering administrative, technical, and physical safeguards for taxpayer and client financial data, is being drafted ahead of handling any US tax preparation data. A summary will be published once it is adopted, and no US tax data will be processed before it is in place.
In progressData processing agreement templates with SCCs and IDTA
Standard Contractual Clauses for EU client data and a UK International Data Transfer Agreement, each paired with a transfer risk assessment, are being finalized with counsel to cover the cross-border transfer of client financial data from the UK and EU. These will be signed as part of onboarding for clients in those regions.
In progressSection 7216 consent workflow for US tax data
A written-consent workflow meeting the format required by Revenue Procedure 2013-14 is being built so that every US client explicitly consents, before any tax return information is disclosed, to that information being used and processed by our team. No US taxpayer data will be shared ahead of a signed consent.
In progressErrors and omissions insurance
A professional errors and omissions policy covering the firm's advisory and preparation-support work is in the process of being placed. We will not claim coverage is in force, or name a policy, until it is confirmed bound and the certificate is on file.
In progressCyber liability insurance
A cyber liability policy covering data breach response for client financial data is in the process of being placed alongside our errors and omissions coverage. As with that policy, we will not claim coverage exists until it is confirmed bound.
In progressThird-party software vendor review
A documented review of the security posture of every software vendor in our stack, QuickBooks Online, Xero, and connected apps, is being formalized into a standing checklist run before any new tool is adopted for client work, rather than left to individual judgment.
In progressWritten incident response plan
A documented, tested procedure for detecting, containing, and notifying clients of a security incident involving their data is being drafted alongside the written information security program. It will define notification timelines and responsibilities before it is relied on rather than after an incident occurs.
In progressSOC 2 Type I examination
We intend to engage an independent auditor for a SOC 2 Type I examination once the underlying controls above (WISP, incident response, vendor review, access management) are fully in place and operating, since a Type I report only has value once there is something real for the auditor to examine. No SOC 2 report exists today, and we will not use that language about ourselves until one is issued.
PlannedISO 27001 certification
ISO 27001 certification is a longer-term goal, particularly for UK and Australian clients where it carries more procurement weight, and would follow after SOC 2 readiness work is complete. No certification exists today and none is implied by any control listed above until it is actually issued.
PlannedIndependent penetration test
An independent, third-party penetration test of client-facing systems and internal tooling is planned as part of SOC 2 readiness work, to validate the access and encryption controls above rather than take them on faith. No test has been performed as of today, and none is claimed.
Planned
Questions
Questions about how data is handled
Does Finbryn hold a SOC 2 report?
No, not yet. A SOC 2 examination is planned, and we will not claim a SOC 2 report until one is issued.
Where does my data physically go?
Into your own QuickBooks Online or Xero file, accessed by our team under least-privilege permissions and a written device policy.
Do you sign a data processing agreement?
Yes. A written data processing agreement, built on Standard Contractual Clauses and signed before any data moves, covers how your data is transferred to and handled by our team.
How is my tax data handled differently?
US tax return information requires your written consent under IRC Section 7216 before it reaches the team, on top of the general access controls on this page.
What happens to my data if I stop working with Finbryn?
Your accounting file stays in your own QuickBooks Online, Xero or Sage account; nothing about your books lives in a system only we control. Access granted to our team is removed once the engagement ends, and any documents we held on your behalf are returned or deleted on request.
Do you use AI tools on client financial data?
Where AI-assisted tools support drafting or categorization, the output is reviewed by a senior principal before it reaches you, and client data is not used to train a public model. The specifics are covered in your engagement letter and our data processing agreement.
Next step
Ask us anything about how this works
If a control on this page needs more detail for your own compliance review, book a call and we will walk through it.