Archive for the ‘Payment Card Industry (PCI) Data Security’ Category

Colocation Strategies – Perspectives from Data Center World

I was delighted to be invited to speak on security and compliance during the Colocation Tutorial at Data Center World last week in Las Vegas, Nevada.  The tutorial was an all-day session for enterprise data center operations executives – mostly data center operators from large corporations that currently outsource to a colocation facility.  I had the privilege of joining a panel comprising of executives from RagingWire, Equinix, Schneider Electric, Dominion Virginia Power, Transitional Data Center Services, and Neustar.

I wanted to give the readers who were not able to attend the conference or tutorial session some of my key takeaways from the event:

Not all colos are created equal – Fundamentally most individuals think that a colo facility just provides power and space.  However, those of us familiar with the business know that there can be embedded service providers and data centers within data centers.  Then, add a layer of complexity to the increased prominence of real estate companies, such as Digital Realty Trust, that specialize in data center property management.    Lee Tamassia from Equinix provided an excellent overview of the different models from wholesale to retail up to and including cloud services.  Mr. Tamassia then discussed how these models integrate with different data center standards.  I was then able to add onto these comments to discuss compliance responsibility between a data center and its tenants.

Data center operators may not think compliance is #1 priority – Imagine that!  When Jim Leach from RagingWire asked the audience who either managed or was exposed to compliance initiatives on a frequent basis – very few raised their hands.  Make no mistake – everyone expects the environment to be secure and more importantly reliable.  A few participants stated that compliance often was mandated from legal, IT security, or external auditors.  However, the day-to-day activities for these operation executives typically only revolve around topics such as power consumption, utilization, and resources – which affect the bottom line.

Security and compliance should be a topic of focus early on (during the selection and procurement process) – Steve Gunderson from Transitional Data Center Services and Jim Weber from Neustar walked through a template and evaluation process that included looking at security and availability features as well as available audits.  One participant from a manufacturing company stated that “I don’t handle credit card information, but the fact that the data center has gone through PCI, in my mind puts them at a higher level.”

The different compliance and certification acronyms can be confusing – I believe I was able to provide insight with this topic.  At a minimum, the participants walked away understanding that “SSAE 16 certified” was technically incorrect and could be an indication of misleading marketing.  We also discussed HIPAA, FISMA, and how a data center plays a role when its tenants (or the tenants’ customers) are the ones mandated to comply.

In summary, we auditors, just like those in security, can get so ingrained in the details of SOC reporting standards, PCI compliance requirements, FedRAMP authorizations, etc. that we often need reminding of the end-user’s perspective.  This conference brought a lot of insight to the auditor in me, and I hope the attendees took away some tangible recommendations and action points from the Colocation Tutorial.

On May 15th, I get another opportunity to speak – this time at the Uptime Institute conference in Santa Clara, CA. Hope to see you there!

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Part II – PCI Cloud Computing Supplement: Technical Considerations

By Eric Sampson and Doug Barbin

In a previous article, we provided a summary of the key components of the PCI DSS Cloud Computing Guidelines (“cloud supplement”).  That article focused on roles, responsibilities, agreements, and audit considerations.  This article speaks more to the technical considerations.

Segmentation challenges

Cloud hosted environments often present new layers of responsibility for common shared layers, such as hypervisors and virtual infrastructure layers, which can present a single point of entry (or attack) for all systems above or below those shared layers.  The security applied to these layers is therefore critical not only to the security of the individual environments they support, but also to ensure that segmentation is enforced between different tenants’ environments.

Regardless of whether a hosted environment can achieve PCI DSS compliance, risks and threats persist, especially for shared cloud environments.  The need for adequate segmentation of client environments in a public or shared cloud is underscored by the principle that the other client environments running on the same infrastructure are to be considered untrusted networks.  The client has no way of confirming whether other client environments are securely configured or patched appropriately to protect against attack, or that they are not already compromised or designed with malicious intent.  This is particularly relevant where a cloud provider offers IaaS and PaaS services, as the individual tenants have greater control and management of their environments.

Virtualization Considerations

Virtualization requirements apply generally to cloud hosted environments.  The SSC had previously published the PCI DSS Virtualization Guidelines to discuss security considerations for virtual technologies.  In a complementary manner, the Cloud Guidelines reiterates some virtualization guidance and provides additional security considerations for cloud hosted environments.  Of note regarding technical considerations are the following:

