TPM-04.1: Third-Party Risk Assessments & Approvals
Mechanisms exist to conduct a risk assessment prior to the acquisition or outsourcing of technology-related Technology Assets, Applications and/or Services (TAAS).
Control Question: Does the organization conduct a risk assessment prior to the acquisition or outsourcing of technology-related Technology Assets, Applications and/or Services (TAAS)?
General (43)
| Framework | Mapping Values |
|---|---|
| AICPA TSC 2017:2022 (used for SOC 2) (source) | CC3.2-POF8 CC3.2-POF9 CC3.4 CC9.2 CC9.2-POF11 CC9.2-POF2 CC9.2-POF3 CC9.2-POF8 |
| CIS CSC 8.1 | 15.5 |
| CIS CSC 8.1 IG3 | 15.5 |
| COBIT 2019 | APO10.04 |
| COSO 2017 | Principle 9 |
| CSA CCM 4 | STA-05 STA-13 |
| GovRAMP Low+ | SA-09(01) |
| GovRAMP Moderate | SA-09(01) |
| GovRAMP High | SA-09(01) |
| ISO/SAE 21434 2021 | RQ-07-01 RQ-07-02 |
| ISO 27002 2022 | 5.19 |
| NIST AI 100-1 (AI RMF) 1.0 | MANAGE 3.1 |
| NIST AI 600-1 | GV-6.1-005 GV-6.1-006 GV-6.1-009 |
| NIST Privacy Framework 1.0 | ID.DE-P5 |
| NIST 800-53 R4 | SA-9(1) |
| NIST 800-53 R5 (source) | SA-9(1) |
| NIST 800-53 R5 (NOC) (source) | SA-9(1) |
| NIST 800-161 R1 | SA-9(1) |
| NIST 800-161 R1 Level 2 | SA-9(1) |
| NIST 800-161 R1 Level 3 | SA-9(1) |
| NIST 800-171 R3 (source) | 03.11.01.a 03.17.02 03.17.03.a 03.17.03.b |
| NIST 800-171A R3 (source) | A.03.17.03.a[01] |
| NIST CSF 2.0 (source) | GV.SC-06 GV.SC-07 ID.IM-01 ID.IM-02 ID.RA-10 |
| OWASP Top 10 2021 | A02:2021 A05:2021 |
| PCI DSS 4.0.1 (source) | 12.8.3 |
| PCI DSS 4.0.1 SAQ A (source) | 12.8.3 |
| PCI DSS 4.0.1 SAQ A-EP (source) | 12.8.3 |
| PCI DSS 4.0.1 SAQ B (source) | 12.8.3 |
| PCI DSS 4.0.1 SAQ B-IP (source) | 12.8.3 |
| PCI DSS 4.0.1 SAQ C (source) | 12.8.3 |
| PCI DSS 4.0.1 SAQ C-VT (source) | 12.8.3 |
| PCI DSS 4.0.1 SAQ D Merchant (source) | 12.8.3 |
| PCI DSS 4.0.1 SAQ D Service Provider (source) | 12.8.3 |
| PCI DSS 4.0.1 SAQ P2PE (source) | 12.8.2 |
| SPARTA | CM0025 |
| TISAX ISA 6 | 1.3.3 6.1.1 |
| UL 2900-1 2017 | 12.1 12.2 12.3 12.4 12.5 12.6 12.7 12.8 |
| UN R155 | 7.2.2.5 7.3.2 |
| UN ECE WP.29 | 7.2.2.5 7.3.2 |
| SCF CORE Mergers, Acquisitions & Divestitures (MA&D) | TPM-04.1 |
| SCF CORE ESP Level 1 Foundational | TPM-04.1 |
| SCF CORE ESP Level 2 Critical Infrastructure | TPM-04.1 |
| SCF CORE ESP Level 3 Advanced Threats | TPM-04.1 |
US (19)
| Framework | Mapping Values |
|---|---|
| US C2M2 2.1 | RISK-2.J.MIL3 THIRD-PARTIES-1.C.MIL2 THIRD-PARTIES-2.A.MIL1 THIRD-PARTIES-2.B.MIL1 THIRD-PARTIES-2.C.MIL2 THIRD-PARTIES-2.D.MIL2 THIRD-PARTIES-2.E.MIL2 THIRD-PARTIES-2.F.MIL2 THIRD-PARTIES-2.G.MIL2 THIRD-PARTIES-2.H.MIL3 THIRD-PARTIES-2.I.MIL3 THIRD-PARTIES-2.J.MIL3 THIRD-PARTIES-2.K.MIL3 THIRD-PARTIES-2.L.MIL3 THIRD-PARTIES-2.M.MIL3 |
| US CERT RMM 1.2 | EXD:SG2.SP1 |
