last sync: 2024-Oct-11 17:51:27 UTC

Develop and maintain a vulnerability management standard | Regulatory Compliance - Operational

Azure BuiltIn Policy definition

Source Azure Portal
Display name Develop and maintain a vulnerability management standard
Id 055da733-55c6-9e10-8194-c40731057ec4
Version 1.1.0
Details on versioning
Versioning Versions supported for Versioning: 1
1.1.0
Built-in Versioning [Preview]
Category Regulatory Compliance
Microsoft Learn
Description CMA_0152 - Develop and maintain a vulnerability management standard
Additional metadata Name/Id: CMA_0152 / CMA_0152
Category: Operational
Title: Develop and maintain a vulnerability management standard
Ownership: Customer
Description: Microsoft recommends that your organization establish and document formal processes and procedures for identifying, documenting, tracking, assessing, and remediating vulnerabilities to mitigate risks of external and internal threats. It is recommended to review the documented procedure at an established frequency or whenever there are changes. Vulnerabilities may be identified through various activities, including, but not limited to, internal and external vulnerability scans, penetration tests, and as required from external industry and security forums. It is advised that your organization share the effectiveness of the vulnerability management process to the Board and Senior Management on a periodic basis. It is also recommended that your organization determine and document the triggers to perform vulnerability assessments. These triggers may be scenarios such as introducing a new asset or application, replacing an asset or application, or prior to releasing a new application.
Requirements: The customer is responsible for implementing this recommendation.
Mode All
Type BuiltIn
Preview False
Deprecated False
Effect Default
Manual
Allowed
Manual, Disabled
RBAC role(s) none
Rule aliases none
Rule resource types IF (1)
Microsoft.Resources/subscriptions
Compliance
The following 41 compliance controls are associated with this Policy definition 'Develop and maintain a vulnerability management standard' (055da733-55c6-9e10-8194-c40731057ec4)
Control Domain Control Name MetadataId Category Title Owner Requirements Description Info Policy#
FedRAMP_High_R4 CM-3 FedRAMP_High_R4_CM-3 FedRAMP High CM-3 Configuration Management Configuration Change Control Shared n/a The organization: a. Determines the types of changes to the information system that are configuration-controlled; b. Reviews proposed configuration-controlled changes to the information system and approves or disapproves such changes with explicit consideration for security impact analyses; c. Documents configuration change decisions associated with the information system; d. Implements approved configuration-controlled changes to the information system; e. Retains records of configuration-controlled changes to the information system for [Assignment: organization-defined time period]; f. Audits and reviews activities associated with configuration-controlled changes to the information system; and g. Coordinates and provides oversight for configuration change control activities through [Assignment: organization-defined configuration change control element (e.g., committee, board] that convenes [Selection (one or more): [Assignment: organization-defined frequency]; [Assignment: organization-defined configuration change conditions]]. Supplemental Guidance: Configuration change controls for organizational information systems involve the systematic proposal, justification, implementation, testing, review, and disposition of changes to the systems, including system upgrades and modifications. Configuration change control includes changes to baseline configurations for components and configuration items of information systems, changes to configuration settings for information technology products (e.g., operating systems, applications, firewalls, routers, and mobile devices), unscheduled/unauthorized changes, and changes to remediate vulnerabilities. Typical processes for managing configuration changes to information systems include, for example, Configuration Control Boards that approve proposed changes to systems. For new development information systems or systems undergoing major upgrades, organizations consider including representatives from development organizations on the Configuration Control Boards. Auditing of changes includes activities before and after changes are made to organizational information systems and the auditing activities required to implement such changes. Related controls: CM-2, CM-4, CM-5, CM-6, CM-9, SA-10, SI-2, SI-12. References: NIST Special Publication 800-128. link 8
