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HP0-655 - Data Protector 5.5 Basics for Windows - Dump Information

Vendor : HP
Exam Code : HP0-655
Exam Name : Data Protector 5.5 Basics for Windows
Questions and Answers : 136 Q & A
Updated On : November 16, 2018
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HP0-655 Questions and Answers

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HP0-655 Data Protector 5.5 Basics for Windows

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HP0-655 exam Dumps Source : Data Protector 5.5 Basics for Windows

Test Code : HP0-655
Test Name : Data Protector 5.5 Basics for Windows
Vendor Name : HP
Q&A : 136 Real Questions

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HP HP Data Protector 5.5

HP records Protector and Deduplication solutions: Scalability and performance from the Core to the facet | killexams.com Real Questions and Pass4sure dumps

a huge variety of agencies have deployed disk-to-disk backup applied sciences to improve the velocity and reliability of their backup and disaster restoration operations. A becoming number of these groups seem to facts deduplication to boost retention periods and cut back the cost of storage for backups and disaster healing. This ESG Lab Validation report examines Hewlett Packard's family unit of backup and healing options that mix the vigor of HP StorageWorks digital Library systems (VLS) within the statistics core and the agility of HP D2D home equipment in faraway offices, tied at the side of HP records Protector backup and recuperation utility. particular consideration turned into paid to ease of implementation as neatly because the answer's skill to improve the velocity and reliability of disk-based records coverage whereas decreasing the charge of disk capacity and community bandwidth. probably the most concerns associated with determining a deduplication solution are additionally explored. To study the file, go to HP data Protector and Deduplication solutions: Scalability and efficiency from the Core to the edge.


HP extends StoreOnce deduplication to scale-out disk backup, records Protector | killexams.com Real Questions and Pass4sure dumps

Hewlett-Packard mentioned nowadays it is going to boost the capabilities of its StoreOnce deduplication backup application by using including it to the enterprise’s new scale-out disk system - the B6200 StoreOnce Backup device - and its records Protector backup software.

with the aid of bolstering a few of its backup offerings with StoreOnce’s dedupe expertise, HP is making an attempt to cut into EMC’s dominance within the dedupe backup market. EMC’s records area is the most desirable-promoting disk backup goal available in the market, and its Avamar backup application handles dedupe on the source.

The B6200 is HP’s biggest disk backup gadget that runs the inline StoreOnce deduplication utility. The B6200 scales to 768 TB of uncooked ability, and expands with the aid of adding pairs of controllers that HP calls couplets. A single couplet begins with 48 TB and scales in 24 TB increments. A couplet can scale to 192 TB earlier than one other couplet is needed. The optimum of four couplets -- eight controllers -- brings the equipment to 768 TB earlier than dedupe, and HP claims a maxxed out B6200 can ingest and restore information at 28 TB per hour. The device can offer protection to up to 384 faraway sites.

HP also claims that the couplets present excessive availability: if one controller fails, it'll shift operations to the other controller within the couplet during the equipment’s fast restart characteristic.

The listing expense begins at $250,000 for a forty eight TB device.

HP storage advertising and marketing director Craig Nunes referred to the B6200 has a efficiency facet over information domain, which claims an ingest fee of 26.3 TB per hour on its global Deduplication Array and 14.7 TB per hour on its enterprise DD890 equipment. Nunes claims HP also has an knowledge through the use of the equal deduplication algorithm in records Protector and the B6200. EMC’s Avamar and records area methods can also be centrally managed, however those items use different dedupe algorithms so the information has to be rehydrated and deduped once more if it goes from one gadget to an extra.

“here's the starting of a 2d wave of deduplication, or deduplication 2.0,” Nunes pointed out.

For the most part, HP watched dedupe’s first wave from the shore. It sells Sepaton’s dedupe application in an business digital tape library (VTL) via an aftermarket deal, but its internally developed StoreOnce become restrained to entry-stage programs earlier and hasn’t been a huge vendor for HP.

HP plans to ultimately incorporate StoreOnce deduplication for fundamental information and envisions a federated deduplication structure that uses one dedupe algorithm across all statistics tiers.

“The StoreOnce vision is to take that algorithm and force it in every single place,” Nunes referred to. “We need to take it to the client, the application server, Symantec OST, VM-based mostly backup and to primary storage. We see a great potential, principally with scale-out file storage.”

HP’s overall StoreOnce deduplication imaginative and prescient is similar to that of Dell’s plans for dedupe. That business included its Ocarina dedupe into its DX object-primarily based archiving system this 12 months. Dell plans so as to add dedupe to its Compellent and EqualLogic SAN techniques subsequent 12 months, with long term plans to make use of it in file servers, software servers and backup techniques.

