As part of efforts to secure government infrastructure, an interagency working group is developing plans for cybersecurity requirements in federal acquisitions, which would benefit from a consistent terminology.
It makes sense to buy products and services with some degree of security built-in rather than to add security piecemeal as vulnerabilities are found. That is one of the goals of an interagency working group developing plans for cybersecurity requirements in federal acquisitions.
The Joint Working Group on Improving Cybersecurity and Resilience through Acquisition, a cooperative effort between the Defense and Homeland Security departments and headed by the General Services Administration, has issued a request for information on how best to include cybersecurity requirements in contracts. Such requirements are not entirely absent from Federal Acquisition Regulations, but the working group is tasked with making them more consistent — both across government and with industry requirements — and focusing them on risk management rather than boiler-plate contract language.
Not that language isn’t important. “The importance of common language cannot be overstated,” the RFI says. “It is apparent that a common lexicon is one of the critical gaps in harmonizing federal acquisition requirements related to cybersecurity.”
Attempts at developing a common lexicon are being made. DHS’ National Initiative for Cybersecurity Careers and Studies, for example, has a cybersecurity glossary intended “to enable clearer communication and common understanding of cybersecurity terms, through use of plain English and annotations on the definitions.” The question is whether a common lexicon can be applied consistently to the acquisition process.
The acquisition effort is part of a presidential initiative in the face of congressional gridlock to improve government and critical infrastructure cybersecurity. A voluntary framework for privately-owned critical infrastructure systems is being developed, but additions to FAR would be mandatory for agencies, although it is not anticipated that the changes would be a one-size-fits-all set of requirements.
The working group was formed under Executive Order 13636 on Improving Critical Infrastructure Cybersecurity and Presidential Policy Directive-21 on Critical Infrastructure Security and Resilience, both issued in February. According to the RFI, one of the goals of the orders is to “provide and support government-wide contracts for critical infrastructure systems and ensure that such contracts include audit rights for the security and resilience of critical infrastructure.”
The working group’s job is to make recommendations on the feasibility, benefits and merits of incorporating security standards into contracting requirements. The recommendations are expected to lay the foundation for any standards.
The working group wants to identify internal conflicts between different government cybersecurity requirements as well as conflicts with industry and international standards. Some of the issues it is asking for feedback on are incentives that could be offered to government contractors and suppliers in the face of tight budgets; how closely current commercial standards and best practices meet federal requirements; and how to better match commercial practices with federal needs.
Anyone interested in providing input to the project should respond to the RFI by June 12.