FedRAMP_High_R4 CM-4 FedRAMP_High_R4_CM-4 FedRAMP High CM-4 Configuration Management Security Impact Analysis Shared n/a The organization analyzes changes to the information system to determine potential security impacts prior to change implementation. Supplemental Guidance: Organizational personnel with information security responsibilities (e.g., Information System Administrators, Information System Security Officers, Information System Security Managers, and Information System Security Engineers) conduct security impact analyses. Individuals conducting security impact analyses possess the necessary skills/technical expertise to analyze the changes to information systems and the associated security ramifications. Security impact analysis may include, for example, reviewing security plans to understand security control requirements and reviewing system design documentation to understand control implementation and how specific changes might affect the controls. Security impact analyses may also include assessments of risk to better understand the impact of the changes and to determine if additional security controls are required. Security impact analyses are scaled in accordance with the security categories of the information systems. Related controls: CA-2, CA-7, CM-3, CM-9, SA-4, SA-5, SA-10, SI-2. References: NIST Special Publication 800-128. link 8
FedRAMP_Moderate_R4 CM-3 FedRAMP_Moderate_R4_CM-3 FedRAMP Moderate CM-3 Configuration Management Configuration Change Control Shared n/a The organization: a. Determines the types of changes to the information system that are configuration-controlled; b. Reviews proposed configuration-controlled changes to the information system and approves or disapproves such changes with explicit consideration for security impact analyses; c. Documents configuration change decisions associated with the information system; d. Implements approved configuration-controlled changes to the information system; e. Retains records of configuration-controlled changes to the information system for [Assignment: organization-defined time period]; f. Audits and reviews activities associated with configuration-controlled changes to the information system; and g. Coordinates and provides oversight for configuration change control activities through [Assignment: organization-defined configuration change control element (e.g., committee, board] that convenes [Selection (one or more): [Assignment: organization-defined frequency]; [Assignment: organization-defined configuration change conditions]]. Supplemental Guidance: Configuration change controls for organizational information systems involve the systematic proposal, justification, implementation, testing, review, and disposition of changes to the systems, including system upgrades and modifications. Configuration change control includes changes to baseline configurations for components and configuration items of information systems, changes to configuration settings for information technology products (e.g., operating systems, applications, firewalls, routers, and mobile devices), unscheduled/unauthorized changes, and changes to remediate vulnerabilities. Typical processes for managing configuration changes to information systems include, for example, Configuration Control Boards that approve proposed changes to systems. For new development information systems or systems undergoing major upgrades, organizations consider including representatives from development organizations on the Configuration Control Boards. Auditing of changes includes activities before and after changes are made to organizational information systems and the auditing activities required to implement such changes. Related controls: CM-2, CM-4, CM-5, CM-6, CM-9, SA-10, SI-2, SI-12. References: NIST Special Publication 800-128. link 8
