DCH-15: Publicly Accessible Content
Mechanisms exist to control publicly-accessible content.
Control Question: Does the organization control publicly-accessible content?
General (28)
US (24)
| Framework | Mapping Values |
|---|---|
| US CERT RMM 1.2 | ID:SG1.SP2 KIM:SG1.SP2 |
| US CJIS Security Policy 5.9.3 (source) | AC-22 |
| US CMMC 2.0 Level 1 (source) | AC.L1-B.1.IV |
| US CMMC 2.0 Level 1 AOs (source) | AC.L1-B.1.IV[a] AC.L1-B.1.IV[b] AC.L1-B.1.IV[c] AC.L1-B.1.IV[d] AC.L1-B.1.IV[e] |
| US CMMC 2.0 Level 2 (source) | AC.L2-3.1.22 |
| US CMMC 2.0 Level 3 (source) | AC.L2-3.1.22 |
| US CMS MARS-E 2.0 | AC-22 |
| US FAR 52.204-21 | 52.204-21(b)(1)(iv) |
| US FedRAMP R4 | AC-22 |
| US FedRAMP R4 (low) | AC-22 |
| US FedRAMP R4 (moderate) | AC-22 |
| US FedRAMP R4 (high) | AC-22 |
| US FedRAMP R4 (LI-SaaS) | AC-22 |
| US FedRAMP R5 (source) | AC-22 |
| US FedRAMP R5 (low) (source) | AC-22 |
| US FedRAMP R5 (moderate) (source) | AC-22 |
| US FedRAMP R5 (high) (source) | AC-22 |
| US FedRAMP R5 (LI-SaaS) (source) | AC-22 |
| US IRS 1075 | 3.3.8 AC-22 |
| US ITAR Part 120 | 120.11 |
| US NSTC NSPM-33 | 6.5 |
| US - TX DIR Control Standards 2.0 | AC-22 |
| US - TX TX-RAMP Level 1 | AC-22 |
| US - TX TX-RAMP Level 2 | AC-22 |
EMEA (1)
| Framework | Mapping Values |
|---|---|
| EMEA UK DEFSTAN 05-138 | 2321 |
Americas (1)
| Framework | Mapping Values |
|---|---|
| Americas Canada ITSP-10-171 | 03.01.22.A 03.01.22.B |
Capability Maturity Model
Level 0 — Not Performed
There is no evidence of a capability to control publicly-accessible content.
Level 1 — Performed Informally
Data Classification & Handling (DCH) efforts are ad hoc and inconsistent. CMM Level 1 control maturity would reasonably expect all, or at least most, the following criteria to exist:
- Data protection controls are primarily administrative in nature (e.g., policies & standards) to classify, protect and dispose of systems and data, including storage media.
- A data classification process exists to identify categories of data and specific protection requirements.
- A manual data retention process exists.
- Data/process owners are expected to take the initiative to work with Data Protection Officers (DPOs) to ensure applicable statutory, regulatory and contractual obligations are properly addressed, including the storage, transmission and processing of sensitive/regulated data.
Level 2 — Planned & Tracked
Data Classification & Handling (DCH) efforts are requirements-driven and governed at a local/regional level, but are not consistent across the organization. CMM Level 2 control maturity would reasonably expect all, or at least most, the following criteria to exist: o Document where sensitive/regulated data is stored, transmitted and processed to identify data repositories and data flows. o Create and maintain Data Flow Diagrams (DFDs) and network diagrams. o Are expected to take the initiative to work with Data Protection Officers (DPOs) to ensure applicable statutory, regulatory and contractual obligations are properly addressed, including the storage, transmission and processing of sensitive/regulated data o Geolocation requirements for sensitive/regulated data types, including the transfer of data to third-countries or international organizations. o Requirements for minimizing data collection to what is necessary for business purposes. o Requirements for limiting the use of sensitive/regulated data in testing, training and research.
- Data management is decentralized (e.g., a localized/regionalized function) and uses non-standardized methods to implement secure, resilient and compliant practices.
- IT/cybersecurity personnel identify cybersecurity and data protection controls that are appropriate to address applicable statutory, regulatory and contractual requirements for data management.
- Data protection controls are primarily administrative and preventative in nature (e.g., policies & standards) to classify, protect and dispose of systems and data, including storage media.
- A data classification process exists to identify categories of data and specific protection requirements.
- A data retention process exists and is a manual process to govern.
- Data/process owners:
- A manual data retention process exists.
- Content filtering blocks users from performing ad hoc file transfers through unapproved file transfer services (e.g., Box, Dropbox, Google Drive, etc.).
- Mobile Device Management (MDM) software is used to restrict and protect the data that resides on mobile devices.
- Physical controls, administrative processes and technologies focus on protecting High Value Assets (HVAs), including environments where sensitive/regulated data is stored, transmitted and processed.