| US CMS MARS-E 2.0 | SA-9(1) |
| US FCA CRM | 609.930(c)(5)(i) 609.930(c)(5)(iii) |
| US FedRAMP R4 | SA-9(1) |
| US FedRAMP R4 (moderate) | SA-9(1) |
| US FedRAMP R4 (high) | SA-9(1) |
| US FedRAMP R5 (source) | SA-9(1) |
| US FedRAMP R5 (moderate) (source) | SA-9(1) |
| US FedRAMP R5 (high) (source) | SA-9(1) |
| US GLBA CFR 314 2023 (source) | 314.4(f)(1) 314.4(f)(3) |
| US HIPAA HICP Large Practice | 9.L.C |
| US IRS 1075 | SA-9(1) |
| US - CA CCPA 2025 | 7123(c)(15) |
| US - MA 201 CMR 17.00 | 17.03(2)(f)(2) |
| US - NY DFS 23 NYCRR500 2023 Amd 2 | 500.11(a)(1) 500.11(a)(3) |
| US - OR 646A | 622(2)(d)(A)(v) |
| US - TX TX-RAMP Level 2 | SA-9(1) |
| US - VT Act 171 of 2018 | 2447(b)(6) 2447(b)(6)(A) 2447(b)(6)(B) |
EMEA (13)
| Framework | Mapping Values |
|---|---|
| EMEA EU EBA GL/2019/04 | 3.6.2(74) |
| EMEA EU DORA | 28.4(a) 28.4(b) 28.4(c) 28.4(d) 28.4(e) 29.1(a) 29.1(b) |
| EMEA EU NIS2 | 21.3 |
| EMEA EU NIS2 Annex | 2.1.2(d) |
| EMEA Germany Banking Supervisory Requirements for IT (BAIT) | 9.2 9.5 |
| EMEA Germany C5 2020 | SSO-02 SSO-04 |
| EMEA Israel CDMO 1.0 | 16.3 16.5 17.3 |
| EMEA Saudi Arabia CSCC-1 2019 | 4-1-1-1 4-1-1-2 |
| EMEA Saudi Arabia ECC-1 2018 | 1-5-3-4 4-1-3-1 |
| EMEA Saudi Arabia OTCC-1 2022 | 4-1-1-2 4-1-1-4 |
| EMEA Saudi Arabia SAMA CSF 1.0 | 3.4.1 3.4.2 |
| EMEA South Africa | 19 |
| EMEA UK CAP 1850 | A4 |
APAC (5)
| Framework | Mapping Values |
|---|---|
| APAC Australia ISM June 2024 | ISM-1568 ISM-1573 ISM-1787 |
| APAC Australia Prudential Standard CPS230 | 15 53(a) 53(b) |
| APAC Australia Prudential Standard CPS234 | 22 28 |
| APAC New Zealand HISF 2022 | HHSP25 HML25 HSUP67 |
| APAC New Zealand HISF Suppliers 2023 | HSUP67 |
Americas (2)
| Framework | Mapping Values |
|---|---|
| Americas Canada CSAG | 2.3 4.25 4.27 |
| Americas Canada ITSP-10-171 | 03.11.01.A 03.17.02 03.17.03.A 03.17.03.B |
Capability Maturity Model
Level 0 — Not Performed
There is no evidence of a capability to conduct a risk assessment prior to the acquisition or outsourcing of technology-related Technology Assets, Applications and/or Services (TAAS).
Level 1 — Performed Informally
C|P-CMM1 is N/A, since a structured process is required to conduct a risk assessment prior to the acquisition or outsourcing of technology-related Technology Assets, Applications and/or Services (TAAS).
Level 2 — Planned & Tracked
Third-Party Management (TPM) 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 Require TSP to follow secure engineering practices as part of a broader Cybersecurity Supply Chain Risk Management (C-SCRM) initiative. o Contain "break clauses" in all TSP contracts to enable penalty-free, early termination of a contract for cause, based on the TSP's cybersecurity and/ or data privacy practices deficiency(ies).