FedRAMP_Moderate_R4 CM-4 FedRAMP_Moderate_R4_CM-4 FedRAMP Moderate CM-4 Configuration Management Security Impact Analysis Shared n/a The organization analyzes changes to the information system to determine potential security impacts prior to change implementation. Supplemental Guidance: Organizational personnel with information security responsibilities (e.g., Information System Administrators, Information System Security Officers, Information System Security Managers, and Information System Security Engineers) conduct security impact analyses. Individuals conducting security impact analyses possess the necessary skills/technical expertise to analyze the changes to information systems and the associated security ramifications. Security impact analysis may include, for example, reviewing security plans to understand security control requirements and reviewing system design documentation to understand control implementation and how specific changes might affect the controls. Security impact analyses may also include assessments of risk to better understand the impact of the changes and to determine if additional security controls are required. Security impact analyses are scaled in accordance with the security categories of the information systems. Related controls: CA-2, CA-7, CM-3, CM-9, SA-4, SA-5, SA-10, SI-2. References: NIST Special Publication 800-128. link 8
hipaa 0618.09b1System.1-09.b hipaa-0618.09b1System.1-09.b 0618.09b1System.1-09.b 06 Configuration Management 0618.09b1System.1-09.b 09.01 Documented Operating Procedures Shared n/a Changes to information assets, including systems, networks, and network services, are controlled and archived. 16
hipaa 0638.10k2Organizational.34569-10.k hipaa-0638.10k2Organizational.34569-10.k 0638.10k2Organizational.34569-10.k 06 Configuration Management 0638.10k2Organizational.34569-10.k 10.05 Security In Development and Support Processes Shared n/a Changes are formally controlled, documented, and enforced in order to minimize the corruption of information systems. 14
hipaa 0641.10k2Organizational.11-10.k hipaa-0641.10k2Organizational.11-10.k 0641.10k2Organizational.11-10.k 06 Configuration Management 0641.10k2Organizational.11-10.k 10.05 Security In Development and Support Processes Shared n/a The organization does not use automated updates on critical systems. 13
hipaa 0643.10k3Organizational.3-10.k hipaa-0643.10k3Organizational.3-10.k 0643.10k3Organizational.3-10.k 06 Configuration Management 0643.10k3Organizational.3-10.k 10.05 Security In Development and Support Processes Shared n/a The organization (i) establishes and documents mandatory configuration settings for information technology products employed within the information system using the latest security configuration baselines; (ii) identifies, documents, and approves exceptions from the mandatory established configuration settings for individual components based on explicit operational requirements; and, (iii) monitors and controls changes to the configuration settings in accordance with organizational policies and procedures. 17
hipaa 0672.10k3System.5-10.k hipaa-0672.10k3System.5-10.k 0672.10k3System.5-10.k 06 Configuration Management 0672.10k3System.5-10.k 10.05 Security In Development and Support Processes Shared n/a The integrity of all virtual machine images is ensured at all times by (i) logging and raising an alert for any changes made to virtual machine images, and (ii) making available to the business owner(s) and/or customer(s) through electronic methods (e.g., portals or alerts) the results of a change or move and the subsequent validation of the image's integrity. 12
hipaa 0821.09m2Organizational.2-09.m hipaa-0821.09m2Organizational.2-09.m 0821.09m2Organizational.2-09.m 08 Network Protection 0821.09m2Organizational.2-09.m 09.06 Network Security Management Shared n/a The organization tests and approves all network connections and firewall, router, and switch configuration changes prior to implementation. Any deviations from the standard configuration or updates to the standard configuration are documented and approved in a change control system. All new configuration rules beyond a baseline-hardened configuration that allow traffic to flow through network security devices, such as firewalls and network-based IPS, are also documented and recorded, with a specific business reason for each change, a specific individual’s name responsible for that business need, and an expected duration of the need. 18
hipaa 0863.09m2Organizational.910-09.m hipaa-0863.09m2Organizational.910-09.m 0863.09m2Organizational.910-09.m 08 Network Protection 0863.09m2Organizational.910-09.m 09.06 Network Security Management Shared n/a The organization builds a firewall configuration that restricts connections between untrusted networks and any system components in the covered information environment; and any changes to the firewall configuration are updated in the network diagram. 25
hipaa 1208.09aa3System.1-09.aa hipaa-1208.09aa3System.1-09.aa 1208.09aa3System.1-09.aa 12 Audit Logging & Monitoring 1208.09aa3System.1-09.aa 09.10 Monitoring Shared n/a Audit logs are maintained for management activities, system and application startup/shutdown/errors, file changes, and security policy changes. 18