HP dedupe: Too late or just in time?

Analysts say HP’s late arrival as a full-fledged backup dedupe seller can be overcome if its technology is first rate sufficient. Arun Taneja, consulting analyst of the Taneja group, mentioned while HP has ceded the early market to EMC and others, having the equal dedupe know-how across the board can support it jump-frog opponents.

“I’d quite err on the side of leadership rather than being late to the game,” Taneja stated. “And HP is late to the market relative of other players, nonetheless it has the talents of getting a totally baked approach. As a client, I might want to select source dedupe because I actually have additional processing power in my application servers, or I may are looking to preserve the usage of some backup utility product and dedupe on the goal degree. Ideally, that may still be the identical expertise. EMC is the unquestioned leader, but Avamar and information domain are two distinct applied sciences. They’re managed from the equal console, however which you can’t make two animals into one animal.”

business method group senior analyst Lauren Whitehouse is of the same opinion that having a typical dedupe algorithm is an capabilities for HP.

She noted Symantec has the equal dedupe algorithm with its NetBackup and Backup Exec application and appliances running those apps, “however HP is gunning for EMC because facts area is so robust. HP goes to name out EMC as a result of Avamar doesn’t have the identical algorithm as statistics area.”

She said the B6200’s scale-out structure can supply an additional selling element for HP. NEC and ExaGrid dedupe boxes scale in the same vogue, however data domain containers develop in the greater traditional scale up components.

adding dedupe to facts Protector became lengthy late, she observed - through now, even most small backup carriers support dedupe of their backup application. “this is whatever thing that changed into desperately vital for statistics Protector,” Whitehouse observed. “but closing to market doesn’t have to be so unhealthy if in case you have an improved story.”


catastrophe healing situations with HP information Protector | killexams.com Real Questions and Pass4sure dumps

for instance it's a late Monday morning, as a result of something always comes up earlier than you are required at your vocation, and by using skill of unfortunate instances, upon arrival you're faced with a clustered server that has supplied you with stack dump because of an electronic mail Alert despatched from SQL Response (now not a pitch, simply a true world illustration of what I depend on).  The Alert shows to you that virtual reminiscence at the time changed into, for instance, 3 times the physical RAM made obtainable to the particular example in query - ouch (ah, the morning couldn't have all started off less demanding, eh?).  then you definately've logged into the cluster and observed several databases in Suspect Mode, ok, bring it on then, here is going to be a enjoyable one :)

 

given that restoring native backups is preferable and that you've got tried to copy them out of your network backup place and also you're nonetheless stuffed (as within the Scotch phrase), then, an extra answer can be to are attempting and reattach the databases (in view that the information have been there still, however access denied error avoided me from the use of them, of direction) – as a result of for anything intent, the cluster has flipped your instance onto a different node and the databases don't seem to be accessible (!) folder concerns, not configured appropriate (arghhh). That failed to work…so now, a right away restoration from tape ends up as the only choice.  here's where a your disaster recovery solution may still kick in, as setup, in this case, with Hewlett Packard's information Protector. or not it's a good tool that may aid out to improve the databases from tape - so long as you are wholly generic with a way to use it (as Brent Ozar has defined in this first rate publish, please be sure you run via fix drills...so that the precise disaster healing experience itself isn't a disaster either).

 If you don't have a backup plan your company's operations could grind to a halt, or you could be in a mega-billion dollar issue like Venice to control the water level in its marshy bay.

A prerequisite for work with this tape backup administration tool is to make certain that the licensed client tools are put in on the server in question: namely the Disk, Media/support, user Interface and MS SQL Integration. if you're to use Hewlett Packard's records Protector tool frequently, which is a stunning straight-forward, create a SQL backup community (selected your in-condominium nomenclature) for your HP facts Protector supervisor client device (existing version put in A.06.10). inside the enterprise day, those that are managing your tape solution should still be capable of get to you the specific tape in query (if no longer already loaded) – here is assuming that you just do not have the most beneficial Direct connected Storage to Tape answer to that selected server, and your HP DP is centralised throughout your SQL Server Infrastructure (the gateway, or mobilephone server, as they describe in their techie defs.). finding the offending server within the backups community, all you ought to do is click on the example, and then click on on the database to be restored and there you go (next, conclude), problem goes away…unless you must restoration onto a database with a distinct name - now this is the best true pesky challenge (from the aspect of view of a lazy element-and-click DBA).

