Director, Affirm Bank Information Security

Affirm Affirm · Fintech · United States · Remote · Bank Strategy

The Director of Affirm Bank Information Security will lead the development and implementation of the bank's information security and cybersecurity programs, ensuring compliance with regulatory expectations (FDIC, FFIEC) and protecting customer data. This role involves designing security frameworks, managing threat monitoring, overseeing incident response, and ensuring third-party risk oversight, data governance, and business continuity.

What you'd actually do

  1. Design, implement, and maintain a comprehensive Information Security Program consistent with FDIC guidance (e.g., FIL-66-2019, FIL-13-2021) and the Interagency Guidelines Establishing Information Security Standards.
  2. Establish and manage a threat monitoring and detection capability to identify, assess, and respond to cybersecurity risks.
  3. Evaluate the information security posture of third-party and affiliate service providers in accordance with the Bank’s Vendor Management Program and FDIC third-party risk guidance.
  4. Ensure compliance with applicable privacy and data protection requirements (e.g., GLBA, Regulation P, state privacy laws).
  5. Lead development and testing of the Bank’s Business Continuity and Disaster Recovery (BC/DR) plans, ensuring they are integrated with information security objectives.

Skills

Required

  • Information security program development
  • Cybersecurity and threat management
  • Third-party risk management
  • Data governance and privacy protection
  • Business continuity and disaster recovery
  • Incident response
  • Regulatory compliance (FDIC, FFIEC, GLBA, Regulation P)
  • Leadership and team management
  • Risk management
  • Communication with executive leadership and regulators

Nice to have

  • Experience in a de novo bank launch
  • Familiarity with FS-ISAC and law enforcement relationships
  • Cloud-based and hybrid environment security experience
  • Penetration testing experience

What the JD emphasized

  • FDIC guidance
  • FDIC third-party risk guidance
  • FDIC and FFIEC standards
  • regulatory expectations