hipaa 1734.03d2Organizational.1-03.d hipaa-1734.03d2Organizational.1-03.d 1734.03d2Organizational.1-03.d 17 Risk Management 1734.03d2Organizational.1-03.d 03.01 Risk Management Program Shared n/a The risk management process is integrated with the change management process within the organization. 8
hipaa 1735.03d2Organizational.23-03.d hipaa-1735.03d2Organizational.23-03.d 1735.03d2Organizational.23-03.d 17 Risk Management 1735.03d2Organizational.23-03.d 03.01 Risk Management Program Shared n/a Risk assessments are conducted whenever there is a significant change in the environment, or a change that could have a significant impact, and the results of the assessments are included in the change management process, so they may guide the decisions within the change management process (e.g., approvals for changes). 8
hipaa 1788.10a2Organizational.2-10.a hipaa-1788.10a2Organizational.2-10.a 1788.10a2Organizational.2-10.a 17 Risk Management 1788.10a2Organizational.2-10.a 10.01 Security Requirements of Information Systems Shared n/a The organization has established and appropriately protected secure development environments for system development and integration efforts that cover the entire system development life cycle. 9
ISO27001-2013 A.12.1.2 ISO27001-2013_A.12.1.2 ISO 27001:2013 A.12.1.2 Operations Security Change management Shared n/a Changes to organization, business processes, information processing facilities and systems that affect information security shall be controlled. link 27
ISO27001-2013 A.12.5.1 ISO27001-2013_A.12.5.1 ISO 27001:2013 A.12.5.1 Operations Security Installation of software on operational systems Shared n/a Procedures shall be implemented to control the installation of software on operational systems. link 18
ISO27001-2013 A.12.6.2 ISO27001-2013_A.12.6.2 ISO 27001:2013 A.12.6.2 Operations Security Restrictions on software installation Shared n/a Rules governing the installation of software by users shall be established and implemented. link 18
ISO27001-2013 A.14.2.2 ISO27001-2013_A.14.2.2 ISO 27001:2013 A.14.2.2 System Acquisition, Development And Maintenance System change control procedures Shared n/a Changes to systems within the development lifecycle shall be controlled by the use of formal change control procedures. link 25
ISO27001-2013 A.14.2.3 ISO27001-2013_A.14.2.3 ISO 27001:2013 A.14.2.3 System Acquisition, Development And Maintenance Technical review of applications after operating platform changes Shared n/a When operating platforms are changed, business critical applications shall be reviewed and tested to ensure there is no adverse impact on organizational operations or security. link 18
ISO27001-2013 A.14.2.4 ISO27001-2013_A.14.2.4 ISO 27001:2013 A.14.2.4 System Acquisition, Development And Maintenance Restrictions on changes to software packages Shared n/a Modifications to software packages shall be discouraged, limited to necessary changes and all changes shall be strictly controlled. link 24
ISO27001-2013 C.8.1 ISO27001-2013_C.8.1 ISO 27001:2013 C.8.1 Operation Operational planning and control Shared n/a The organization shall plan, implement and control the processes needed to meet information security requirements, and to implement the actions determined in 6.1. The organization shall also implement plans to achieve information security objectives determined in 6.2. The organization shall keep documented information to the extent necessary to have confidence that the processes have been carried out as planned. The organization shall control planned changes and review the consequences of unintended changes, taking action to mitigate any adverse effects, as necessary. The organization shall ensure that outsourced processes are determined and controlled. link 21
mp.eq.2 User session lockout mp.eq.2 User session lockout 404 not found n/a n/a 29
mp.sw.2 Acceptance and commissioning mp.sw.2 Acceptance and commissioning 404 not found n/a n/a 60
