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Solving the CIO’s Cybersecurity Dilemma:
20 Critical Controls for Effective Cyber Defense
John M. Gilligan
www.gilligangroupinc.com
National Summit on Planning and Implementing the
20 Critical Controls
November 12, 2009
Topics
• Background
• Philosophy and Approach for the “20 Critical
Controls”
• Control Examples and List of Controls
• Relationship of 20 Critical Controls to FISMA
• Recommendations
• Final thoughts
2
A CIO’s Environment
• We are in a cyber “war” and are losing badly!
• The IT industry has produced an inherently
unsecure environment—total is security not
achievable
• CIO mandates exceed time and resources
available
• Cyber security is an enormously complex
challenge—there are very few true experts
It is time for CIOs and CISOs to focus on ways to make
real and measurable improvements in security 3
The Challenge
• CIOs/CISOs can lead global change
• In the near-term, we must focus and measure
progress
• Automation of security control implementation
and continuous assessment is essential
• A well managed system is a harder target to
attack and costs less to operate
4
CIOs/CISOs must take the lead in fighting the cyber war
FISMA Was Well Intended; What is Not Working??
• Original intent was good:
– Ensure effective controls
– Improve oversight of security programs
– Provide for independent evaluation
• Implementation took us off course
– Agencies unable to adequately assess cyber risks
– (Lots of) NIST “guidance” became mandatory
– No auditable basis for independent evaluation
– Grading became overly focused on paperwork
5
Bottom Line: OMB mandates and paperwork debates has distracted
CIOs/CISOs from achieving real security improvements
Analogy of Current Cybersecurity Approach
• An ambulance shows up at a hospital emergency
room with a bleeding patient
• Hospital takes a detailed medical history, gives
inoculations for seasonal flu, swine flu, tetanus,
shingles, and vaccination updates
• Hospital tests for communicable diseases, high blood
pressure, sends blood sample for cholesterol check,
gives eye exam, checks hearing, etc.
• At some point, a nurse’s aid` inquires about the red
fluid on the floor
6
Implementation of FISMA has Resulted in a Checklist
Approach: Not A Focus on Biggest Cyber Threats/Risks!
Meanwhile, the patient is
bleeding to death!!
7
We Need Cybersecurity Triage—
Not Comprehensive Medical Care
An “Aha” Moment!
• Scene: 2002 briefing by NSA regarding latest
penetration assessment of DoD systems
• Objective: Embarrass DoD CIOs for failure to provide
adequate security.
• Subplot: If CIOs patch/fix current avenues of
penetration, NSA would likely find others
• Realization: Let’s use NSA’s offensive capabilities to
guide security investments
8
Let “Offense Inform Defense”!
“20 Critical Controls”: The Philosophy
• Assess cyber attacks to inform cyber defense –
focus on high risk technical areas first
• Ensure that security investments are focused
to counter highest threats — pick a subset
• Maximize use of automation to enforce
security controls — negate human errors
• Define metrics for critical controls
• Use consensus process to collect best ideas
9
Focus investments by letting cyber offense inform defense
Approach for developing 20 Critical Controls
• NSA “Offensive Guys”
• NSA “Defensive Guys”
• DoD Cyber Crime Center (DC3)
• US-CERT (plus 3 agencies that were hit
hard)
• Top Commercial Pen Testers
• Top Commercial Forensics Teams
• JTF-GNO
• AFOSI
• Army Research Laboratory
• DoE National Laboratories
• FBI and IC-JTF
10
 Identify top attacks—the critical risk areas
 Prioritize controls to match successful attacks—mitigate critical
risks
 Identify automation/verification methods and measures
 Engage CIOs, CISOs, Auditors, and oversight organizations
 Coordinate with Congress regarding FISMA updates
 Engage the best security experts:
Top 20 Attack Patterns—the biggest risks*
1. Scan for unprotected systems on networks
2. Scan for vulnerable versions of software
3. Scan for software with weak configurations
4. Scan for network devices with exploitable
vulnerabilities
5. Attack boundary devices
6. Attack without being detected and maintain
long-term access due to weak audit logs
7. Attack web-based or other application
software
8. Gain administrator privileges to control
target machines
9. Gain access to sensitive data that is not
adequately protected
10. Exploit newly discovered and un-patched
vulnerabilities
11. Exploit inactive user accounts
12. Implement malware attacks
13. Exploit poorly configured network services
