Examining the Regulatory Landscape Al Berman DRI International NEDRIX Annual Conference October 20,...
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Transcript of Examining the Regulatory Landscape Al Berman DRI International NEDRIX Annual Conference October 20,...
Examining the Regulatory LandscapeExamining the Regulatory Landscape
Al BermanAl Berman
DRI InternationalDRI International
NEDRIX Annual ConferenceOctober 20, 2009
DRI International – Who Are We?
A Non-Profit Organization Committed to:
– Promoting a base of common knowledge for the continuity management industry
– Certifying qualified individuals in the discipline of Business Continuity
– Promoting the credibility and professionalism of certified individuals
Celebrating out Twentieth Anniversary in 2008.
The Industry’s Premier Education and Certification Program Body
• DRII has Certified INDIVIDUALS in over 90 Countries.
• DRII conducts training courses in over 40 countries.
• More individuals choose to maintain their certification through us than all other organizations in our industry combined (Over 7,500 active individuals as of 2008)
• DRII Certifies individuals in English, Spanish, French, Japanese, Mandarin (expanding to Portuguese and Russian this year, Italian and Korean early next year)
DRI International – Who Are We?
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Consumer Credit Protection ActConsumer Credit Protection ActOMB Circular A-130OMB Circular A-130FEMA Guidance DocumentFEMA Guidance DocumentPaperwork Reduction ActPaperwork Reduction ActISO 27002 (Previously ISO17799)ISO 27002 (Previously ISO17799)FFIEC BCP HandbookFFIEC BCP HandbookComputer Security ActComputer Security Act12 CFR Part 1812 CFR Part 18Presidential Decision Directive 67Presidential Decision Directive 67FDA Guidance on Computerized SystemsFDA Guidance on Computerized Systems used in Clinical Trialsused in Clinical TrialsANSI/NFPA Standard 1600ANSI/NFPA Standard 1600Turnbull Report (UK)Turnbull Report (UK)ANAO Best Practice Guide (Australia)ANAO Best Practice Guide (Australia)SEC Rule 17 a-4SEC Rule 17 a-4FEMA FPC 65FEMA FPC 65CARCARJHACOJHACO
Sarbanes-Oxley Act of 2002Sarbanes-Oxley Act of 2002HIPAA, Final Security RuleHIPAA, Final Security RuleFFIEC BCP Handbook -2003/ 2008FFIEC BCP Handbook -2003/ 2008Fair Credit Reporting ActFair Credit Reporting ActNASD Rule 3510NASD Rule 3510NERC Security GuidelinesNERC Security GuidelinesFERC Security StandardsFERC Security StandardsNAIC Standard on BCPNAIC Standard on BCPNIST Contingency Planning GuideNIST Contingency Planning GuideFRB-OCC-SEC Guidelines for FRB-OCC-SEC Guidelines for Strengthening the Resilience of USStrengthening the Resilience of US Financial SystemFinancial SystemNYSE Rule 446NYSE Rule 446California SB 1386California SB 1386Australia Standards BCM HandbookAustralia Standards BCM HandbookGAO Potential Terrorist AttacksGAO Potential Terrorist Attacks GuidelineGuidelineFederal and Legislative BC Federal and Legislative BC Requirements for IRSRequirements for IRSBasel Capital AccordBasel Capital AccordMAS Proposed BCP Guidelines MAS Proposed BCP Guidelines (Singapore)(Singapore)NFA Compliance Rule 2-38NFA Compliance Rule 2-38FSA Handbook (UK)FSA Handbook (UK)BCI Standard, PAS 56 (UK)BCI Standard, PAS 56 (UK)Civil Contingencies Bill (UK)Civil Contingencies Bill (UK)
Post-9/11Post-9/11
Pre-9/11Pre-9/11
1991 - 2001 2002 -------------------------------------------------------2008
FPC 65FPC 65NYS Circular Letter 7NYS Circular Letter 7
ASISASISState of NY FIRM White Paper on CPState of NY FIRM White Paper on CPNISCC Good Practices (Telecomm)NISCC Good Practices (Telecomm)
Australian Prudential Standard on BCMAustralian Prudential Standard on BCMHB221HB221HB292HB292
BS25999BS25999SS507 – SS540SS507 – SS540
TR19TR19CA Z1600CA Z1600
ISO/PAS 22399ISO/PAS 22399HiTech Act of 2009HiTech Act of 2009
DRIIDRII
Title IX – 110-53 Title IX – 110-53
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BCP Standards for Financial Institutions
Federal Financial Institutions Examination Council (FFIEC) BCP Handbook
– Business continuity planning is about maintaining, resuming, and
recovering the business, not just the recovery of the technology.
