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NEW QUESTION: 1
When multiple Cisco Extension Mobility profiles exist, which actions take place when a user tries to log in to Cisco Extension Mobility?
A. The user must login to both profiles in the order they are presented.
B. The login will fail because only a single Cisco Extension Mobility profile is allowed.
C. The user may login to both profiles in any order.
D. Login will only be allowed to multiple profiles if the service parameter Allow Multiple
Logins is enabled.
E. The user must select the desired profile.
Answer: E
Explanation:
Incorrect answer: ACDE
Users access Cisco Extension Mobility by pressing the Services or Applications button on a
Cisco Unified IP Phone and then entering login information in the form of a Cisco Unified
Communications Manager UserID and a Personal Identification Number (PIN). If a user has more than one user device profile, a prompt displays on the phone and asks the user to choose a device profile for use with Cisco Extension Mobility.
Link:
http://www.cisco.com/en/US/docs/voice_ip_comm/cucm/admin/8_6_1/ccmfeat/fsem.html

NEW QUESTION: 2
Scenario:
You are the senior network security administrator for your organization. Recently and junior engineer configured a site-to-site IPsec VPN connection between your headquarters Cisco ASA and a remote branch office.
You are now tasked with verifying the IKEvl IPsec installation to ensure it was properly configured according to designated parameters. Using the CLI on both the Cisco ASA and branch ISR, verify the IPsec configuration is properly configured between the two sites.
NOTE: the show running-config command cannot be used for this exercise.
Topology:


In what state is the IKE security association in on the Cisco ASA?
A. QM_IDLE
B. MM_ACTIVE
C. ACTIVE(ACTIVE)
D. There are no security associations in place
Answer: B
Explanation:
This can be seen from the "show crypto isa sa" command:


NEW QUESTION: 3
Under requirements for correspondent accounts in the USA PATRIOT Act, the word "certification" refers to a written representation by a
A. correspondent bank, certifying that they do not open correspondent accounts for alternative remittance companies.
B. federal receiver" certifying that he is not the beneficial owner of the correspondent account.
C. respondent bank, certifying that they do not do business with politically exposed persons.
D. respondent bank, certifying that they do not do business with shell banks.
Answer: A
Explanation:
Explanation
Explanation/Reference:
The information contained in this Certification is sought pursuant to Sections 5318(j) and 5318(k) of Title 31 of the United State Code, as added by sections 313 and 319(b) of the USA PATRIOT Act of 2001 (Public Law 107-56).
This Certification should be completed by any foreign bank that maintains a correspondent account with any
U.S. bank or broker-dealer in securities (a covered financial institution as defined in 31 CFR 1010.605(e)). An entity that is not a foreign bank is not required to complete this Certification.
A foreign bank is a bank organized under foreign law and located outside of the United States (see definition at 31 CFR 1010.100(u)). A bank includes offices, branches, and agencies of commercial banks or trust companies, private banks, national banks, thrift institutions, credit unions, and other organizations chartered under banking laws and supervised by banking supervisors of any state (see definition at 31 CFR
1010.100(d)).
A correspondent account for a foreign bank is any account to receive deposits from, make payments or other disbursements on behalf of a foreign bank, or handle other financial transactions related to the foreign bank.
Special instructions for foreign branches of U.S. banks: A branch or office of a U.S. bank outside the United State is a foreign bank. Such a branch or office is not required to complete this Certification with respect to Correspondent Accounts with U.S. branches and offices of the same U.S. bank.