- Administrative means (e.g., policies and standards) dictate:
Level 3 — Well Defined
Data Classification & Handling (DCH) efforts are standardized across the organization and centrally managed, where technically feasible, to ensure consistency. CMM Level 3 control maturity would reasonably expect all, or at least most, the following criteria to exist: o Are expected to take the initiative to work with Data Protection Officers (DPOs) to ensure applicable statutory, regulatory and contractual obligations are properly addressed, including the storage, transmission and processing of sensitive/regulated data. o Maintain decentralized inventory logs of all sensitive/regulated media and update sensitive/regulated media inventories at least annually. o Create and maintain Data Flow Diagrams (DFDs) and network diagrams. o Document where sensitive/regulated data is stored, transmitted and processed in order to document data repositories and data flows. o Identify data classification types to ensure adequate cybersecurity and data protection controls are in place to protect organizational information and individual data privacy. o Identify and document the location of information on which the information resides. o Restrict and govern the transfer of data to third-countries or international organizations. o Limit the disclosure of data to authorized parties. o Mark media in accordance with data protection requirements so that personnel are alerted to distribution limitations, handling caveats and applicable security requirements. o Prohibit “rogue instances” where unapproved third parties are engaged to store, process or transmit data, including budget reviews and firewall connection authorizations. o Protect and control digital and non-digital media during transport outside of controlled areas using appropriate security measures. o Govern the use of personal devices (e.g., Bring Your Own Device (BYOD)) as part of acceptable and unacceptable behaviors. o Dictate requirements for minimizing data collection to what is necessary for business purposes. o Dictate requirements for limiting the use of sensitive/regulated data in testing, training and research.
- A Governance, Risk & Compliance (GRC) function, or similar function, assists users in making information sharing decisions to ensure data is appropriately protected, regardless of where or how it is stored, processed and/ or transmitted.
- A data classification process exists to identify categories of data and specific protection requirements.
- A data retention process exists to protect archived data in accordance with applicable statutory, regulatory and contractual obligations.
- Data/process owners:
- A Data Protection Impact Assessment (DPIA) is used to help ensure the protection of sensitive/regulated data processed, stored or transmitted on internal or external systems, in order to implement cybersecurity and data protection controls in accordance with applicable statutory, regulatory and contractual obligations.
- Human Resources (HR), documents formal “rules of behavior” as an employment requirement that stipulates acceptable and unacceptable practices pertaining to sensitive/regulated data handling.
- Data Loss Prevention (DLP), or similar content filtering capabilities, blocks users from performing ad hoc file transfers through unapproved file transfer services (e.g., Box, Dropbox, Google Drive, etc.).
- Mobile Device Management (MDM) software is used to restrict and protect the data that resides on mobile devices.
- Administrative processes and technologies:
Level 4 — Quantitatively Controlled
Data Classification & Handling (DCH) efforts are metrics driven and provide sufficient management insight (based on a quantitative understanding of process capabilities) to predict optimal performance, ensure continued operations and identify areas for improvement. In addition to CMM Level 3 criteria, CMM Level 4 control maturity would reasonably expect all, or at least most, the following criteria to exist:
- Metrics reporting includes quantitative analysis of Key Performance Indicators (KPIs).
- Metrics reporting includes quantitative analysis of Key Risk Indicators (KRIs).
- Scope of metrics, KPIs and KRIs covers organization-wide cybersecurity and data protection controls, including functions performed by third-parties.
- Organizational leadership maintains a formal process to objectively review and respond to metrics, KPIs and KRIs (e.g., monthly or quarterly review).
- Based on metrics analysis, process improvement recommendations are submitted for review and are handled in accordance with change control processes.
- Both business and technical stakeholders are involved in reviewing and approving proposed changes.
Level 5 — Continuously Improving
See C|P-CMM4. There are no defined C|P-CMM5 criteria, since it is reasonable to assume a continuously-improving process is not necessary to control publicly-accessible content.
Assessment Objectives
- DCH-15_A01 individuals authorized to post or process information on publicly accessible systems are identified.
- DCH-15_A02 procedures to ensure sensitive / regulated data is not posted or processed on publicly accessible systems are identified.
- DCH-15_A03 the proposed content of information is reviewed prior to posting onto the publicly accessible system to ensure that non-public information is not included.
- DCH-15_A04 the content on publicly accessible systems is reviewed for sensitive / regulated data.
- DCH-15_A05 mechanisms are in place to remove and address improper posting of sensitive / regulated data.
- DCH-15_A06 the frequency at which to review the content on the publicly accessible system for non-public information is defined.
- DCH-15_A07 authorized individuals are trained to ensure that publicly accessible information does not contain non-public information.
- DCH-15_A08 authorized individuals are trained to ensure that publicly accessible information does not contain CUI.
- DCH-15_A09 CUI is removed from publicly accessible systems, if discovered.
- DCH-15_A10 content on publicly accessible systems is reviewed to ensure that it does not include CUI.
- DCH-15_A11 the content on publicly accessible systems is reviewed for CUI.
- DCH-15_A12 a review process is in place prior to posting of any content to publicly accessible systems.
- DCH-15_A13 content on publicly accessible systems is reviewed to ensure that it does not include sensitive/regulated data.
Evidence Requirements
- E-DCH-12 Reviews for Sensitive / Regulated Data Spillage
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Documented evidence of reviews for publicly accessible sensitive / regulated data.
Data Protection