  • VM-to-VM traffic does not pass through traditional network-based security controls, such as a firewall, router, or network IDS/IPS.  Rather, traffic can pass through virtual network routes.  The use of additional host-based security controls to monitor and control traffic, such as host-based firewalls and host-based IDS/IPS applications may be necessary.
  • Dormant virtual machines must be secured when dormant and not actively used for any period of time.  Security vulnerabilities can be introduced when dormant host is activated.  In the same vein, if a virtual machine can be removed and replaced, a malicious user can make modifications offline and introduce a malware infected virtual machine.
  • In cloud hosted environments, audit logs are available both at the virtual host and at the virtual machine operating system.  Cloud providers and tenants should discuss roles and responsibilities to ensure all audit logs are reviewed appropriately and in a timely manner.  Creating an environment where virtual host and virtual machine audit logs can be correlated into meaningful events is recommended.
  • Where the hypervisor has introspection capabilities, or the ability to control and monitor individual VM activity from outside the VMs, presents security challenges.  For instance, the introspection function allows files of VMs to be access within the privileged state of the hypervisor without an audit trail being generated by the VM.  This can present a greater concern for tenants of public, community, or hybrid cloud hosted environments than for tenants of private cloud services.  Tenants should be aware that any personnel with access to the introspection function on the hypervisor could potentially have access to data on any VM managed by the hypervisor.  Therefore, the introspection function should be carefully managed, controlled, and monitored to ensure that role-based access and segregation of duties is maintained.  For example, the hypervisor administration and hypervisor monitoring and auditing functions should be separated.

As noted in the previous article, many of the above issues apply equally in the world of SOC 1, SOC 2, ISO 27001 certification, and FedRAMP.

Please feel free to contact BrightLine if you have any additional questions.  BrightLine specializes in PCI validation for cloud providers.  We are also the only firm in the world that is a licensed CPA firm, PCI QSA, ISO 27001 certification body, and FedRAMP 3PAO.

Eric Sampson is a QSA at BrightLine who leads assessments for some of the largest SaaS providers in the US.  Doug Barbin is a Principal at BrightLine and the firm-wide practice leader for PCI.

 

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Part I – PCI Cloud Computing Supplement: Know Your CSP!

By Eric Sampson and Doug Barbin

The writing is on the wall.  For many businesses, cloud providers are becoming a key component of IT and business strategies, service delivery capability and scalability, innovation, and delivering new service models and solutions to market.  For merchants and service providers that store, process, or transmit cardholder data, the PCI DSS provides the requirements necessary to ensure a secure and compliant cardholder data environment.  Until recently, guidance was limited to the interpretation of existing PCI standards, which never fully accounted for today’s evolving cloud computing models. The release of the PCI DSS Cloud Computing Guidelines (“cloud supplement”), attempts to align core PCI goals with a better understanding of cloud provider and cloud customer (“tenant”) responsibilities to maintain a compliant cloud-hosted cardholder data.  BrightLine had the privilege of participating in this group. The document is, by default, supplementary and as with all PCI supplements does not supersede, replace, or extend the PCI DSS requirements.  In fact, the cloud supplement states they are provided especially to “[present] recommendations for starting discussions about cloud services” in giving cloud providers and tenants a point of discussion for approaching their individual roles and responsibilities in meeting the PCI DSS requirements.” In the cloud supplement, the SSC describes the following important areas, to name a few, for understanding provider and client relationships:

  • Cloud provider deployment and service models
  • How roles and responsibilities may differ among tenants and cloud provider environments including segmentation and scoping considerations
  • PCI DSS compliance challenges
  • Contractual needs
  • Technical security considerations

Understanding the Models Generally speaking, cloud provider service delivery models can be categorized into one or more of the following three areas: Software as a Service (SaaS), Platform as a Service (PaaS), and Infrastructure as a Service (IaaS).  Cloud provider responsibilities over security and operational controls and meeting PCI DSS requirements tend to increase from an IaaS model (most client responsibility) to a SaaS model (least client responsibility).  In addition, cloud providers can deploy hosted environments differently.  Tenants need to understand the cloud deployment model being utilized or proposed for their cloud hosted environment.  Cloud deployment models include private, community, public, and hybrid cloud (a combination of private, community, and/or public). Tenents need to understand the level of oversight or visibility they will have into the security functions that are outside their control.  If these security responsibilities are not properly assigned, communicated, and understood, insecure configurations or vulnerabilities could go unnoticed and unaddressed, resulting in potential exploit and data loss or other compromise.  Cloud providers can help their tenants understand how the service models being offered affect their tenants in terms of roles and responsibilities.

Written agreements Once cloud provider and tenants roles and responsibilities for operation, management, and reporting are understood for each requirement, a formal agreement with clear policies and procedures should be defined.  Contractual agreements are especially critical where control responsibility is outsourced to ensure the required security measures are being met and maintained by the cloud provider for the duration of the agreement.

Mind the Gap Be mindful of when a CSP claims “PCI compliance” for their cloud environment.  It is not uncommon for a provider to sell data center, managed, and cloud services only to have the PCI ROC/AOC cover the data center component.  This is why it is critical that a tenant and their QSA be able to understand the scope of what was and was not covered to be able to determine if additional procedures are required. It is also important to note that many of the above issues apply equally in the world of SOC 1, SOC 2, ISO 27001 certification, and FedRAMP.

In the next article we will discuss some of the technical considerations presented within the supplement.

Eric Sampson is a QSA at BrightLine who leads assessments for some of the largest SaaS providers in the US.  Doug Barbin is a Principal at BrightLine and the firm wide practice leader for PCI.