14. Exploit weak security of wireless devices
15. Steal sensitive data
16. Map networks looking for vulnerabilities
17. Attack networks and systems by exploiting
vulnerabilities undiscovered by target
system personnel
18. Attack systems or organizations that have
no or poor attack response
19. Change system configurations and/or data
so that organization cannot restore it
properly
20. Exploit poorly trained or poorly skilled
employees
11
* Developed as a part of developing 20 Critical Controls and not in priority order
Example--Critical Control #1
Inventory of Authorized and Unauthorized Devices
• Attacker Exploit: Scan for new, unprotected systems
• Control:
– Quick Win: Automated asset inventory discovery tool
– Visibility/Attribution: On line asset inventory of devices with net
address, machine name, purpose, owner
– Configuration/Hygiene: Develop inventory of information assets
(incl. critical information and map to hardware devices)
• Associated NIST SP 800-53 Rev 3 Priority 1 Controls:
– CM-8 (a, c, d, 2, 3, 4), PM-5, PM-6
• Automated Support: Employ products available for asset inventories,
inventory changes, network scanning against known configurations
• Evaluation: Connect fully patched and hardened test machines to
measure response from tools and staff. Control identifies and isolate
new systems (Min--24 hours; best practice--less than 5 minutes)
12
Example--Critical Control #3
Secure Configurations for Hardware and Software on
Laptops, Workstations and Servers
• Attacker Exploit: Automated search for improperly configured systems
• Control:
– QW: Define controlled standard images that are hardened versions
– QW: Negotiate contracts for secure images “out of the box”
– Config/Hygiene: Tools enforce configurations; executive metrics
with trends for systems meeting configuration guidelines
• Associated NIST SP 800-53 Rev 3 Priority 1 Controls:
– CM-1, CM-2 (1, 2), CM-3 (b, c, d, e, 2, 3), CM-5 (2), CM-6 (1, 2, 4),
CM-7 (1), SA-1 (a), SA-4 (5), SI-7 (3), PM-6
• Automated Support: Employ SCAP compliant tools to monitor/validate
HW/SW/Network configurations
• Evaluation: Introduce improperly configured system to test response
times/actions (Minimum--24 hours; best practice--less than 5 min)
13
20 Critical Controls for Effective Cyber Defense (1 of 2)
Critical Controls Subject to Automated Collection, Measurement, and Validation:
1. Inventory of Authorized and Unauthorized Devices
2. Inventory of Authorized and Unauthorized Software
3. Secure Configurations for Hardware and Software on Laptops, Workstations, and
Servers
4. Secure Configurations for Network Devices such as Firewalls, Routers, and Switches
5. Boundary Defense
6. Maintenance, Monitoring, and Analysis of Security Audit Logs
7. Application Software Security
8. Controlled Use of Administrative Privileges
9. Controlled Access Based on Need to Know
10. Continuous Vulnerability Assessment and Remediation
11. Account Monitoring and Control
12. Malware Defenses
13. Limitation and Control of Network Ports, Protocols, and Services
14. Wireless Device Control
15. Data Loss Prevention
14
20 Critical Controls for Effective Cyber Defense (2 of 2)
Additional Critical Controls (partially supported by automated measurement and
validation):
16. Secure Network Engineering
17. Penetration Tests and Red Team Exercises
18. Incident Response Capability
19. Data Recovery Capability
20. Security Skills Assessment and Appropriate Training to Fill Gaps
15
Federal CIO Observation: The 20 Critical Controls are
nothing new; they are recognized elements of a well
managed enterprise
Complying with FISMA and NIST Guidelines
• FISMA
– Implement security protection commensurate with risk
– Develop and maintain minimum controls
– Selection of specific security solutions left to agencies
– Ensure independent testing and evaluation of controls
• NIST Guidelines
– Use risk assessment to categorize systems
– Select controls based on risk
– Assess security controls
16
Relevance of 20 Critical Controls to FISMA
and NIST Guidelines
FISMA and NIST
1. Assess cyber security risk in
an organization
2. Implement security based on
risk
3. Select controls from NIST SP
800-53 to mitigate risk areas
4. Objectively evaluate control
effectiveness
20 Critical Controls
1. Based on government-wide
(shared) risk assessment
2. Controls address top cyber
risks
3. 20 Critical Controls are subset
of 800-53 Priority 1 controls
4. Use automated tools and
periodic evaluations to provide
continuous monitoring
17
20 Critical Controls are designed to help agencies comply
with FISMA and NIST guidance!
