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CA-01 Policy and Procedures

Security Assessment and Authorization

Low Moderate High Privacy

Description

a. Develop, document, and disseminate to [Assignment: organization-defined personnel or roles]: 1. [Selection (one or more): Organization-level; Mission/business process-level; System-level] assessment, authorization, and monitoring policy that: (a) Addresses purpose, scope, roles, responsibilities, management commitment, coordination among organizational entities, and compliance; and (b) Is consistent with applicable laws, executive orders, directives, regulations, policies, standards, and guidelines; and 2. Procedures to facilitate the implementation of the assessment, authorization, and monitoring policy and the associated assessment, authorization, and monitoring controls; b. Designate an [Assignment: organization-defined official] to manage the development, documentation, and dissemination of the assessment, authorization, and monitoring policy and procedures; and c. Review and update the current assessment, authorization, and monitoring: 1. Policy [Assignment: organization-defined frequency] and following [Assignment: organization-defined events]; and 2. Procedures [Assignment: organization-defined frequency] and following [Assignment: organization-defined events].

Supplemental Guidance

Assessment, authorization, and monitoring policy and procedures address the controls in the CA family that are implemented within systems and organizations. The risk management strategy is an important factor in establishing such policies and procedures. Policies and procedures contribute to security and privacy assurance. Therefore, it is important that security and privacy programs collaborate on the development of assessment, authorization, and monitoring policy and procedures. Security and privacy program policies and procedures at the organization level are preferable, in general, and may obviate the need for mission- or system-specific policies and procedures. The policy can be included as part of the general security and privacy policy or be represented by multiple policies that reflect the complex nature of organizations. Procedures can be established for security and privacy programs, for mission or business processes, and for systems, if needed. Procedures describe how the policies or controls are implemented and can be directed at the individual or role that is the object of the procedure. Procedures can be documented in system security and privacy plans or in one or more separate documents. Events that may precipitate an update to assessment, authorization, and monitoring policy and procedures include assessment or audit findings, security incidents or breaches, or changes in applicable laws, executive orders, directives, regulations, policies, standards, and guidelines. Simply restating controls does not constitute an organizational policy or procedure.

Changes from Rev 4

Title changed from 'Security Assessment and Authorization Policies and Procedures' Requires the selection (one or more) of organization-level; mission/business process-level; system-level assessment, authorization, and monitoring policies Adds text requiring consistency with applicable laws, executive orders, directives, regulations, policies, standards, and guidelines Requires the designation of a specific official to manage the development, documentation, and dissemination of the assessment, authorization, and monitoring policy and procedures New parameters include need to update policy and procedures after specified events in additional to specified frequency Discussion amplifies the need for policy and procedures for risk management, and to help provide security and privacy assurance

Patterns that use this control (3)

Grouped by the emphasis each pattern gives it.

Compliance Mappings

ISO 27001:2022

5.25.37.59.29.3A.5.1A.5.2A.5.4A.5.31A.5.36A.5.37

ISO 27002:2022

5.1

COBIT 2019

MEA04

NIST CSF 2.0

GV.OC-03GV.OV-01GV.PO-01GV.PO-02GV.SC-03ID.IM-01ID.IM-02ID.IM-03

SOC 2 TSC

CC1.2-POF1CC1.4-POF1CC2.2-POF1CC2.2-POF7CC4.1CC5.3CC5.3-POF1CC5.3-POF6CC6.1-POF2CC6.1-POF9CC7.2-POF1P1.1-POF5

PCI DSS v4.0.1

11.112.1

CSA CCM v4

AA-01

CSA AICM v1

A&A-01

ISO 42001:2023

A.5.2

ANSSI

Hygiene.2Hygiene.36RGS.1.3SecNumCloud.6.1SecNumCloud.19.1

FINMA Circular 2023/1

IV.A(23)IV.A(24)IV.D(75)

OSFI B-13

B-13.1.3

EU GDPR

Art.24(1)Art.32(1)(d)Art.32(2)

EU DORA

Art.5(1)Art.6(1)Art.24(1)

BIO2

5.1

RBI CSF

Annex1.18ITGRCA.22ITGRCA.30

FISC Security Guidelines

FISC.O7

LGPD + BCB 4893

BCB.Art.2LGPD.Art.46LGPD.Art.50

HKMA TM-E-1

TME1.2.5

DNB Good Practice

DNB.1.2

SAMA CSF

1.2

NCA ECC

1-31-8

UAE IA

T3

Qatar NIA

GV

CBUAE

CR-14

CBE CSF

GOV-3

SA JS2

JS2-9

CBN CSF

Part6.2

BoG CISD

CISD-COMPCISD-IICISD-ISMSCISD-IV

POPIA

s19

BoM CTRM

1.55.4

IOSCO Cyber Resilience

GOV-1

BCBS 239

Principle 1

CPMI-IOSCO PFMI

PFMI.P2

FFIEC IS

Appendix AII.C.1IV.A

NYDFS 500

500.3

HIPAA Security Rule

§164.308(a)(8)§164.316(a)§164.316(b)(1)

EBA ICT Guidelines

3.2.13.3.13.4.1

BOT Cyber Resilience

Ch1.3Ch6.1

CMMC 2.0

CA

10 CFR 73.54

RG5.71-C-CA

API 1164

Sec 15

IAEA NSS 17-T

Sec 11

CBEST

CBEST.1

ISAE 3402

Clause 1Clause 3

Solvency II

Art.41(1)Art.41(3)DR.258DR.266

Lloyd's Minimum Standards

MS8.2

PRA SS1/23

P2.2P4.1

HITRUST CSF v11

04.a06.c

ISO 27799

5.118.3

NHS DSPT

NDG-5.1

MiCA

Art.34(5)Art.54(1)Art.62(1)Art.62(7)Art.111(1)

Basel SCO60

SCO60.3SCO60.50SCO60.60SCO60.74

BSSC Standards

GSP-10KMS-01NOS-01TIS-01

SEC Custody (Digital Assets)

SEC-CD-01SEC-CD-14SEC-CD-17SEC-CD-19

ISO 17799 (legacy)

6.1.410.3.215.1.1

COBIT 4.1 (legacy)

PO10.12PC5