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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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C3PAO itself will submit the necessary results to the CMMC Enterprise Mission Assurance Support<br />

Service (eMASS), which will, in turn, transmit the results to SPRS. <strong>The</strong> proposed rule includes an appeal<br />

process to resolve any disagreements over the Certification Assessment. Like Level 1, Level 2 similarly<br />

requires contractors to submit an initial affirmation of compliance and annually affirm its continued<br />

compliance thereafter.<br />

CMMC Level 3<br />

CMMC Level 3 is unlike the two prior Levels. First, it imposes several security requirements in addition<br />

to those under existing regulations. Second, the certification assessments are completed by the <strong>Defense</strong><br />

Contract Management Agency (DCMA) <strong>Defense</strong> Industrial Base <strong>Cyber</strong>security Assessment Center<br />

(DIBAC). Be<strong>for</strong>e scheduling an assessment with the DIBAC, contractors must obtain a CMMC Level 2<br />

certification, making it a prerequisite. Like the prior level, contractors must submit an initial compliance<br />

affirmation to SPRS, a POA&M closeout affirmation if applicable, and an affirmation of continued<br />

compliance annually thereafter.<br />

Rollout<br />

<strong>The</strong> CMMC requirements will be implemented through four phases.<br />

• Phase 1 (upon the effective date of the final rule): Will require COs to incorporate CMMC Level<br />

1 Self-Assessment or Level 2 Self-Assessment requirements in contracts and make the award of<br />

specific contracts contingent on compliance. DoD has the discretion, under the proposed rule, to<br />

require contractors to submit a CMMC Level 2 Certification Assessment instead of Level 2 Self-<br />

Assessment <strong>for</strong> certain solicitations and contracts.<br />

• Phase 2 (six months after the start of Phase 1): Will begin the <strong>for</strong>mal rollout of Level 2<br />

Certification Assessments by adding the requirement to all applicable solicitations and contracts.<br />

Under the proposed rule, the DoD has the discretion to include CMMC Level 3 Certification<br />

Assessment requirements in certain solicitations and contracts.<br />

• Phase 3 (one year after Phase 2 begins): Will begin the implementation of the CMMC Level 3<br />

Certification Assessment requirements <strong>for</strong> applicable contracts.<br />

• Phase 4 (one year after Phase 3 begins): Will include CMMC requirements to all applicable<br />

solicitations and contracts. This includes option periods <strong>for</strong> awards made prior to Phase 4.<br />

<strong>The</strong> final rollout will likely be sometime in 2027.<br />

Consequences of Noncompliance with the CMMC Process<br />

A major component of the proposed rule is the affirmation process, where contractors must affirm<br />

compliance initially as well as annually thereafter. <strong>The</strong>se mandatory certifications present the risk of<br />

potential False Claims Act (FCA) liability <strong>for</strong> willful, or even reckless, inaccurate certifications. <strong>The</strong> FCA<br />

imposes liability on a government contractor who “knowingly presents, or causes to be presented, a false<br />

or fraudulent claim <strong>for</strong> payment or approval [or] knowingly makes, uses, or causes to be made or used,<br />

<strong>Cyber</strong> <strong>Defense</strong> <strong>eMagazine</strong> – <strong>March</strong> <strong>2024</strong> <strong>Edition</strong> 139<br />

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

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