As defense contractors, staying updated on cybersecurity regulations is crucial to protect sensitive information and maintain a competitive edge in the industry. One such regulation is the recently published DFARS Final Rule 252.204-7024, also known as DFARS 7024. This comprehensive guide will provide an overview of DFARS 7024 and its impact on defense contractors, helping you understand how to navigate the new rule effectively.
The Department of Defense (DoD) uses the Supplier Performance Risk System (SPRS) to assess the performance of defense contractors. This “authoritative source” for contracting officers collects and evaluates supplier and product performance information, helping them identify, assess, and monitor defense contractors’ performance.
One critical aspect of SPRS is the storage of defense contractors’ NIST SP 800-171 assessment scores. These scores indicate a contractor’s ability to secure Controlled Unclassified Information (CUI) effectively and are available to contracting officers during the evaluation process.
Within SPRS, risk assessments are divided into three categories: item risk, price risk, and supplier risk. Item risk refers to the probability of a product causing safety issues, mission degradation, or monetary loss based on its intended use.
Price risk measures the consistency of a proposed price for a product or service compared to historical prices. Supplier risk encompasses supply chain risk and assesses the probability that an award may subject the procurement to the risk of unsuccessful performance or supply chain risk.
DFARS 7024 introduces several significant changes to the SPRS evaluation process, primarily driven by recent technical enhancements that have expanded the system’s capabilities. With the new rule, contracting officers are given more discretion in considering SPRS risk assessments when evaluating supplier quotations or offers.
One significant change in DFARS 7024 involves the use of defense contractors’ self-reported NIST SP 800-171 scores in supplier risk assessments. The rule acknowledges that these self-reported scores may not be entirely reliable, and contracting officers can use their discretion when considering the information available in SPRS.
The introduction of DFARS 7024 has several implications for defense contractors. First, those who undergo DIBCAC (the Defense Industrial Base Cybersecurity Assessment Center) or Joint Surveillance Assessments and receive high, verified cybersecurity scores will likely gain a competitive advantage in securing DoD contracts, both as prime contractors and subcontractors.
Second, the accuracy of self-reported NIST SP 800-171 scores is essential for defense contractors. Significant gaps between reported scores and reality, revealed by DIBCAC spot audits, emphasize the need for third-party verification of cybersecurity levels, which will be required under CMMC 2.0.
Defense contractors must also be aware of the potential consequences of misrepresenting their cybersecurity compliance. The DoD’s June 2022 memo highlights that failure to have or make progress on a plan to implement NIST SP 800-171 may be considered a material breach of contract requirements, potentially leading to the withholding of payments or contract termination. Additionally, the Department of Justice’s Civil Cyber Fraud Initiative targets organizations that knowingly misrepresent their cybersecurity practices.
To ensure compliance with DFARS 7012 and improve their cybersecurity posture, defense contractors should follow these best practices and next steps:
DFARS 7019 mandates that contractors handling CUI conduct self-assessments of their compliance with NIST SP 800-171, compute their scores and submit them to SPRS. If you haven’t yet submitted your NIST SP 800-171 self-assessment score, start working on your System Security Plan (SSP) and conduct a self-assessment. Ensure that your submitted score is accurate and supported by proper documentation.
If your self-assessment score is below 110, create a POA&M for the security controls not met, outlining the steps and timelines for remediating security gaps and achieving a score of 110. This information may be requested during a Medium Assessment by DIBCAC.
Focus on improving your organization’s ability to protect CUI, which will significantly enhance your NIST SP 800-171 self-assessment score. This preparation will better position your organization for Joint Surveillance Assessments and mandatory CMMC assessments that the DoD is expected to require for most defense contractors handling CUI.
Utilize platforms with robust encryption capabilities for file sharing and email communication to secure sensitive information and reduce exposure to sophisticated cyber threats. Encrypting emails and attachments can help prevent unauthorized access and limit the potential for lateral or vertical movement within your organization and supply chain.
DFARS 7024 presents new challenges and opportunities for defense contractors in the realm of cybersecurity. By understanding the implications of the new rule, conducting accurate self-assessments, and focusing on CUI protection, contractors can enhance their cybersecurity posture and remain competitive in the defense industry.
By staying informed about the latest cybersecurity regulations and best practices, defense contractors can better protect sensitive information and maintain a competitive edge in the industry. This comprehensive guide to DFARS 7024 provides an overview of the new rule and its impact on defense contractors, helping you navigate the changes effectively and strengthen your organization’s cybersecurity efforts.
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