Canada
Skill packages tagged with “Canada”
Canada Privacy & PIA
Guide to Canadian privacy law (PIPEDA, provincial private-sector laws, Bill C-27 status) and Privacy Impact Assessments for federal and private-sector data handling. Use with privacy_impact_validator to elaborate PIAs.
Canadian Cannabis — Facility Video
Draft visual monitoring and recording policies for Health Canada Cannabis facilities. Covers device placement, retention, and compliance for standard cultivation, processing, and sale for medical purposes (with possession).
Canadian Cannabis — Good Production Practices (GPP)
Draft GPP documentation under Part 5 of the Cannabis Regulations. Covers sanitation, storage, distribution, pest control, QA, preventive controls, testing, and the Quality Assurance Person (QAP) role for cultivation and processing licences.
Canadian Cannabis — Key Personnel
Identify and document key personnel for Health Canada Cannabis licences. Covers responsible person, head of security, master grower, QAP, directors and officers, security clearances, and organizational chart for OSP and CTLS.
Canadian Cannabis — Physical Security (OSP)
Draft the Organizational Security Plan (OSP) for Health Canada Cannabis licences. Covers applicant info, business overview, personnel requiring security clearance, head of security, organizational chart, and diversion risk mitigation.
Canadian Cannabis — Site Plans
Prepare site and floor plans for Health Canada Cannabis licence applications. Covers visual monitoring and intrusion detection device locations for the site evidence package (cultivation, processing, sale for medical purposes).
CSA NI 41-101 — Prospectus
Draft and validate a prospectus for Canadian offerings under NI 41-101 and Form 41-101F1 (general issuer). Ensures summary, risk factors, use of proceeds, business description, and financial information for SEDAR+ filing.
CSA NI 51-102 — Annual Information Form
Draft and validate the Annual Information Form (AIF) for Canadian reporting issuers under NI 51-102 Part 6 and Form 51-102F2. Ensures business description, risk factors, capital structure, directors and officers, and material contracts for SEDAR+ filing.
CSA NI 51-102 — Business Acquisition Report
Draft and validate the Business Acquisition Report (BAR) for Canadian reporting issuers under NI 51-102 Part 8 and Form 51-102F4. Ensures acquisition description, financial statements of the acquired business, and pro forma information for SEDAR+ filing.
CSA NI 51-102 — Information Circular
Draft and validate the Information Circular (proxy circular) for Canadian reporting issuers under NI 51-102 Part 9 and Form 51-102F5. Ensures matters to be voted on, director/officer disclosure, and executive compensation for SEDAR+ filing.
CSA NI 51-102 — Material Change Report
Draft and validate the Material Change Report for Canadian reporting issuers under NI 51-102 Part 7 and Form 51-102F3. Ensures description of material change, date, and impact for prompt SEDAR+ filing.
CSA NI 51-102 — MD&A
Draft and validate Management's Discussion & Analysis for Canadian reporting issuers under NI 51-102 Part 5 and Form 51-102F1. Ensures required themes and period-over-period discussion for SEDAR+ filing.
Health Canada & MDSAP
Align QMS documentation to MDSAP and Health Canada expectations. Guides users to map procedures and records to MDSAP/ISO 13485, prepare for audits, and use the mdsap_audit_aligner skill when available.
Law 25 — Confidentiality Incident (Breach)
Confidentiality incident notification and response under Quebec Law 25 and the CAI: risk of serious injury, notify CAI and individuals, register. Validation for required content and no personal data in CAI notification.
Law 25 — Governance Policy
Draft the policy on practices governing the protection of personal information under Quebec Law 25. Covers complaints process, staff roles and responsibilities, retention and destruction rules, and review cycle.
Law 25 — Privacy Impact Assessment
Draft a PIA under Quebec Law 25 for communication of personal information outside Quebec (s. 17). Covers four factors (sensitivity, purposes, protection measures, legal framework), adequate protection conclusion, and written agreement considerations.
Law 25 — Privacy Officer Designation
Draft the formal designation of the person in charge of the protection of personal information (Privacy Officer) under Quebec Law 25 (Bill 64). Board resolution or CEO/MD letter; validation for required elements.
Law 25 — Privacy Policy
Draft and update a public privacy policy in line with Quebec Law 25 (Bill 64). Covers purposes, rights, retention, complaints, and Privacy Officer contact. Includes validation for required elements.
Mining & Exploration — Reserve Estimate Validator
Guided elaboration and compliance validation of mineral resource and reserve technical reports under NI 43-101 (Canada) and JORC Code (Australia/South Africa), with QP/CP certificate checking and resource classification integrity verification.
OSFI B-10 — Third-Party Contracting
Draft standards for third-party written agreements (data security, audit rights, BCP) under OSFI B-10, including Annex 2 for high-risk/critical arrangements.
OSFI B-10 — Third-Party Exit and Contingency
Draft exit and contingency plans for third-party arrangements under OSFI B-10 (triggers, playbooks, review).
OSFI B-10 — Third-Party Monitoring
Draft ongoing monitoring and incident management for third-party arrangements under OSFI B-10 (metrics, escalation, OSFI incident reporting).
OSFI B-10 — Third-Party Risk Assessment
Draft risk identification, assessment, and due diligence for third-party arrangements under OSFI B-10 (criteria, concentration, subcontracting, Annex 1).
OSFI B-10 — Third-Party Risk Management Framework
Draft the enterprise-wide TPRMF (governance, accountabilities, lifecycle, inventory) for federally regulated financial institutions under OSFI B-10.
OSFI E-13 — RCM Framework
Draft the enterprise-wide Regulatory Compliance Management (RCM) framework document for federally regulated financial institutions under OSFI Guideline E-13.
OSFI E-13 — RCM Monitoring
Draft independent RCM monitoring and testing procedures (CCO-led) and IA validation for federally regulated financial institutions under OSFI E-13.
OSFI E-13 — RCM Procedures
Draft RCM procedures for identifying, risk-assessing, communicating, managing and mitigating regulatory compliance risk and day-to-day compliance under OSFI E-13.
OSFI E-13 — RCM Reporting
Draft internal RCM reporting procedures and report templates (Senior Management, CCO, IA) for federally regulated financial institutions under OSFI E-13.
OSFI E-13 — RCM Roles
Draft documented RCM roles and mandates (CCO, Senior Management, Internal Audit) for federally regulated financial institutions under OSFI E-13.
PIPEDA Privacy Management Framework
Draft and validate the Privacy Management Framework documentation for compliance with Canada's PIPEDA and the ten CSA Model Code principles. Covers privacy governance, PIA, breach reporting, and cross-border transfer documentation.