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NIST Issues Draft Guidance on Security and Privacy Control Baselines – SP 800-53B

By Elfin Noce, Jonathan E. Meyer, Townsend Bourne & Gabriel Khoury*
August 6, 2020
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NIST’s news draft guidance, Special Publication 800-53B, Control Baselines for Information Systems and Organizations, provides important information on selecting both security and privacy control baselines for the Federal Government. These control baselines are from NIST Special Publication 800-53 and have been moved to this separate publication “so the SP 800-53 [can] serve as a consolidated catalog of security and privacy controls regardless of how those controls [are] used by different communities of interest.”   The new guidance addresses federal information systems and is applicable to information systems used or operated by an agency, a contractor on behalf of an agency, or another organization on behalf of an agency.

This guidance provides security control baselines for low, moderate, and high-impact systems and an initial privacy baseline for meeting and managing privacy risks that arise from processing personally identifiable information. These control baselines are organized and mapped out to 20 control families from SP 800-53 (Revision 5), including Personally Identifiable Information Processing and Transparency and Supply Chain Risk Management. It also outlines a tailoring process in which companies can align their controls to more closely address the specific security and privacy requirements required by their specific circumstances. The goal of this process is to provide cost-effective solutions to support organizational missions and business needs along with adequate security and privacy protections commensurate with risk.

Companies can tailor the control baselines through use of common controls, applying scoping considerations, selecting compensating controls, assigning control parameter values, supplementing control baselines, or providing specification information for control implementation.

When making tailoring decisions, companies need to address every control in the selected baseline and document the rationale of the tailoring decisions. In particular, if a control is determined not to be needed, the rationale must be recorded in the system and in the security plans, which must be subsequently approved by responsible individuals within the company.

NIST is soliciting comments on this draft guidance through the end of the public comment period on September 11, 2020.

Putting it Into Practice: Federal contractors should pay close attention to these guidelines as these new security and privacy baselines will be applied to any federal information system used or operated by a contractor on behalf of an agency, or another organization on behalf of an agency. Companies in the private sector should pay attention as well, as NIST guidance is often used as a basis for industry standards in security and privacy.

Photo of Elfin Noce Elfin Noce

Elfin Noce is an associate in the Business Trial Practice Group in the firm’s Washington, D.C. office. He also is a member of the Privacy and Cybersecurity Team.

Read more about Elfin NoceEmail
Photo of Jonathan E. Meyer Jonathan E. Meyer

Jonathan Meyer is a partner in the Government Contracts, Investigations and International Trade Practice Group in the firm’s Washington, D.C. office.

Read more about Jonathan E. MeyerEmail
Photo of Townsend Bourne Townsend Bourne

Townsend Bourne is a partner in the Government Contracts, Investigations and International Trade Practice Group in the firm’s Washington, D.C. office. She also is Leader of the firm’s Aerospace, Defense & Government Services Team.

Read more about Townsend BourneEmail
  • Posted in:
    Administrative
  • Blog:
    Government Contracts & Investigations Blog
  • Organization:
    Sheppard, Mullin, Richter & Hampton LLP
  • Article: View Original Source

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