{"data":{"id":"PM-23","name":"Data Governance Body","family":"PM","family_name":"Program Management","withdrawn":false,"description":"Establish a Data Governance Body consisting of [Assignment: organization-defined roles] with [Assignment: organization-defined responsibilities].","supplemental_guidance":"A Data Governance Body can help ensure that the organization has coherent policies and the ability to balance the utility of data with security and privacy requirements. The Data Governance Body establishes policies, procedures, and standards that facilitate data governance so that data, including personally identifiable information, is effectively managed and maintained in accordance with applicable laws, executive orders, directives, regulations, policies, standards, and guidance. Responsibilities can include developing and implementing guidelines that support data modeling, quality, integrity, and the de-identification needs of personally identifiable information across the information life cycle as well as reviewing and approving applications to release data outside of the organization, archiving the applications and the released data, and performing post-release monitoring to ensure that the assumptions made as part of the data release continue to be valid. Members include the chief information officer, senior agency information security officer, and senior agency official for privacy. Federal agencies are required to establish a Data Governance Body with specific roles and responsibilities in accordance with the [EVIDACT] and policies set forth under [OMB M-19-23].","enhancements":[],"baseline_low":false,"baseline_moderate":false,"baseline_high":false,"nist_800_53":{"rev5":{"id":"PM-23","name":"Data Governance Body","description":"Establish a Data Governance Body consisting of [Assignment: organization-defined roles] with [Assignment: organization-defined responsibilities].","discussion":"A Data Governance Body can help ensure that the organization has coherent policies and the ability to balance the utility of data with security and privacy requirements. The Data Governance Body establishes policies, procedures, and standards that facilitate data governance so that data, including personally identifiable information, is effectively managed and maintained in accordance with applicable laws, executive orders, directives, regulations, policies, standards, and guidance. Responsibilities can include developing and implementing guidelines that support data modeling, quality, integrity, and the de-identification needs of personally identifiable information across the information life cycle as well as reviewing and approving applications to release data outside of the organization, archiving the applications and the released data, and performing post-release monitoring to ensure that the assumptions made as part of the data release continue to be valid. Members include the chief information officer, senior agency information security officer, and senior agency official for privacy. Federal agencies are required to establish a Data Governance Body with specific roles and responsibilities in accordance with the [EVIDACT] and policies set forth under [OMB M-19-23].","related_controls":["AT-02","AT-03","PM-19","PM-22","PM-24","PT-07","SI-04","SI-19"],"baseline_low":false,"baseline_moderate":false,"baseline_high":false,"baseline_privacy":false,"new_in_rev5":true,"changes_from_rev4":"New control in Rev 5. Establishes data governance structure."}},"compliance_mappings":{"iso_27001_2022":[],"iso_27002_2022":[],"cobit_2019":[],"pci_dss_v4":[],"nist_csf_2":["GV.RR-01","GV.RR-02","ID.AM-08"],"cis_controls_v8":[],"soc2_tsc":[],"finos_ccc":[],"iso_42001_2023":[],"iec_62443":[],"asd_e8":[],"nis2":[],"apra_cps_234":[],"mas_trm":[],"pra_op_resilience":[],"bsi_grundschutz":[],"anssi":[],"osfi_b13":[],"finma_circular":[],"gdpr":[],"dora":[],"bio2":[],"rbi_csf":[],"fisc":[],"lgpd_bcb":[],"hkma_tme1":[],"mlps_2":[],"dnb_good_practice":[],"cra":[],"swift_cscf":[],"nerc_cip":[],"nrc_73_54":[],"tsa_psd":[],"ieee_1686":[],"ferc_cip":[],"doe_c2m2":[],"api_1164":[],"awia":[],"iaea_nss":[],"pci_pts":[],"fips_140":[],"cbest":[],"tiber_eu":[],"pci_hsm":[],"common_criteria":[],"isae_3402":[],"fca_sysc_13":[],"fda_21_cfr_11":[],"fda_cyber":[],"hitrust_csf":[],"iso_27799":[],"lloyds_ms":[],"naic_ds":[],"nhs_dspt":[],"pra_ss1_23":[],"solvency_ii":[],"owasp_masvs_v2":[],"csa_ccm_v4":[],"csa_aicm":[],"ccss_v9":[],"mica":[],"basel_sco60":[],"bssc":[],"sec_custody_digital":[],"dpdpa":[]},"attack_techniques":[],"metadata":{"last_reviewed":"2026-10-03","review_notes":"Generated from NIST SP 800-53 Rev 5 with compliance mappings extracted from framework-coverage data 2026-10-03: nist_csf_2 GV.RR-01, GV.RR-02, ID.AM-08 added from NIST's CSF 2.0 to SP 800-53 Rev 5.2.0 crosswalk (OLIR entry 186), which OSA's mapping now takes as its base. 2026-10-03: privacy baseline removed, from NIST SP 800-53B Release 5.2.0.","mapping_status":"complete"},"function":"preventative","used_by_patterns":[]}}