 

What i might consider the worst case scenario with respect to depending on HP statistics Protector would be should you must restore a database overtop of a different database that holds a unique name, and resides on an additional server wholly. HP information Protector will give you a replace error from the DP supervisor tool if you are trying this, and there's no handy work-round by the use of this GUI tool (as you may additionally even be used to doing with the SSMS GUI, or by using code, right here), even in the event you use the identical observation you see within the logs. fortunately, there's a command line answer – see beneath for full details, short instance next.  additionally, be very cautious with recognize to the use of HP information protector on clusters – you ought to make sure that each node has the application properly put in and configured.

 

for instance you're doing a database restore, where you need to repair overtop of a different database with the backup from one maintaining different names, please observe this repair command example:

Omni -mssql -barhost SERVERNAME -base DBNAME my_session_id -asbase NEWDBNAME -file logical_datafilename drive:\datafilelocation.mdf -file logicalLogfile_name pressure:\logfilelocation.ldf -replace

 

here below are extra particulars on the way to fix the use of the Command Line client Utility of HP information protector, taken without delay from web page fifty three of their own documentation

( C:\application information\OmniBack\medical doctors\IntegrationMS.pdf ):

 

Restoring the use of the facts Protector CLI

From the Data_Protector_home\bin directory, run:

omnir -mssql -barhost ClientName [-destination ClientName]

[-instance SourceInstanceName] [-destinstance

DestinationInstanceName] —base DBName [—session SessionID]

[MSSQL_OPTIONS]... MSSQL_OPTIONS

-asbase NewDBName -file LogicalFileName1 PhysicalFileName1

[-file LogicalFileName2 PhysicalFileName2]... -replace -nochain -recuperation rec

-standby File

DATAFILE_OPTIONS -substitute -nochain -recuperation norec

supply the Session_ID of the backup session. For object copies, don't use the

replica session identification, but the object backup identity (equals the article backup session identification).

Integration e-book for Microsoft purposes fifty three

For description of the CLI options, see the omnir man page or the HP data Protector

command line interface reference.

Examples

To repair the database RONA running on the SQL Server ALMA to the identical

vacation spot, run:

omnir -msssql -barhost ALMA -base RONA

To fix the records file DATAFILE_01 in the file group FILEGROUP_02 of the

database RONA running on the SQL Server ALMA to the identical destination, run:

omnir -MSSQL -barhost ALMA -base RONA —datafile

FILEGROUP_02/DATAFILE_01 —session 2008/10/17-three

Restoring to a further SQL Server illustration or/and an extra SQL Server

must haves

• both SQL Servers must have the same local settings (code page and sort order).

This advice is displayed in the session monitor for each and every backup.

• The target SQL Server have to be configured and stay in the same facts Protector

phone as the long-established SQL Server.

Hope this helps in figuring out what disaster recovery answer you selected to go along with.

i would like to hear from my readers of which is their favourite in case you can be so variety.

P.S. be certain to have customer equipment installed on ALL nodes to your cluster, right click on the customer and verify installing to make sure...then run a single small database backup (live drill to tape in fact) to examine that it is all okay.


HP0-655 Data Protector 5.5 Basics for Windows

Study Guide Prepared by Killexams.com HP Dumps Experts


Killexams.com HP0-655 Dumps and Real Questions

100% Real Questions - Exam Pass Guarantee with High Marks - Just Memorize the Answers



HP0-655 exam Dumps Source : Data Protector 5.5 Basics for Windows

Test Code : HP0-655
Test Name : Data Protector 5.5 Basics for Windows
Vendor Name : HP
Q&A : 136 Real Questions

It is great to have HP0-655 dumps.
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Online Safety Guide for Traders and Investors | killexams.com real questions and Pass4sure dumps

Online Safety Guide for Traders and Investors

When it comes to big money, you should forget the word “overmanagement.” The fruits of your labor are a plum for frauds: brazen schemes are pulled over people, who don’t know how to protect their money. To help traders and investors, we’ve collected some basic tips on Internet safety.

The Basic Rules Of Money Treatment

The Internet is a dangerous jungle – especially for those of us who use it in business or at least once shopped online with his credit card. You never know what waits for you behind a facade of a stylish website. Modern fraudulence became so inventive that people realize they’ve been deceived only when their accounts are left deflated.

The good news is – almost 99% of all money stealing crimes could have been prevented with simple facts checking. This is the reason why it’s so important to stay in tune with the latest analytic materials in the area of online safety – as they say, forewarned is forearmed.

Working with money, you should know the complexity of their gaining. And, take it from us, losing your savings is much easier and faster than their rising, so strong security considerations are a must. Here are some basic tips on how to protect your savings from malevolent people and organizations.

Having A Safe Internet Connection

Frauds’ technological approach requires a strong counterblast in the form of data encryption.

