§ intelligence
What we provide, in the order it matters.
Four things, drawn from the open record and verified by an analyst who knows your firm. Each is intelligence you can act on — what it is, why it bears on you, and what it asks of you.
The four kinds of intelligence we provide
-
— 01Early warning
The threats meant for you, as they emerge
The vulnerabilities, exploited weaknesses, and active campaigns that bear on your specific software, sector, and people — surfaced as they emerge, not after. You receive what is relevant to you, and not the noise that is not. The point of early warning is that it is early, and that it is yours.
-
— 02Exposure discovery
What an adversary can already see
Your externally visible systems and services, leaked or stolen credentials, and the look-alike domains built to impersonate your firm and your principals. We find it from the outside, as they would, before it is used — and we tell you what it means and what to close.
-
— 03Your analyst
Judgment, from a single point of contact
Intelligence is judgment, not output. Every assessment is read and verified by an analyst who understands your firm — a consistent point of contact who knows what matters to you and what does not. You are not handed a feed; you are given the considered view of someone who has been watching on your behalf.
-
— 04Reporting of record
An account others will recognise
Concise intelligence your principals can read, and a documented account your examiners, insurers, and investors will recognise — evidence that your firm is watched over. Reporting is structured to be read at the top and to stand up to scrutiny below it.
§ the engagement
Standing, not one-time.
Intelligence is a posture, not a report you commission once. Engagements are ongoing and built around continuous early warning, with periodic reporting at a cadence set to your firm. The relationship deepens as your analyst learns your estate and your priorities; the work is most valuable in its second year, and its tenth.
Scope and cadence are set in private. We do not publish rates.
§ a note on the record
Independent of any single rule, cyber-insurance underwriting and institutional due diligence increasingly expect monitoring that is ongoing and documented. The amended SEC Regulation S-P, in force for covered advisers and broker-dealers, obliges written incident-response and safeguarding processes, and cybersecurity remains an examination focus.
Netsyn supports and documents that posture. Our reporting informs your governance, your examination-readiness, and the questions your insurers and investors ask. It does not satisfy a rule on your behalf, and it is not a certification. The intelligence is the work; the record is its by-product.
§ inquiries
Intelligence on the threats meant for you.
If this is the function your firm lacks, you are invited to make an inquiry. We respond to those we believe we can serve well. Terms are discussed in confidence.