20 Critical Controls—Implementation
Recommendations
Step 1: Accept CAG consensus threats as risk baseline for your
organization
Step 2: Implement 20 Critical Controls
Step 3: Use organization specific risk assessment to select and
implement additional controls from 800-53
– Focus on unique, mission critical capabilities and data
Step 4: Use automated tools and periodic evaluations to
continuously measure compliance (demonstrate risk
reduction)
Step 5: Partner with senior management and auditors to motivate
compliance improvement
– Use examples and lessons learned from State Dept. and others
18
Final Thoughts
• CIOs must lead global change
• In the near-term CIOs/CISOs must focus and
measure
• Automation of security control implementation
and continuous assessment is essential
• A well managed system is a harder target to
attack and costs less to operate – the ultimate
“no brainer” for a CIO
19
It is all about leadership.
We need to stop the bleeding—Now!
Contact Information
20
John M. Gilligan
jgilligan@gilligangroupinc.com
703-503-3232
www.gilligangroupinc.com
FISMA Original Intent
• Framework to ensure effective information security
controls
• Recognize impact of highly networked environment
• Provide for development and maintenance of
minimum controls
• Improved oversight of agency information security
programs
• Acknowledge potential of COTS capabilities
• Selection of specific technical hardware and software
information security solutions left to agencies
• Provide independent evaluation of security program
21
However: FISMA has evolved to “grading” agencies based largely on secondary artifacts
22
NIST Guidance: 1200 pages of FIPS Pubs, Special Pubs, Security Bulletins, etc.

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Solving the CIO’s Cybersecurity Dilemma

  • 1. Solving the CIO’s Cybersecurity Dilemma: 20 Critical Controls for Effective Cyber Defense John M. Gilligan www.gilligangroupinc.com National Summit on Planning and Implementing the 20 Critical Controls November 12, 2009
  • 2. Topics • Background • Philosophy and Approach for the “20 Critical Controls” • Control Examples and List of Controls • Relationship of 20 Critical Controls to FISMA • Recommendations • Final thoughts 2
  • 3. A CIO’s Environment • We are in a cyber “war” and are losing badly! • The IT industry has produced an inherently unsecure environment—total is security not achievable • CIO mandates exceed time and resources available • Cyber security is an enormously complex challenge—there are very few true experts It is time for CIOs and CISOs to focus on ways to make real and measurable improvements in security 3
  • 4. The Challenge • CIOs/CISOs can lead global change • In the near-term, we must focus and measure progress • Automation of security control implementation and continuous assessment is essential • A well managed system is a harder target to attack and costs less to operate 4 CIOs/CISOs must take the lead in fighting the cyber war
  • 5. FISMA Was Well Intended; What is Not Working?? • Original intent was good: – Ensure effective controls – Improve oversight of security programs – Provide for independent evaluation • Implementation took us off course – Agencies unable to adequately assess cyber risks – (Lots of) NIST “guidance” became mandatory – No auditable basis for independent evaluation – Grading became overly focused on paperwork 5 Bottom Line: OMB mandates and paperwork debates has distracted CIOs/CISOs from achieving real security improvements
  • 6. Analogy of Current Cybersecurity Approach • An ambulance shows up at a hospital emergency room with a bleeding patient • Hospital takes a detailed medical history, gives inoculations for seasonal flu, swine flu, tetanus, shingles, and vaccination updates • Hospital tests for communicable diseases, high blood pressure, sends blood sample for cholesterol check, gives eye exam, checks hearing, etc. • At some point, a nurse’s aid` inquires about the red fluid on the floor 6 Implementation of FISMA has Resulted in a Checklist Approach: Not A Focus on Biggest Cyber Threats/Risks!