If you check the address bar of our site, you can see that its name starts with HTTPS abbreviation, which is the name of the connection protocol between your device and our server. This is the improved version of the HTTP protocol, where the last “s” means “secure.” When you visit some site for the first time, you should check its web address to understand its trustworthiness: sharing your data on sites with HTTP connection is extremely insecure and risky.

But, aside from scammy sites, your data gets in danger every time you use public Wi-Fi. When your money transactions, bank account operations, chat conversations, etc. travel to the Internet, they pass intermediaries – your Internet provider or the owner of the Wi-Fi hotspot you’re surfing from. As soon as the data is transferred “as-is,” it’s very easy for any member of the intermediaries chain to check your traffic and browsing history.

To stop third parties from looming over your shoulder, a VPN is a must-have. Consider using the best VPN for Mac, Windows, Android or iOS. The greatest product has to meet such requirements:

  • have a fast connection speed
  • use reliable VPN-protocols, like OpenVPN
  • cover a sufficient amount of countries around the world
  • have a reliable Privacy Policy
  • work on the users’ payments, not taking money from third parties or government
  • Handling Passwords Correctly

    The simplest (and the most efficient, probably) thing you may do to protect your money is to take password creation responsibly. If your password from the online bank consists of letters in alphabetical order, “QWERTY” or classical “12345”, then we have some bad news for you – you’re doing everything wrong. Three basic “password” rules are:

  • Use a random password generator for 7-30 symbols-in-length keys, which must include lower– and uppercase letters, numbers and special symbols. The absolute “no” is a password with your name, surname, birthdate, or pet nickname.
  • Do not store passwords in a single text file on your laptop, smartphone; don’t leave the paper “hints” near your working place. The perfect variant is to memorize keys, but if that’s impossible, then consider using a reliable soft for the password storage.
  • Use different passwords for every single account you’ve created.
  • Other Useful Measures To Take
  • Remember not to share your credit card data (card validity, CVV, secret word from your account) with anyone, even if you receive an “official” request from your very own bank facility. No entity has a right to ask you for such information, so, if a polite consultant asks you to spell out your PIN-code, then you can equally politely hang up the phone.
  • Use double-factor authorization. It may seem complicated at first, yet, the advantages outshine the efforts – knowing what activity happens on your account, you double its protection.
  • Do not open files or click on links from the unknown sources. If you receive a suspicious letter on the email, the best decision would be to delete this message immediately.
  • Now, when you know the basics of online security, we’re sure that no fraud will be able to mislead or steal from you: by following these simple rules, you decrease the risks of your data or money stealing to an absolute zero.

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    Data Center Tips of the Trade: Fire and Smoke Resistance | killexams.com real questions and Pass4sure dumps

    As the two previous articles in this series presented, the means-of-egress system (exit access, exit and exit discharge) and its means-of-egress components (doors, corridors, stairs and elevators) combine to establish a path through “safe” evacuation zones from any occupied place in a building to the safety of a public way. Additionally, to help protect all occupants during a fire and to limit the spread of fire and smoke, the other parts of the building (structural system, exterior walls, floor-ceiling assemblies, roof assemblies, etc.) must be addressed as well. Coupled with fire suppression, it’s the fire- and smoke-resistance features that actually make these safe zones safe.

    The 2015 International Building Code’s section 701.1 summarizes a basic understanding of this fire- and/or smoke-resistance goal: “[T]he materials, systems and assemblies used for structural fire resistance and fire-resistance-rated construction separation of adjacent spaces [are imposed] to safeguard against the spread of fire and smoke within a building and the spread of fire to or from buildings.”

    Fire-Resistance Ratings

    The IBC has established parameters that determine the requirements for fire- and/or smoke-resistance ratings of construction, penetrations, joint systems and opening protectives. Regarding the requirements for fire-resistance ratings of penetrations (IBC 714), the article in this series titled “Penetration Firestopping” covered this wide-ranging topic in depth, so repeating that information here is unnecessary. The requirements for fire-resistance ratings of joint systems (IBC 715) and opening protectives (IBC 716) are such extensive topics that they will be addressed in their own future articles.

    But to address the requirements for fire-resistance ratings of construction (building elements, components or assemblies), the IBC established that its parameters are determined in one of three ways: those that pass the tests defined in the American Standards for Testing and Materials’ ASTM E119, those that pass the tests defined in Underwriter Laboratories’ UL 263 and those that comply with the IBC’s Section 703.3. This article focuses on fire-resistance ratings of construction and presents them in two segments: testing methods and construction requirements.