- Third-party 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 to address applicable statutory, regulatory and contractual requirements for third-party management.
- A procurement function maintains a list of all active Third-Party Service Providers (TSP), including pertinent contract information that will assist in a risk assessment.
- A Shared Responsibility Matrix (SRM) is documented for every TSP that directly or indirectly affects sensitive/regulated data.
- Procurement contracts:
Level 3 — Well Defined
Third-Party Management (TPM) 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 provides governance oversight for the implementation of applicable statutory, regulatory and contractual cybersecurity and data protection controls to protect the confidentiality, integrity, availability and safety of the organization's applications, systems, Technology Assets, Applications and/or Services (TAAS) and data with regards to third-party management. o Operates the Cybersecurity Supply Chain Risk Management (C-SCRM) program to identify and mitigate supply chain-related risks and threats. o Evaluates risks associated with weaknesses or deficiencies in supply chain elements identified during first and/ or third-party reviews. o Enables the implementation of third-party management controls. o Ensures the Information Assurance Program (IAP) evaluates applicable cybersecurity and data protection controls as part of “business as usual” pre-production testing. o Maintains a list of all active Third-Party Service Providers (TSP), including pertinent contract information that will assist in a risk assessment. o Requires TSP to follow secure engineering practices as part of a broader Cybersecurity Supply Chain Risk Management (C-SCRM) initiative. o Includes "break clauses" in all TSP contracts to enable penalty-free, early termination of a contract for cause, based on the TSP's cybersecurity and/ or data privacy practices deficiency(ies). o Controls changes to Technology Assets, Applications and/or Services (TAAS) by suppliers, taking into account the criticality of business information, systems and processes that are in scope by the third-party. o Requires a risk assessment prior to the acquisition or outsourcing of technology-related Technology Assets, Applications and/or Services (TAAS). o Monitors, regularly reviews and audits supplier service delivery for compliance with established contract agreements. o Uses tailored acquisition strategies, contract tools and procurement methods for the purchase of unique systems, system components or Technology Assets, Applications and/or Services (TAAS).
- Procurement contracts and layered defenses provide safeguards to limit harm from potential adversaries who identify and target the organization's supply chain.
- A Governance, Risk & Compliance (GRC) function, or similar function;
- A procurement team, or similar function:
- A Shared Responsibility Matrix (SRM) is documented for every TSP that directly or indirectly affects sensitive/regulated data.
Level 4 — Quantitatively Controlled
Third-Party Management (TPM) 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 conduct a risk assessment prior to the acquisition or outsourcing of technology-related Technology Assets, Applications and/or Services (TAAS).
Assessment Objectives
- TPM-04.1_A01 personnel or roles that approve the acquisition or outsourcing of dedicated cybersecurity services is/are defined.
- TPM-04.1_A02 an organizational assessment of risk is conducted prior to the acquisition or outsourcing of cybersecurity services.
- TPM-04.1_A03 personnel or roles approve the acquisition or outsourcing of dedicated cybersecurity services.
- TPM-04.1_A04 a process for identifying weaknesses or deficiencies in the supply chain elements and processes is established.
Evidence Requirements
- E-TPM-01 Third-Party Contracts
-
Documented evidence of third-party contractual obligations for cybersecurity & data privacy protections.
Third-Party Management - E-TPM-02 Third-Party Criticality Assessment
-
Documented evidence of third-party criticality assessment that evaluates the critical nature of each third-party the organization works with.
Third-Party Management - E-TPM-03 Third-Party Service Reviews
-
Documented evidence of a formal, annual stakeholder review of third-party services for each Third-Party Service Provider (TSP).
Third-Party Management
Technology Recommendations
Micro/Small
- Cybersecurity Supply Chain Risk Management (C-SCRM) program
- Data Protection Impact Assessment (DPIA)
Small
- Cybersecurity Supply Chain Risk Management (C-SCRM) program
- Data Protection Impact Assessment (DPIA)
Medium
- Cybersecurity Supply Chain Risk Management (C-SCRM) program
- Data Protection Impact Assessment (DPIA)
Large
- Cybersecurity Supply Chain Risk Management (C-SCRM) program
- Data Protection Impact Assessment (DPIA)
Enterprise
- Cybersecurity Supply Chain Risk Management (C-SCRM) program
- Data Protection Impact Assessment (DPIA)