  • 7. Meanwhile, the patient is bleeding to death!! 7 We Need Cybersecurity Triage— Not Comprehensive Medical Care
  • 8. An “Aha” Moment! • Scene: 2002 briefing by NSA regarding latest penetration assessment of DoD systems • Objective: Embarrass DoD CIOs for failure to provide adequate security. • Subplot: If CIOs patch/fix current avenues of penetration, NSA would likely find others • Realization: Let’s use NSA’s offensive capabilities to guide security investments 8 Let “Offense Inform Defense”!
  • 9. “20 Critical Controls”: The Philosophy • Assess cyber attacks to inform cyber defense – focus on high risk technical areas first • Ensure that security investments are focused to counter highest threats — pick a subset • Maximize use of automation to enforce security controls — negate human errors • Define metrics for critical controls • Use consensus process to collect best ideas 9 Focus investments by letting cyber offense inform defense
  • 10. Approach for developing 20 Critical Controls • NSA “Offensive Guys” • NSA “Defensive Guys” • DoD Cyber Crime Center (DC3) • US-CERT (plus 3 agencies that were hit hard) • Top Commercial Pen Testers • Top Commercial Forensics Teams • JTF-GNO • AFOSI • Army Research Laboratory • DoE National Laboratories • FBI and IC-JTF 10  Identify top attacks—the critical risk areas  Prioritize controls to match successful attacks—mitigate critical risks  Identify automation/verification methods and measures  Engage CIOs, CISOs, Auditors, and oversight organizations  Coordinate with Congress regarding FISMA updates  Engage the best security experts:
  • 11. Top 20 Attack Patterns—the biggest risks* 1. Scan for unprotected systems on networks 2. Scan for vulnerable versions of software 3. Scan for software with weak configurations 4. Scan for network devices with exploitable vulnerabilities 5. Attack boundary devices 6. Attack without being detected and maintain long-term access due to weak audit logs 7. Attack web-based or other application software 8. Gain administrator privileges to control target machines 9. Gain access to sensitive data that is not adequately protected 10. Exploit newly discovered and un-patched vulnerabilities 11. Exploit inactive user accounts 12. Implement malware attacks 13. Exploit poorly configured network services 14. Exploit weak security of wireless devices 15. Steal sensitive data 16. Map networks looking for vulnerabilities 17. Attack networks and systems by exploiting vulnerabilities undiscovered by target system personnel 18. Attack systems or organizations that have no or poor attack response 19. Change system configurations and/or data so that organization cannot restore it properly 20. Exploit poorly trained or poorly skilled employees 11 * Developed as a part of developing 20 Critical Controls and not in priority order
  • 12. Example--Critical Control #1 Inventory of Authorized and Unauthorized Devices • Attacker Exploit: Scan for new, unprotected systems • Control: – Quick Win: Automated asset inventory discovery tool – Visibility/Attribution: On line asset inventory of devices with net address, machine name, purpose, owner – Configuration/Hygiene: Develop inventory of information assets (incl. critical information and map to hardware devices) • Associated NIST SP 800-53 Rev 3 Priority 1 Controls: – CM-8 (a, c, d, 2, 3, 4), PM-5, PM-6 • Automated Support: Employ products available for asset inventories, inventory changes, network scanning against known configurations • Evaluation: Connect fully patched and hardened test machines to measure response from tools and staff. Control identifies and isolate new systems (Min--24 hours; best practice--less than 5 minutes) 12
  • 13. Example--Critical Control #3 Secure Configurations for Hardware and Software on Laptops, Workstations and Servers • Attacker Exploit: Automated search for improperly configured systems • Control: – QW: Define controlled standard images that are hardened versions – QW: Negotiate contracts for secure images “out of the box” – Config/Hygiene: Tools enforce configurations; executive metrics with trends for systems meeting configuration guidelines • Associated NIST SP 800-53 Rev 3 Priority 1 Controls: – CM-1, CM-2 (1, 2), CM-3 (b, c, d, e, 2, 3), CM-5 (2), CM-6 (1, 2, 4), CM-7 (1), SA-1 (a), SA-4 (5), SI-7 (3), PM-6 • Automated Support: Employ SCAP compliant tools to monitor/validate HW/SW/Network configurations • Evaluation: Introduce improperly configured system to test response times/actions (Minimum--24 hours; best practice--less than 5 min) 13