    Fire-Resistance Testing Methods

    As noted above, the three basic testing methods for determining the construction’s fire-resistance ratings are ASTM E119, UL 263 and IBC 703.3. These methods, formulated by three independent agencies (ASTM, UL and IBC), are further defined as follows:

  • ASTM E119—Standard Test Methods for Fire Tests of Building Construction and Materials: This fire test was developed for evaluating walls, floors and roofs under a fire by measuring the duration and transmission of heat and hot gases through the test specimen, as well as the specimen’s ability to carry its loads.
  • UL 263—Standard for Fire Tests of Building Construction and Materials: This fire test was developed for evaluating structural material (bearing walls, beams, columns, slabs, etc.) for floors and roofs under a fire. It measures the duration and transmission of heat and hot gases through the test specimen that are hot enough to “ignite cotton waste” in the specimen, as well as measuring its ability to carry its loads.
  • IBC 703.3—Methods for Determining Fire-Resistance: The basic takeaway from this testing method is that it nevertheless relies on the fire exposure and criteria specified in the above two methods. Notwithstanding that fact, the construction’s fire-resistance rating per IBC 703.3 is allowed to employ any of six procedures: (1) “fire-resistive designs documented in approved sources,” (2) “prescriptive designs…as prescribed in Section 721,” (3) “calculations in accordance with Section 722,” (4) “engineering analysis” per test procedures defined by ASTM E119 or UL 263, (5) “alternative protection methods as allowed by Section 104.11” (which, in part, is when approved by the local building official as meeting the intent of the code) and (6) “fire-resistive designs certified by an approved agency” (such as the ASTM, UL, FM or OSU).
  • Fire-Resistance Construction Requirements

    The IBC addresses fire-resistance construction—representing the building’s elements, components and assemblies—in 22 separate topics. Each topic is far too extensive to fully explore in this article, so it only touches on the salient issues.

    Fire-Resistance Ratings and Fire Tests (IBC 703)

    This section’s requirements are as follows. Interior walls that have a “non-symmetrical profile” shall be tested at the least-fire-resistive side or from both sides, and any material in the wall that was not part of the test must have a report proving that the wall’s fire resistance is not reduced. Under the prescriptive fire-resistance method noted in this chapter’s Section 721, the fire-resistance method shall be established without an automatic fire sprinkler or other suppression system being part of the test. Noncombustibility tests for elementary materials shall be per ASTM E 136, and tests for composite materials with no greater than a 50 flame-spread index (FSI) per ASTM E 84 or UL 723 shall be accepted as being noncombustible. Fire-resistance-rated glazing shall be permitted if it meets ASTM E119 or UL 263, complies with Section 707, and bears an official mark. Also, permanent markings shall be applied to all fire or smoke barriers inside all accessible concealed floor, floor-ceiling or attic spaces.

    Protection of Structural Members (IBC 704)

    The primary issue of this topic is that the fire-resistive protection for structural members is typically required, and the ratings shall conform to Table 601’s Fire-Resistance Rating Requirements. The secondary issues of this topic are as follows. When columns and other primary structural members are required to have fire resistance, they shall have complete encasement on all sides for their full height and at connections to other structural members. When secondary structural members are required to have fire resistance, most shall be protected by “individual encasement protection,” and the structural bolts, rivets and so on for structural connections shall have at least one inch of fire-protection coverage.

    The thickness of fire-resistive protection of masonry reinforcement (rebar, etc.) shall be measured from the outside face of the reinforcement, with the exception that stirrups and spiral reinforcement ties can penetrate no more than half an inch into the protection.

    Fire-resistive protection of structural members shall not be penetrated or embedded by utility-service equipment such as pipes, wires, conduits, duct and so on. Fire-resistive protection of structural members subject to vehicle or other impacts (other than concrete columns or those in parking a garage) shall be protected by at least five-foot-tall noncombustible jackets or corner guards, and exterior load-bearing structural members shall be in accordance with Tables 601 and 602. But the bottom flange of lintels, shelf angles and plates needn’t have fire-resistive protection for those structural members that span no more than 6'4" or those that aren’t part of the primary structural frame.

    Sprayed fire-resistant materials (SFRMs) shall be per the manufacturer’s installation instructions for substrate temperatures and surface conditions, as well as for SFRM mixing, curing and so on. Surfaces receiving SFRM shall be free of conditions that prevent adhesion (dirt, oil, grease, loose scale, etc.), but primed, painted, or encapsulated steel that allows SFRM adhesion is permitted.

    Exterior Walls (IBC 705). For buildings on the same lot, the fire-restive requirements shall be considered to have an imaginary property line between them, with Table 602’s required minimum distances applying from the building face to this imaginary line. Exterior walls must meet the fire-resistive ratings defined in Tables 601 and 602; those with a fire-separation distance greater than 10 feet shall be rated for exposure to fire on the inside of the wall, and those 10 feet or less shall be rated for exposure to fire on both sides of the wall.

