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Introduction to CMMC 2.1 Draft Overview of the Cybersecurity Maturity Model Certification (CMMC) Significance of the 2.1 draft release Purpose of the presentation
Accidental Release in July 2023 Circumstances surrounding the unintended publication Immediate reactions and implications for the cybersecurity community
Clarification of External Service Provider (ESP) Definition Previous ambiguities in ESP roles New definition encompassing MSPs, MSSPs, and organizations handling Controlled Unclassified Information (CUI) Reference to 32 CFR 170 for detailed guidelines
Enhanced Certification Requirements for ESPs Mandate for ESPs to obtain certifications similar to Organizations Seeking Certification (OSCs) Impact on non-government contractors, including Cloud Service Providers (CSPs)
Implications for the Defense Industrial Base (DIB) Anticipated effects on cybersecurity practices within the DIB Role of feedback from the DIB, CyberAB, and the broader CMMC ecosystem in shaping the draft
Alignment with Existing Standards Continued emphasis on DFARS 252.204-7012 and NIST SP 800-171 Revision 2 as foundational requirements Integration of these standards into the CMMC framework
Recommendations for Organizations Proactive steps to understand and adapt to the clarified ESP definitions Preparation strategies for meeting potential new certification requirements
Anticipated Timeline and Next Steps Expected timeline for official release and implementation of CMMC 2.1 Steps organizations should take in the interim to ensure compliance
Conclusion and Q&A Recap of key takeaways from the CMMC 2.1 draft Open floor for questions and discussions
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