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BrightLine Principal, Doug Barbin, To Speak During the Knowledge Congress Webcast Series About PCI-DSS For The Cloud

Via Business Wire

PCI – DSS in the Cloud: Practical Guide for Cloud Computing Security and Compliance

Tampa, FL- BrightLine CPAs & Associates Principal, Doug Barbin, will be part of a two-hour live webcast on Thursday, April 4, 2013 from 12:00-2:00pm EST.  The live webcast will discuss the importance of Payment Card Industry Data Security Standard (PCI-DSS) compliance.  While the PCI-DSS remains to be a challenge for many organizations, PCI-DSS compliance in a cloud computing environment can be even more daunting. It is therefore vital for financial institutions, merchants, and service providers to be informed of the latest and most significant issues with respect to PCI-DSS to help ensure cloud computing security and compliance within the organization, while at the same time minimizing the risk of any potential pitfalls.

Barbin will be part of key panel of experts discussing the fundamentals of PCI-DSS, cloud provider responsibilities, virtualization infrastructure, audit and assessments, strategic initiatives, and legal and regulatory issues.  Unlike some events that often feature technology or service providers, Barbin will be the only QSA along with attorneys who specialize in cloud service agreements and breach litigation.

BrightLine is offering complimentary passes to this event to its clients and prospective clients.  If you would like to claim CLE/CPE hours, a nominal fee of $49 is charged.  Interested parties who would like to listen to the live webcast can click here to register.

ABOUT BRIGHTLINE

BrightLine CPAs & Associates is a leading provider of attestation and compliance services. BrightLine is the only company in the world that is a CPA firm, a globally licensed PCI Qualified Security Assessor, an ISO Certification Body and a FedRAMP 3PAO. Renowned for expertise tempered by practical experience, BrightLine’s professionals provide superior client service balanced by steadfast independence. BrightLine’s approach builds successful, long-term relationships and allows clients to achieve multiple compliance objectives using a single third party assessor.

 

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ISO 27001 Certification and PCI DSS 2.0 – Significant Achievements for Amazon

Over the past several months have been two key announcements from Amazon.  The first was that AMS achieved ISO 27001 certification.  The second was that it had undergone PCI validation.   Almost a month later these announcements continue to drive additional press including recent  articles from InformationWeek and one from Redmond Magazine.

The FAQs on the Amazon cite reference ISO 27001 certification for Amazon’s security program while PCI validation specifically cites: Amazon Elastic Compute Cloud (EC2), the Amazon Simple Storage Service (S3), Amazon Elastic Block Storage (EBS), and the Amazon Virtual Private Cloud (VPC).

Late last year Amazon was criticized for announcing that it had undergone a Type 2 SAS 70 audit without specifying what the underlying control objectives were.  While this is normal to an auditor who knows that SAS 70 reports are auditor to auditor communication, the security community wanted more specifics.  While not going to the degree of disclosing all of the its security controls to the public, Amazon has taken steps to leapfrog many of its competitors with respect to independent audits and certifications.

Key points when considering Amazon’s recent announcements:

  • Like all audits and certifications, the PCI DSS and ISO 27001 certification have defined scope.
  • In the case of PCI, the report on compliance (ROC) should include an explicit scope statement which defines what controls AWS is responsible for versus its customers.
  • The ISO 27001 certification is not as prescriptive as some may expect.  The certification focuses on the process of managing Amazon’s Information Security Management System (ISMS) and that it consider 133 controls that are listed in Appendix A of the ISO standard.
  • These 133 controls are aligned with the best practices laid out in the ISO 27002.  Many do not understand that ISO 27002 is a code of practice or guideline and not something that an organization can be certified against.

Still, this is a very significant milestone for Amazon.  If you look at the marketplace today, SAS 70 audits have become the price of entry.  Most cloud providers that handle data that impact their customers’ financial statements undergo a SAS 70 audit.  PCI was the next phase of adoption for providers wishing to service companies that handle cardholder data.  AWS has achieved both of these as well as ISO 27001 certification, a distinction held by very few organizations within the US.  In addition, they early adopted against the PCI DSS 2.0 standard which includes requirements to scope and assess any underlying virtualization technology that is in use.

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PCI DSS 2.0 “Preview”

Yesterday, the PCI Standards Council posted a document highlighting some of the upcoming changes to the PCI DSS.  That document can be found here.

The document is a “teaser” to what is expected to be released in the October timeframe.  Two of the roughly four pages speak to the standards development process and feedback cycle.  In addition, the Council itself notes that the updates” are relatively straightforward and do not introduce significant changes.”

In terms of substantive previews, the following are worth noting:

  • Additional guidance is expected for cardholder environment definition and data flow mapping (i.e. scoping)
  • Guidance will be provided on virtualization (emanating from the Special Interest Group on this very topic) including how virtual components are defined “in-scope” as well as guidance on specific controls that were traditionally focused on physical hosts.
  • Updates to requirement 3.6 for key management to provide additional flexibility for new technologies and evolving ways to manage encryption keys.
  • Updates to vulnerability management and application security to reflect the evolving nature of those topics.

As with the last update, the devil will be in the details.  The new standards are expected to be published in October and will become effective for all assessments performed starting in January 2011.  At this time, there is no reason to believe that these changes will significantly impact the scope and cost of onsite assessments.

As always, if you have any questions, feel free to visit our PCI Resource Center or contact one of our QSAs .

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