    Door and window openings, of course, are allowed in exterior walls that are fire rated, but they must meet the requirements defined for two possible scenarios: unprotected and protected. Protected openings are those that have automatically dropping fire shutters, an automatic water-deluge system or fire-rated assemblies such as rated frames with rated doors and/or fire-rated glass (per IBC 716). A little-known code requirement is the vertical separation of openings (IBC 705.8.5): openings in the same floor must be at least five feet apart, and openings in adjacent stories must be at least three feet apart, with the exterior wall area between them being a minimum of one-hour construction (and rated for exposure to fire on both sides).

    Unprotected openings are typically limited in percentages as described in Table 705.8, which lists requirements for eight fire-separation distances. For example: exterior walls set within a fire-separation distance less than three feet are not allowed to have any openings (unprotected or protected); in all use groups (other than H), unlimited unprotected openings are allowed on the first floor above grade if its exterior wall has a fire-separation distance of more than 15 feet. Sprinklered buildings with a fire-separation distance of 20 feet or more have no area limits on exterior-wall openings, and sprinklered or nonsprinklered, protected or unprotected buildings with a fire separation of 30 feet or more have no area limits on exterior-wall openings.

    Furthermore, projections of cornices, eave overhangs, exterior balconies and so on that are beyond the exterior wall shall be set at the minimum fire-separation distances defined in Table 705.2 and Section 1406. Exterior exit stairways and ramps as well as exterior egress balconies shall comply with Sections 1021 Egress Balconies and 1027 Exterior Exit Stairways and Ramps. Plus, combustible projections shall be fire rated no less than one hour.

    Fire Walls (IBC 706)

    The basic concept and benefit of a “fire wall” is that the code deems it to effectively separate a larger whole building into separate smaller buildings. This function is most useful for large buildings in the more combustible construction categories (Types 2 through 5), in that a building too large to meet the code’s maximum-area restrictions can be considered an assemblage of smaller buildings when fire walls are added.

    But its large benefit is coupled with numerous requirements, in that a fire wall shall a) be considered a “party wall” and shall not have any openings if they’re located on a property line used for two separate buildings; b) be designed and built such that if the structure collapses on either side during a fire, it shall remain standing; c) have a fire-resistance rating as defined in Table 706.4,which for typical data center use groups is two hours for type S-2; three hours for B, S-1, H-3 and H-5; and four hours for H-1 and H-2; d) be continuous horizontally and also extend out to horizontal projections such as roof overhangs and balconies; e) be continuous vertically, from the foundation up to 30 inches above the roofs on each side typically, but it can terminate at the underside of noncombustible roof sheathing, deck or slab, provided certain conditions are met. Moreover, the fire wall shall f) have its intersecting exterior walls constructed with a one-hour fire-resistive rating and any openings for at least four feet to each side of the fire wall constructed with three-quarter-hour protection, and g) have no openings in adjacent walls or roofs (such as exterior windows, doors, roof access, etc.) located within 4' of a fire wall.

    Fire Barriers (IBC 707)

    Fire barriers, such as fire-rated walls and floor-ceiling assemblies, provide separate fire zones in the building to protect most means-of-egress pathways (such as exit stairways, exit ramps, exit access corridors and horizontal exits), to prevent the spread of fire and smoke through vertical shafts, to often separate atriums and control areas from other parts of the building, and to provide separation of mixed uses.

    Fire barriers must have a fire-resistance rating as defined in Table 706.3.10, with data center use groups of S, B and sometimes H ratings being the following: two hours for S-2, B, H-4 and H-5; three hours for S-1; and four hours for H-1 and H-2.

    Additional special considerations for fire barriers include the following: they also need continuity, and their supporting construction must also be fire rated with the same rating; hollow vertical spaces must have fire blocking; openings in fire barriers must be protected per the requirements of IBC 716; individual openings in a fire barrier must not exceed 156 square feet, while aggregate openings must not exceed 25% of any single barrier; penetrations into a fire barrier must be constructed with a tested penetration-firestopping system (per IBC 714), and joints must be constructed with a tested joint system (per IBC 715).

    Smoke Barriers (IBC 709)

    Both horizontal and vertical smoke barriers require a one-hour fire-resistance rating and must be continuous from the top of construction at its start below (foundation, floor or floor/ceiling assembly) to the underside of the construction above (floor/ceiling assembly, roof, deck, etc.). Although continuity typically includes interstitial spaces, such as above drop ceilings and through mechanical plenums, an exception applies if the ceilings or exterior walls are built to prevent the passage of fire and smoke equivalent to the level that the smoke barrier provides.