– The planning process should be conducted on an enterprise-wide basis.
– A thorough business impact analysis and risk assessment are the
foundation of an effective BCP.
– The effectiveness of a BCP can only be validated through testing or
practical application.
– The BCP and test results should be subjected to an independent audit
and reviewed by the board of directors.
– A BCP should be periodically updated to reflect and respond to changes
in the financial institution or its service provider(s).
not just the recovery of the technology
6
BCP Standards for Financial Institutions
NASD Rule 3510Rule 3510 will require a business continuity plan that addresses, at a minimum:Rule 3510 will require a business continuity plan that addresses, at a minimum:
– Data back-up and recovery (hard copy and electronic)
– Mission critical systems
– Financial and operational assessments
– Alternate communications between customers and the firm
– Alternate communications between the firm and its employees
– Business constituent, bank and counter-party impact
– Regulatory reporting
– Communications with regulators
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BCP Standards for Financial Institutions
NYSE Rule 446
National Association of Insurance Commissioners (NAIC)
National Futures Association Compliance Rule 2-38
(a) Each Member must establish and maintain a written business continuity and disaster written business continuity and disaster recoveryrecovery planplan that outlines procedures to be followed in the event of an emergency or significant business disruption. The plan shall be reasonably designed to enable the Member to continue operating, to reestablish operations, or to transfer its business to another Member with minimal disruption to its customers, other Members, and the commodity futures markets.
(a) Members and member organizations must develop and maintain a written business continuitywritten business continuity and contingency plan establishing procedures to be followed in the event of an emergency or significant business disruption. Members and member organizations must make such plan available to the Exchange upon request.(b) Members and member organizations must conduct a yearly reviewyearly review of their business continuity and contingency plan to determine whether any modifications are necessary in light of changes to the member's or member organization's operations, structure, business or location.
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BCP Standards for Financial Institutions
Electronic Funds Transfer Act - held that banks were liable for actual damages caused by failing to transfer funds in a timely fashion. This required the establishment of contingency plans to meet the standard of “reasonable” standard of care (the care that a reasonable man would exercise under the (the care that a reasonable man would exercise under the circumstances; the standard for determining legal duty.)circumstances; the standard for determining legal duty.)
Basel Committee’s Capital Accords and Sound Practices for the Management and Supervision of Operational Risk - “Banks should have in place contingency and business continuity plans to ensure their ability to operate on an ongoing basis and limit losses in the event of severe business disruption.” – Seventh Principle in Sound Practices for Management and Supervision of Operational Risk
Reserve Bank of India - Operational Risk Management - Business Continuity Planning - Business Continuity planning is a key pre-requisite for minimising the adverse effects of one of the important areas of operational risk – business disruption and system failures.
FINRA (Financial Industry Regulatory Authority)Business Continuity Planning
NASD Rules 3510 and 3520 require firms to create and maintain business continuity plans (BCP) to use in the event of a significant business disruption.
