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The Cyber Defense eMagazine March Edition for 2024

Cyber Defense eMagazine March Edition for 2024 #CDM #CYBERDEFENSEMAG @CyberDefenseMag by @Miliefsky a world-renowned cyber security expert and the Publisher of Cyber Defense Magazine as part of the Cyber Defense Media Group as well as Yan Ross, Editor-in-Chief and many more writers, partners and supporters who make this an awesome publication! 225 page March Edition fully packed with some of our best content. Thank you all and to our readers! OSINT ROCKS! #CDM #CDMG #OSINT #CYBERSECURITY #INFOSEC #BEST #PRACTICES #TIPS #TECHNIQUES

Cyber Defense eMagazine March Edition for 2024 #CDM #CYBERDEFENSEMAG @CyberDefenseMag by @Miliefsky a world-renowned cyber security expert and the Publisher of Cyber Defense Magazine as part of the Cyber Defense Media Group as well as Yan Ross, Editor-in-Chief and many more writers, partners and supporters who make this an awesome publication! 225 page March Edition fully packed with some of our best content. Thank you all and to our readers! OSINT ROCKS! #CDM #CDMG #OSINT #CYBERSECURITY #INFOSEC #BEST #PRACTICES #TIPS #TECHNIQUES

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Once the program is fully implemented, DoD will include in the applicable solicitation (1) the CMMC level<br />

contractors must comply with and (2) the type of assessment required to verify the implementation of the<br />

security requirements. <strong>The</strong> applicable CMMC level will be determined by DoD program managers who<br />

review the in<strong>for</strong>mation stored and processed through a contractor’s system. <strong>The</strong> type of assessment<br />

required will depend on both the applicable CMMC level and the Contracting Officer's (CO’s) discretionary<br />

determination.<br />

<strong>The</strong> CMMC will consist of three levels, each of which is detailed below.<br />

CMMC Level 1<br />

<strong>The</strong> first level of certification, which will apply to the largest number of companies in the DoD supply base,<br />

is CMMC Level 1. This level mandates relevant contractors comply with 15 security requirements<br />

provided in Federal Acquisition Regulation (FAR) 52.204-21. Many contractors already comply with the<br />

FAR 52.204-21 requirements and, there<strong>for</strong>e, will likely not need to implement any new protocols to<br />

comply with CMMC Level 1.<br />

Contractors will be required to annually self-certify to the CMMC Level 1 requirements. This certification<br />

can be done by engaging a third-party certification organization (C3PAO) or using internal resources.<br />

<strong>The</strong> results of the certification must be entered in the Supplier Per<strong>for</strong>mance Risk System (SPRS), and a<br />

“senior official” from the prime contractor must initially “affirm” compliance and then on an annual basis<br />

thereafter.<br />

CMMC Level 2<br />

Many contractors are also already in compliance with CMMC Level 2 as its requirements mirror those<br />

under DFARS 252.204-7012, which ensures contractors implement the 110 security controls contained<br />

in National Institute of Standards and Technology (NIST) Special Publication (SP) 800-171, Protecting<br />

Controlled Unclassified In<strong>for</strong>mation in Nonfederal Systems and Organizations. Under the proposed rule,<br />

the CO is given the discretion to determine whether contracts containing the CMMC Level 2 requirements<br />

necessitate a self-assessment or a CMMC Level 2 Certification Assessment to verify the implementation<br />

of the necessary security requirements. That decision will center on the “program criticality, in<strong>for</strong>mation<br />

sensitivity, and the severity of the cyber threat.”<br />

If a contractor is not already in compliance with CMMC Level 2 requirements, it may have to submit a<br />

Plan of Action and Milestones Requirements (POA&M), which provides a roadmap <strong>for</strong> the contractor to<br />

address areas of weakness.<br />

<strong>The</strong> self-assessment process <strong>for</strong> verifying CMMC Level 2 requirements remains largely the same as<br />

those required to certify CMMC Level 1 requirements. <strong>The</strong> self-assessment results, as well as an initial<br />

compliance affirmation, must be submitted to the SPRS system prior to award.<br />

On the other hand, the CMMC Level 2 Certification Assessment requires that contractors engage thirdparty<br />

assessment organizations to certify a contractor’s compliance with Level 2 requirements. <strong>The</strong><br />

<strong>Cyber</strong> <strong>Defense</strong> <strong>eMagazine</strong> – <strong>March</strong> <strong>2024</strong> <strong>Edition</strong> 138<br />

Copyright © <strong>2024</strong>, <strong>Cyber</strong> <strong>Defense</strong> Magazine. All rights reserved worldwide.

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