    In addition, several special continuity requirements also apply: smoke barriers enclosing areas of refuge (1009.6.4) and elevator lobbies (405.4.3, 3007.6.2, 3008.6.2) are meant to ensure that these ADA-oriented areas are protected by an effective barrier; penetrations must conform to section 714; fire-resistant joint systems must conform to 715; window and door openings must conform to 716; and ducts and air-transfer openings must conform to 717.

    Horizontal Assemblies (IBC 711)

    The IBC definition of horizontal assemblies is a “fire-resistance-rated floor (floor-ceiling assembly) or roof assembly of materials designed to restrict the spread of fire in which continuity is maintained.” Similar to the fire-barriers and smoke-barriers sections, horizontal assemblies also have continuity requirements (except for vertical openings as permitted) and supporting-construction requirements (where the structure’s fire resistance is the same as in the horizontal assembly).

    Although horizontal assemblies must have a fire-resistance rating of at least what Table 707.3.10 defines, additional special conditions bump up its minimum rating. For example, when horizontal assemblies separate mixed occupancies, they must conform to the requirements of section 508.4; separating fire areas must conform to section 507.3.10; separating smoke compartments must conform to 709; and separating incidental uses must conform to 509.

    Vertical Openings (IBC 712)

    Vertical openings in a rated floor/ceiling or roof-assembly system are essentially breaches in a continuous fire-resistive system. Typical examples are stairs, elevators, miscellaneous shaft enclosures (mechanical ducts, banked conduits, etc.) and penetrations (plumbing pipes, electrical conduits, etc.).

    Since these penetrations are essential to the proper functioning, operations and inhabitation of every data center, the code allows penetrations to be “permitted where protected,” thereby still maintaining the integrity of the penetrated assembly’s fire resistance. Although most vertical openings in Section 712 are addressed as references to other, more in-depth sections of the code, it lists requirements for a few building elements, two of which are the following:

  • Two-story openings are permitted if the opening connects no more than two stories, doesn’t penetrate any fire areas or smoke barriers, isn’t open to nonsprinklered corridor on a nonsprinklered floor, and is separated from other vertical openings (floor openings, air-transfer openings, mechanical shafts, etc.).
  • Except as required in Section 705.8.6, skylights and other roof penetrations are allowed to be unprotected “provided that the structural integrity of fire-resistance-rated roof assembly is maintained.”
  • The other protections noted by this code section mostly refer to requirements listed in other sections of the code; examples are shaft enclosures per section 713, penetrations per section 714, joint systems per sections 712 and 715, ducts and transfer openings per 717, atriums per 404, mezzanines per 505, exit-access stairways and ramps per 1019, corridors per 1020, and elevators per Section 713 and Chapter 30.

    Final Thoughts

    To help keep all occupants safe during typical occupation and especially while egressing during a fire, limiting the spread of fire and smoke in all parts of the building is critical. This task pertains not only to the extremely important means-of-egress system (exit access, exit and exit discharge) and its means-of-egress components (doors, corridors, stairs and elevators), but also to the other parts of the building (structural system, exterior walls, floor-ceiling assemblies and roof assemblies). Adhering to the proper fire- and/or smoke-resistance requirements will help make the building a safe working environment and provide safe evacuation from any occupied place to the safety of a public way.

    Leading article image courtesy of DVA Architects

    About the Author

    fire resistanceDean Ventola, RA, NCARB, LEED AP BD+C, is the Director of Construction Administration at DVA Architects in Gaithersburg, MD, a nationally prominent mission-critical data center architect.

    Data Center Tips of the Trade: Fire and Smoke Resistance was last modified: November 12th, 2018 by Dean Ventola


    Microsoft’s Windows 10 breaches privacy law, says Dutch DPA | killexams.com real questions and Pass4sure dumps

    The Dutch data protection authority has concluded that Microsoft’s Windows 10 operating system breaches local privacy law on account of its collection of telemetry metadata. The OS has been available since the end of July 2015.

    Personal data being harvested by default by Microsoft can include the URL of every website visited if the Windows 10 user is browsing the web with Microsoft’s Edge browser (and has not opted out of full telemetry), as well as data about usage of all installed apps on their device — including frequency of use; how often apps are active; and the amount of seconds usage of mouse, keyboard, pen or touchscreen.

    Microsoft says it gathers and processes Windows 10 users’ data in order to fix errors, keep devices up-to-date and secure and improve its own products and services.

    But if users have not opted out it also uses data from both a basic and full telemetry level to show personalised advertisements in Windows and Edge (including all apps for sale in the Windows store), and also for showing personalised advertisements in other apps.

    According to the local DPA there are more than 4 million active devices using Windows 10 Home and Pro in the Netherlands.

