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Lynn DeCourcey Showcased in ExecutiveBiz
Kudos to my colleague Lynn DeCourcey for her recent interview on ExecutiveBiz.com! Lynn is NJVC vice president and general manager, cyber security. She oversees all aspects of the company’s cyber…
BISNOW Data Center Event Highlight’s Cloud
A big thank you to BISNOW and my fellow panel members for an outstanding discussion and very informative event, last week’s Data Center Investment Conference and Expo. The federal marketplace…
GSA Seeks Cloud Brokerage Information
GSA is using the RFI process to collect information about alternative models and/or solutions for future cloud acquisition vehicles and processes that further these goals. One emerging concept in cloud…
DoD Cloud Computing Strategy
The DoD recently released the department’s formal cloud computing strategy. DoD Cloud Computing Strategy View more documents from Kevin Jackson. In the forward, DoD CIO Teresa Takai said that: “The…
FedRAMP PMO Releases First Set of 3PAOs
Late today the FedRAMP Program Management Office released the first list of certified Third Party Assessment Organizations (3PAOs). These companies are accredited to perform initial and periodic assessment of cloud…
FedRAMP Releases Updated Security Assessment Plan Templates
Last week the GSA FedRAMP Program Office released the latest version of the cloud computing Security Assessment Plan (SAR) template. This document is the most recent step toward the Federal…
NJVC® and Gravitant® Announce New Strategic Alliance: Partnership to Benefit Federal Agencies with Powerful Provision and Management of Cloud Services that Unify Multiple Providers
Vienna, Va., April 4, 2012 — NJVC®, one of the largest information technology solutions providers supporting the U.S. Department of Defense, and Gravitant®, a provider of cloud brokerage and management…
NJVC® VP and GM, Cloud Services, Kevin L. Jackson to Speak on Cloud Security at 2012 Emerging Threats and Cyber Defense Symposium
Vienna, Va., March 15, 2012 — NJVC®, one of the largest information technology solutions (IT) providers supporting the U.S. Department of Defense, is pleased to announce that Kevin L. Jackson,…
NJVC’s Kevin L. Jackson Co-Authors INSA White Paper on Cloud Computing for the Intelligence Community
Findings Reflect Insight from More than 50 Cloud Thought Leaders VIENNA, Va.–(BUSINESS WIRE)–NJVC®, one of the largest information technology solutions (IT) providers supporting the U.S. Department of Defense, announces…
INSA Study on Cloud Computing in the Intelligence Community: Rollout 13 March 2012 | SYS-CON MEDIA
(Originally posted by Bob Gourley at CTOvision) Over the last year I’ve had the pleasure of serving with a team of volunteers from the Intelligence and National Security Alliance…
Those watching federal cloud security in the defense space were pleased to learn the Defense DOD Cloud Computing Security Requirements Guide (v1) (SRG) last month. This 152-page document outlines the security requirements that Department of Defense (DOD) mission owners must adhere to when procuring cloud-based services. While the document is very thorough and is required reading if you currently, or intend to provide, cloud-based services to the DOD, I wanted to cover some of the things that stood out to me.
Information Systems Agency (DISA) released the
CSPs are not compliant, but their offerings can be. The requirements guide makes it clear that there is a distinction between a Cloud Service Offering (CSO) and the Cloud Service Provider (CSP). A CSP can have multiple CSOs, all with different security postures.
This has always been the case. However, by making this distinction, DISA has reduced some areas of common confusion. This distinction should also make it clear that utilizing a compliant infrastructure as a service (IaaS) or platform as a service (PaaS) at a CSP does not make the resulting offering compliant. The CSO itself has to be fully evaluated for the Federal Risk and Authorization Management Program (FedRAMP) compliance.
Compliance responsibility is on the prime CSP. Expanding on the last point I made: Everything you put in a CSP environment is not automatically compliant. The SRG states that, “While the CSP’s overall service offering may be inheriting controls and compliance from a third party, the prime CSP is ultimately responsible for complete compliance” (p. 3). This language gives me the sense that if mission owners want to work with a federal integrator (prime contractor) to move an application to a FedRAMP-compliant or soon-to-be-FedRAMP-compliant platform or infrastructure — and that integrator will be performing Operations and Maintenance (O&M) — they will also be responsible for the compliance of the solution and the underpinning platform or infrastructure services from a commercial cloud service provider.
In essence, the solution enabler becomes the prime CSP. This is perhaps an important nuance that may have important ramifications for the integrator and those who provide what DISA dubs commercial cloud service providers. Keep in mind that the SRG also recognizes the existence of DOD-owned and operated CSPs.
FedRAMP + controls. Because DOD systems are categorized differently from other federal government systems, the SRG lists additional security controls and enhancements that are necessary to implement for DOD systems. These controls are over and above the FedRAMP moderate baseline, and as such are called, “plus” controls. The SRG has dealt with privacy and security requirements as “overlays” to all of the FedRAMP and FedRAMP plus baseline controls.
Expanded CSP roles and responsibilities. (Appendix C-1). The SRG denotes that it is the CSP’s responsibility to provide Computer Network Defense (CND) services (all tiers) for its infrastructure and service offerings. CSPs must be willing to provide their own CND services and to be able and willing to contract for more advanced security services as required by a mission owner. Here again, a prime CSP must be willing and able to provide complete compliance, including Computer Network Defense Service Provider (CNDSP) services.
A few takeaways
While this is not an adequate summary of the SRG, this long-awaited guide has provided some clarification around DOD’s expectations from Integrators, CSPs, and DOD mission owners. The DOD has clearly laid out for Integrators and CSPs the expectations for inclusion into the DISA Cloud Service Catalog. It will be interesting to see how and if the definition of a prime CSP evolves and how the industry and government alike adapt to that distinction.
My initial reaction to the SRG is that it limits the playing field of prime CSPs that are able to comply with these requirements today. For small integrators trying to migrate applications to the cloud on behalf of the federal government, it makes the proposition riskier. For example, if small integrators move something to an Amazon Web Services or Microsoft IaaS solution, they are now responsible for the security of the application and that underlying environment. The way this is currently written, I believe that integrators will have to decide whether or not they will take the risk to take responsibility for the application and the underlying environment.
(This post was written as part of the Dell Insight Partners program, which provides news and analysis about the evolving world of tech. To learn more about tech news and analysis visit Tech Page One. Dell sponsored this article, but the opinions are my own and don’t necessarily represent Dell’s positions or strategies.)
( Thank you. If you enjoyed this article, get free updates by email or RSS – © Copyright Kevin L. Jackson 2012)
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