  • 14. 20 Critical Controls for Effective Cyber Defense (1 of 2) Critical Controls Subject to Automated Collection, Measurement, and Validation: 1. Inventory of Authorized and Unauthorized Devices 2. Inventory of Authorized and Unauthorized Software 3. Secure Configurations for Hardware and Software on Laptops, Workstations, and Servers 4. Secure Configurations for Network Devices such as Firewalls, Routers, and Switches 5. Boundary Defense 6. Maintenance, Monitoring, and Analysis of Security Audit Logs 7. Application Software Security 8. Controlled Use of Administrative Privileges 9. Controlled Access Based on Need to Know 10. Continuous Vulnerability Assessment and Remediation 11. Account Monitoring and Control 12. Malware Defenses 13. Limitation and Control of Network Ports, Protocols, and Services 14. Wireless Device Control 15. Data Loss Prevention 14
  • 15. 20 Critical Controls for Effective Cyber Defense (2 of 2) Additional Critical Controls (partially supported by automated measurement and validation): 16. Secure Network Engineering 17. Penetration Tests and Red Team Exercises 18. Incident Response Capability 19. Data Recovery Capability 20. Security Skills Assessment and Appropriate Training to Fill Gaps 15 Federal CIO Observation: The 20 Critical Controls are nothing new; they are recognized elements of a well managed enterprise
  • 16. Complying with FISMA and NIST Guidelines • FISMA – Implement security protection commensurate with risk – Develop and maintain minimum controls – Selection of specific security solutions left to agencies – Ensure independent testing and evaluation of controls • NIST Guidelines – Use risk assessment to categorize systems – Select controls based on risk – Assess security controls 16
  • 17. Relevance of 20 Critical Controls to FISMA and NIST Guidelines FISMA and NIST 1. Assess cyber security risk in an organization 2. Implement security based on risk 3. Select controls from NIST SP 800-53 to mitigate risk areas 4. Objectively evaluate control effectiveness 20 Critical Controls 1. Based on government-wide (shared) risk assessment 2. Controls address top cyber risks 3. 20 Critical Controls are subset of 800-53 Priority 1 controls 4. Use automated tools and periodic evaluations to provide continuous monitoring 17 20 Critical Controls are designed to help agencies comply with FISMA and NIST guidance!
  • 18. 20 Critical Controls—Implementation Recommendations Step 1: Accept CAG consensus threats as risk baseline for your organization Step 2: Implement 20 Critical Controls Step 3: Use organization specific risk assessment to select and implement additional controls from 800-53 – Focus on unique, mission critical capabilities and data Step 4: Use automated tools and periodic evaluations to continuously measure compliance (demonstrate risk reduction) Step 5: Partner with senior management and auditors to motivate compliance improvement – Use examples and lessons learned from State Dept. and others 18
  • 19. Final Thoughts • CIOs must lead global change • In the near-term CIOs/CISOs must focus and measure • Automation of security control implementation and continuous assessment is essential • A well managed system is a harder target to attack and costs less to operate – the ultimate “no brainer” for a CIO 19 It is all about leadership. We need to stop the bleeding—Now!
  • 20. Contact Information 20 John M. Gilligan jgilligan@gilligangroupinc.com 703-503-3232 www.gilligangroupinc.com
  • 21. FISMA Original Intent • Framework to ensure effective information security controls • Recognize impact of highly networked environment • Provide for development and maintenance of minimum controls • Improved oversight of agency information security programs • Acknowledge potential of COTS capabilities • Selection of specific technical hardware and software information security solutions left to agencies • Provide independent evaluation of security program 21 However: FISMA has evolved to “grading” agencies based largely on secondary artifacts
  • 22. 22 NIST Guidance: 1200 pages of FIPS Pubs, Special Pubs, Security Bulletins, etc.