    After investigating several versions of the OS (including Windows 10 Home and Pro), the Dutch DPA said today it has identified multiple breaches of data protection law.

    “Microsoft does not clearly inform users about the type of data it uses, and for which purpose. Also, people cannot provide valid consent for the processing of their personal data, because of the approach used by Microsoft. The company does not clearly inform users that it continuously collects personal data about the usage of apps and web surfing behaviour through its web browser Edge, when the default settings are used,” it writes.

    “Due to Microsoft’s approach users lack control of their data. They are not informed which data are being used for what purpose, neither that based on these data, personalised advertisements and recommendations can be presented, if those users have not opted out from these default settings on installation or afterwards.”

    “Microsoft offers users an overview of the categories of data that it collects through basic telemetry, but only informs people in a general way, with examples, about the categories of personal data it collects through full telemetry. The way Microsoft collects data at the full telemetry level is unpredictable. Microsoft can use the collected data for the various purposes, described in a very general way. Through this combination of purposes and the lack of transparency Microsoft cannot obtain a legal ground, such as consent,  for the processing of data,” it further writes.

    “It turns out that Microsoft’s operating system follows about every step you take on your computer. That results in an intrusive profile of yourself,” adds Wilbert Tomesen, vice-chairman of the Dutch DPA, in a statement.  “What does that mean? Do people know about this, do they want this? Microsoft needs to give users a fair opportunity to decide about this themselves.”

    The DPA goes on to state that: “Microsoft has indicated that it wants to end all violations,” and notes that “if this is not the case” it can decide to impose a sanction on the company — which could take the form of a financial penalty.

    The company has already faced the threat of such a penalty in France, when in July 2016 the local watchdog CNIL gave it three months to fix privacy and security issues to come into compliance with French data protection law.

    European data protection watchdogs have had privacy worries about Windows 10 as far back as 2016, after the press and others raised concerns about the extent of the data being gathered by default on Windows 10 soon after its launch.

    Microsoft has made some privacy-related changes to the OS in light of the criticisms — adding a new privacy settings structure in the Windows 10 Creators Update, for instance.

    However the Dutch DPA’s view is that that update has not ended the violations it found in its investigation.

    In a blog post commenting on the Dutch DPA’s findings today, Microsoft said: “I want our customers to know that it is a priority for us that Windows 10 Home and Windows 10 Pro are clearly compliant under Dutch law.”

    It goes on to flag up various privacy-related changes it has made or is intending to make, writing: “This year we have released a new privacy dashboard and several new privacy features to provide clear choices to our customers and easy-to-use tools in Windows 10. Next week, we have even more privacy improvements coming in the Fall Creators Update.”

    “We welcome the opportunity to continue to work with the Dutch DPA on their comments related to Windows 10 Home and Pro, and we will continue to cooperate with the DPA to find appropriate solutions,” it added.

    However the company is also disputing the Dutch DPA’s findings — and says it has shared “specific concerns” with the watchdog about the “accuracy of some of its findings and conclusions”.

    It has compiled a point-by-point rebuttal on these points of disagreement here.

    For example Microsoft disagrees with the Dutch DPA that it “does not clearly inform users about the type of data it uses, and for which purpose” — because it says Windows 10 users “can learn about their privacy choices and controls”, going on to flag various other means by which it says users can “learn”, such as via its Privacy Choice Screen, or via “Learn more documents” or via the “Microsoft Privacy Statement” or via “blogs and other documentation we publish”.

    However the DPA’s point is about clearly informing users what personal data Microsoft is gathered for what purposes. Whereas Microsoft is essentially saying that Windows 10 users should make the effort to learn about that stuff themselves — by navigating a number of different data sources (and in some instances pro-actively locating relevant information on one of Microsoft’s myriad webpage, such as its Windows IT Pro site, themselves).

    It remains to be seen how impressed the Dutch DPA will be with those kind of arguments.

    Next year a new data protection framework (GDPR) comes into force across Europe which further tightens the rules around obtaining consent from data subjects for processing their personal data — requiring that consent be “specific, granular, clear, prominent, opt-in, properly documented and easily withdrawn”, as the UK watchdog puts it.

    The Dutch DPA’s assertion here, with Windows 10, is that Microsoft is failing to obtain “valid consent for the processing of [people’s] personal data” under current EU DP law — pointing out that, for example, it uses “opt-out options” so does not obtain “unambiguous consent”.

    It further notes: “If  a person does not actively change the default settings during installation, it does not mean he or she thereby gives consent for the use of his or her personal data.”

    And, in the EU at least, the consent bar for processing personal data is only going to step up. So Microsoft may well need to make rather more substantial changes to how Windows 10 goes about sucking up users’ metadata in the coming months.



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