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Director, Affirm Bank Information Security

Affirm
1 month ago
Full-time
Remote
Worldwide
Remote Cybersecurity

Affirm is reinventing credit to make it more honest and friendly, giving consumers the flexibility to buy now and pay later without any hidden fees or compounding interest.

The Chief Information Security Officer (CISO) will serve as a key member of the Bank’s Executive Management Team and will be responsible for establishing and leading Bank’s information security and cybersecurity programs. As the Bank prepares to launch as a de novo Industrial Loan Company (ILC), the CISO will design and implement an enterprise-wide security framework that meets FDIC and state regulatory expectations, supports the Bank’s risk appetite, and protects customer and institutional data.

The CISO will lead the development of information security governance, technical controls, and third-party risk oversight, ensuring a strong and scalable security posture from inception through growth. This leader will collaborate closely with technology, risk, and operations teams to ensure security is integrated into every aspect of the Bank’s systems and operations.

What You’ll Do

1. Information Security Program Development

  • 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.
  • Develop and oversee policies, standards, and procedures governing cybersecurity, data protection, and incident response.
  • Ensure alignment with the Bank’s overall risk management and governance frameworks.
  • Provide regular reporting to executive management and the Board on the Bank’s security posture, emerging risks, and mitigation efforts.

2. Cybersecurity and Threat Management

  • Establish and manage a threat monitoring and detection capability to identify, assess, and respond to cybersecurity risks.
  • Oversee implementation of layered security controls (e.g., network segmentation, encryption, access controls, endpoint protection, vulnerability management).
  • Lead the Bank’s Incident Response Program, ensuring timely escalation and coordination with regulators when required.
  • Maintain relationships with information-sharing groups (e.g., FS-ISAC) and law enforcement to stay informed of emerging threats.
     

3. Third-Party and Affiliate Risk Oversight

  • 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.
  • Establish due diligence,