NIST_SP_800-171_R2_3 .4.3 NIST_SP_800-171_R2_3.4.3 NIST SP 800-171 R2 3.4.3 Configuration Management Track, review, approve or disapprove, and log changes to organizational systems. Shared Microsoft and the customer share responsibilities for implementing this requirement. Tracking, reviewing, approving/disapproving, and logging changes is called configuration change control. Configuration change control for organizational systems involves the systematic proposal, justification, implementation, testing, review, and disposition of changes to the systems, including system upgrades and modifications. Configuration change control includes changes to baseline configurations for components and configuration items of systems, changes to configuration settings for information technology products (e.g., operating systems, applications, firewalls, routers, and mobile devices), unscheduled and unauthorized changes, and changes to remediate vulnerabilities. Processes for managing configuration changes to systems include Configuration Control Boards or Change Advisory Boards that review and approve proposed changes to systems. For new development systems or systems undergoing major upgrades, organizations consider including representatives from development organizations on the Configuration Control Boards or Change Advisory Boards. Audit logs of changes include activities before and after changes are made to organizational systems and the activities required to implement such changes. [SP 800-128] provides guidance on configuration change control. link 15
NIST_SP_800-171_R2_3 .4.4 NIST_SP_800-171_R2_3.4.4 NIST SP 800-171 R2 3.4.4 Configuration Management Analyze the security impact of changes prior to implementation. Shared Microsoft and the customer share responsibilities for implementing this requirement. Organizational personnel with information security responsibilities (e.g., system administrators, system security officers, system security managers, and systems security engineers) conduct security impact analyses. Individuals conducting security impact analyses possess the necessary skills and technical expertise to analyze the changes to systems and the associated security ramifications. Security impact analysis may include reviewing security plans to understand security requirements and reviewing system design documentation to understand the implementation of controls and how specific changes might affect the controls. Security impact analyses may also include risk assessments to better understand the impact of the changes and to determine if additional controls are required. [SP 800-128] provides guidance on configuration change control and security impact analysis. link 8
NIST_SP_800-53_R4 CM-3 NIST_SP_800-53_R4_CM-3 NIST SP 800-53 Rev. 4 CM-3 Configuration Management Configuration Change Control Shared n/a The organization: a. Determines the types of changes to the information system that are configuration-controlled; b. Reviews proposed configuration-controlled changes to the information system and approves or disapproves such changes with explicit consideration for security impact analyses; c. Documents configuration change decisions associated with the information system; d. Implements approved configuration-controlled changes to the information system; e. Retains records of configuration-controlled changes to the information system for [Assignment: organization-defined time period]; f. Audits and reviews activities associated with configuration-controlled changes to the information system; and g. Coordinates and provides oversight for configuration change control activities through [Assignment: organization-defined configuration change control element (e.g., committee, board] that convenes [Selection (one or more): [Assignment: organization-defined frequency]; [Assignment: organization-defined configuration change conditions]]. Supplemental Guidance: Configuration change controls for organizational information systems involve the systematic proposal, justification, implementation, testing, review, and disposition of changes to the systems, including system upgrades and modifications. Configuration change control includes changes to baseline configurations for components and configuration items of information systems, changes to configuration settings for information technology products (e.g., operating systems, applications, firewalls, routers, and mobile devices), unscheduled/unauthorized changes, and changes to remediate vulnerabilities. Typical processes for managing configuration changes to information systems include, for example, Configuration Control Boards that approve proposed changes to systems. For new development information systems or systems undergoing major upgrades, organizations consider including representatives from development organizations on the Configuration Control Boards. Auditing of changes includes activities before and after changes are made to organizational information systems and the auditing activities required to implement such changes. Related controls: CM-2, CM-4, CM-5, CM-6, CM-9, SA-10, SI-2, SI-12. References: NIST Special Publication 800-128. link 8
