Do you support the U.S. Department of Defense (DoD) either directly as a contractor or indirectly as a subcontractor? If yes, you are required to comply with CMMC 2.0.
It doesn’t matter whether you develop or deliver a product, or a service, for the DoD. Whether your product is an aircraft, a computer, or a fax machine. Whether your service is aircraft maintenance, cloud storage, or fax repair. Or any other product or service.
What DOES matter, for purposes of CMMC 2.0 compliance, is the type of information you collect, create, transmit, or receive during the course of fulfilling your contract or subcontract.
If you handle federal contract information (FCI) and/or controlled unclassified information (CUI) as part of your contractual work with for DoD, you are required to demonstrate compliance with the CMMC 2.0 cybersecurity framework in order to maintain your DoD contract.
This requirement applies to any organization, regardless of size or industry. It applies whether you create the information, file or store it, transfer or distribute it, archive or dispose of it, or are otherwise responsible for it. Failure to comply—and to have your compliance certified—is likely to jeopardize your DoD work once the CMMC 2.0 requirement begins appearing in DoD contracts next year.
The good news is that you still have time (just) to become compliant and attain certification before this requirement takes effect. But you need to get started now.
For reasons of national security, the DoD needs to make sure its extensive supply chain is protected from data breaches and other cyber threats. One weak link is all it takes to potentially jeopardize the entire chain. More than 200,000 organizations comprise the DoD supply chain, with varying degrees of cybersecurity and information security safeguards in place.
Controlled unclassified information (CUI) is very sensitive information, although it is not considered classified information.* Instead, it has been judged to be “pertinent to our national interests, or pertinent to the important interests of entities beyond the federal government.” Because of this, it requires proper protection, which is spelled out in CMMC 2.0.
Similarly, federal contract information (FCI) is “provided by or created for the DoD under a contract to develop or deliver a product or service to DoD. It is not intended for public release.” As such, it is considered sensitive enough to require proper protection, which is also spelled out in CMMC 2.0.
* Protection requirements for classified information are addressed in Executive Order 13556 rather than in CMMC 2.0.
March 2023. CMMC 2.0, which replaces and streamlines the original Cybersecurity Maturity Model Certification, is expected to be ratified and published in the Federal Register, making it officially live.
July 2023. DoD anticipates that the requirement for contractors to be CMMC 2.0 certified will begin appearing in its contracts. This gives contractors one year to prepare for compliance and become certified.
August 2022. Rather than waiting for the official launch, DoD plans to jump-start the compliance process with a voluntary, early program that allows contractors to obtain compliance assessments and certification from official third-party assessors. These early certifications will be accepted when CMMC compliance requirements begin appearing in DoD contracts next summer.
This interim program enables those who are already well along in the compliance process to continue toward certification without delay. It will also alleviate some of the high demand for compliance and certification resources that is expected next year when CMMC 2.0 goes live.
The compliance and certification process can take six months to a year, or longer, depending on these factors:
The closer we get to July 2023, the more urgent it will become to lock in an authorized third-party assessor and schedule your official compliance assessment. As of this writing, there were just 16 authorized assessors listed on the CMMC Accreditation Body website under Marketplace.
In CMMC 2.0, three maturity levels reflect the type of information a defense contractor or subcontractor handles, processes, or is otherwise responsible for. The compliance requirements established for each level are appropriate for each information type. It is vital to understand these distinctions as you prepare for the appropriate level of compliance.
It is also important to understand that the three levels and their respective requirements are cumulative. For an organization to attain maturity Level 2, for example, it must also demonstrate it has met the requirements of Level 1. Following are brief descriptions of the three levels.
There are a number of steps required in the journey to compliance. They occur in four distinct phases, as described below.
24By7Security is an authorized RPO and is listed as such in the Marketplace on the Cyber AB (formerly known as the CMMC Accreditation Body) website. We are able to assist contractors at any level in the journey to CMMC 2.0 compliance. You can learn more about our CMMC 2.0 services on the 24By7Security website.
To protect against data breaches, information security incidents, and other cyber threats, the DoD requires its extensive supply chain to comply with Cybersecurity Maturity Model Certification, version 2.0 and the most current. This model imposes a set of cybersecurity requirements at three different levels, based on the type of information contractors handle during their work with DoD.
By July 2023, those requirements will begin to appear in DoD contracts, which means contractors have 12 months to achieve certified compliance with CMMC 2.0 in order to continue bidding on DoD work. The compliance and certification process can take six to 12 months or longer depending on the current state of cybersecurity in your organization.
Engaging a Registered Provider Organization to help you prepare for CMMC 2.0 compliance is a vital first step that should be taken immediately.