NIST_SP_800-53_R4 CM-4 NIST_SP_800-53_R4_CM-4 NIST SP 800-53 Rev. 4 CM-4 Configuration Management Security Impact Analysis Shared n/a The organization analyzes changes to the information system to determine potential security impacts prior to change implementation. Supplemental Guidance: Organizational personnel with information security responsibilities (e.g., Information System Administrators, Information System Security Officers, Information System Security Managers, and Information System Security Engineers) conduct security impact analyses. Individuals conducting security impact analyses possess the necessary skills/technical expertise to analyze the changes to information systems and the associated security ramifications. Security impact analysis may include, for example, reviewing security plans to understand security control requirements and reviewing system design documentation to understand control implementation and how specific changes might affect the controls. Security impact analyses may also include assessments of risk to better understand the impact of the changes and to determine if additional security controls are required. Security impact analyses are scaled in accordance with the security categories of the information systems. Related controls: CA-2, CA-7, CM-3, CM-9, SA-4, SA-5, SA-10, SI-2. References: NIST Special Publication 800-128. link 8
NIST_SP_800-53_R5 CM-3 NIST_SP_800-53_R5_CM-3 NIST SP 800-53 Rev. 5 CM-3 Configuration Management Configuration Change Control Shared n/a a. Determine and document the types of changes to the system that are configuration-controlled; b. Review proposed configuration-controlled changes to the system and approve or disapprove such changes with explicit consideration for security and privacy impact analyses; c. Document configuration change decisions associated with the system; d. Implement approved configuration-controlled changes to the system; e. Retain records of configuration-controlled changes to the system for [Assignment: organization-defined time period]; f. Monitor and review activities associated with configuration-controlled changes to the system; and g. Coordinate and provide oversight for configuration change control activities through [Assignment: organization-defined configuration change control element] that convenes [Selection (OneOrMore): [Assignment: organization-defined frequency] ;when [Assignment: organization-defined configuration change conditions] ] . link 8
NIST_SP_800-53_R5 CM-4 NIST_SP_800-53_R5_CM-4 NIST SP 800-53 Rev. 5 CM-4 Configuration Management Impact Analyses Shared n/a Analyze changes to the system to determine potential security and privacy impacts prior to change implementation. link 8
op.exp.2 Security configuration op.exp.2 Security configuration 404 not found n/a n/a 112
op.exp.3 Security configuration management op.exp.3 Security configuration management 404 not found n/a n/a 123
op.exp.4 Security maintenance and updates op.exp.4 Security maintenance and updates 404 not found n/a n/a 78
op.exp.5 Change management op.exp.5 Change management 404 not found n/a n/a 71
op.mon.3 Monitoring op.mon.3 Monitoring 404 not found n/a n/a 51
org.4 Authorization process org.4 Authorization process 404 not found n/a n/a 126
PCI_DSS_v4.0 1.2.2 PCI_DSS_v4.0_1.2.2 PCI DSS v4.0 1.2.2 Requirement 01: Install and Maintain Network Security Controls Network security controls (NSCs) are configured and maintained Shared n/a All changes to network connections and to configurations of NSCs are approved and managed in accordance with the change control process defined at Requirement 6.5.1. link 8
PCI_DSS_v4.0 5.3.5 PCI_DSS_v4.0_5.3.5 PCI DSS v4.0 5.3.5 Requirement 05: Protect All Systems and Networks from Malicious Software Anti-malware mechanisms and processes are active, maintained, and monitored Shared n/a Anti-malware mechanisms cannot be disabled or altered by users, unless specifically documented, and authorized by management on a case-by-case basis for a limited time period. link 8
PCI_DSS_v4.0 6.5.1 PCI_DSS_v4.0_6.5.1 PCI DSS v4.0 6.5.1 Requirement 06: Develop and Maintain Secure Systems and Software Changes to all system components are managed securely Shared n/a Changes to all system components in the production environment are made according to established procedures that include: • Reason for, and description of, the change. • Documentation of security impact. • Documented change approval by authorized parties. • Testing to verify that the change does not adversely impact system security. • For bespoke and custom software changes, all updates are tested for compliance with Requirement 6.2.4 before being deployed into production. • Procedures to address failures and return to a secure state. link 8
SOC_2 CC8.1 SOC_2_CC8.1 SOC 2 Type 2 CC8.1 Change Management Changes to infrastructure, data, and software Shared The customer is responsible for implementing this recommendation. Manages Changes Throughout the System Life Cycle — A process for managing system changes throughout the life cycle of the system and its components (infrastructure, data, software, and procedures) is used to support system availability and processing integrity. • Authorizes Changes — A process is in place to authorize system changes prior to development. • Designs and Develops Changes — A process is in place to design and develop system changes. • Documents Changes — A process is in place to document system changes to support ongoing maintenance of the system and to support system users in performing their responsibilities. • Tracks System Changes — A process is in place to track system changes prior to implementation. • Configures Software — A process is in place to select and implement the configuration parameters used to control the functionality of software. • Tests System Changes — A process is in place to test system changes prior to implementation. • Approves System Changes — A process is in place to approve system changes prior to implementation. • Deploys System Changes — A process is in place to implement system changes. • Identifies and Evaluates System Changes — Objectives affected by system changes are identified and the ability of the modified system to meet the objectives is evaluated throughout the system development life cycle. • Identifies Changes in Infrastructure, Data, Software, and Procedures Required to Remediate Incidents — Changes in infrastructure, data, software, and procedures required to remediate incidents to continue to meet objectives are identified and the change process is initiated upon identification. • Creates Baseline Configuration of IT Technology — A baseline configuration of IT and control systems is created and maintained. • Provides for Changes Necessary in Emergency Situations — A process is in place for authorizing, designing, testing, approving, and implementing changes necessary in emergency situations (that is, changes that need to be implemented in an urgent time frame). Additional points of focus that apply only in an engagement using the trust services criteria for confidentiality: • Protects Confidential Information — The entity protects confidential information during system design, development, testing, implementation, and change processes to meet the entity’s objectives related to confidentiality. Additional points of focus that apply only in an engagement using the trust services criteria for privacy: • Protects Personal Information — The entity protects personal information during system design, development, testing, implementation, and change processes to meet the entity’s objectives related to privacy. 52
SWIFT_CSCF_v2022 2.3 SWIFT_CSCF_v2022_2.3 SWIFT CSCF v2022 2.3 2. Reduce Attack Surface and Vulnerabilities Reduce the cyber-attack surface of SWIFT-related components by performing system hardening. Shared n/a Security hardening is conducted and maintained on all in-scope components. link 25
Initiatives usage
Initiative DisplayName Initiative Id Initiative Category State Type
FedRAMP High d5264498-16f4-418a-b659-fa7ef418175f Regulatory Compliance GA BuiltIn
FedRAMP Moderate e95f5a9f-57ad-4d03-bb0b-b1d16db93693 Regulatory Compliance GA BuiltIn
HITRUST/HIPAA a169a624-5599-4385-a696-c8d643089fab Regulatory Compliance GA BuiltIn
ISO 27001:2013 89c6cddc-1c73-4ac1-b19c-54d1a15a42f2 Regulatory Compliance GA BuiltIn
NIST SP 800-171 Rev. 2 03055927-78bd-4236-86c0-f36125a10dc9 Regulatory Compliance GA BuiltIn
NIST SP 800-53 Rev. 4 cf25b9c1-bd23-4eb6-bd2c-f4f3ac644a5f Regulatory Compliance GA BuiltIn
NIST SP 800-53 Rev. 5 179d1daa-458f-4e47-8086-2a68d0d6c38f Regulatory Compliance GA BuiltIn
PCI DSS v4 c676748e-3af9-4e22-bc28-50feed564afb Regulatory Compliance GA BuiltIn
SOC 2 Type 2 4054785f-702b-4a98-9215-009cbd58b141 Regulatory Compliance GA BuiltIn
Spain ENS 175daf90-21e1-4fec-b745-7b4c909aa94c Regulatory Compliance GA BuiltIn
SWIFT CSP-CSCF v2022 7bc7cd6c-4114-ff31-3cac-59be3157596d Regulatory Compliance GA BuiltIn
History
Date/Time (UTC ymd) (i) Change type Change detail
2022-09-27 16:35:32 change Minor (1.0.0 > 1.1.0)
2022-09-13 16:35:29 add 055da733-55c6-9e10-8194-c40731057ec4
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