Rule filings associated with Business Continuity Planning (SR-NASD-2002-108)
FINRA’s Business Continuity Plan Small Firm Emergency Partner Program: A Voluntary Addition to a Firm's BCP
Securities and Exchange Commission / Board of Governors of the Federal Reserve System / Office of the Comptroller of the Currency Joint White Paper on Business Continuity Planning
The Disaster Recovery Institute
Financial Services Sector Coordinating Council for Critical Infrastructure Protection and Homeland Security
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BCP Standards for the Healthcare/Life Science Industries
Health Insurance Portability and Accountability Act of 1996 (HIPAA), Final Security Rule
7. Contingency Plan (§ 164.308(a)(7)(i))
We proposed that a contingency plan must be in effect for responding to
system emergencies. The plan would include an applications and data The plan would include an applications and data
criticality analysis, a data backup plan, a disaster recovery plan, an criticality analysis, a data backup plan, a disaster recovery plan, an
emergency mode operation plan, and testing and revision procedures.emergency mode operation plan, and testing and revision procedures.
In this final rule, we make the implementation specifications for testing and
revision procedures and an applications and data criticality analysis
addressable, but otherwise require that the contingency features proposed be
met.
HiTech Act of 2009 – More Reporting of Breaches, More Oversight
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HIPAA BCP REQUIREMENTSContingency Plan
164.308(a)(7) Data Backup Plan
(R)
Disaster Recovery Plan
(R)
Emergency Mode Operation Plan
(R)
Testing and Revision Procedure
(A)
Applications and Data Criticality Analysis
(A)
Is it enough ????
•State privacy laws are NOT preempted by federal privacy rules, unless there is a
direct conflict
•If state law is “more stringent,” or covers an area not covered by federal rules,
state law controls
12
BCP Standards for the Healthcare/Life Science Industries
FDA’s GxP: Good Practices
FDA Guidance on Computerized Systems in Clinical Trials
IX. SYSTEM CONTROLS
B. Contingency Plans
Written procedures should describe contingency plans for continuing the study by alternate by alternate means in the event of failure of the computerized systemmeans in the event of failure of the computerized system..
C. Backup and Recovery of Electronic Records
Backup and recovery procedures should be clearly outlined in the SOPs and be sufficient to protect against data loss. Records should be backed up regularly in a way that would prevent a catastrophic loss and ensure the quality and integrity of the data.
Manufacturing
Laboratory
Clinical
13
BCP Standards for the Energy Industry
Federal Electric Reliability Council’s (FERC) Security Standards for Electric Market Participants, July 2002
North American Electric Reliability Council’s (NERC) Security Guidelines for the Electricity Sector, June 2002
Business Continuity:Every participant operating a critical electric resource shall have contingency planscritical electric resource shall have contingency plans that define roles, responsibilities and actions for protecting the rest of the electric grid and market from the failure of its own critical resources. Those plans should further define the roles, responsibilities and actions needed to quickly recover or reestablish electric grid and market functions, processes and systems, in the event that a critical physical or cyber resource fails or suffers harm or attack. Such plans shall be tested or exercised regularly.
Continuity of Business Processes:Reduces the likelihood of prolonged interruptions and enhances prompt resumption of operations when interruptions occur. Consider flexible plans that address key areas such as telecommunications, flexible plans that address key areas such as telecommunications, information technology, customer service centers, facilities security, operations, generation, power information technology, customer service centers, facilities security, operations, generation, power delivery, customer remittance and payroll processesdelivery, customer remittance and payroll processes.. It is useful to revise and test plans on a regular basis. It also is advisable to train personnel so they fully understand their roles with respect to the plans.
Not Just IT
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• FFIEC – March 2008FFIEC – March 2008“Business continuity planning is about maintaining, resuming, and
recovering the business, not just the recovery of the technology.” “The planning process should be conducted on an enterprise-wide basis”.
• Australian Prudential Standard – April 2005Australian Prudential Standard – April 2005 “Business continuity management (BCM) describes a whole of
business approach to ensure critical business functions can be maintained, or restored in a timely fashion”
• Monetary Authority of Singapore – June 2003“Business Continuity Management (“BCM”) is an over-arching
framework that aims to minimise the impact to businesses due to operational disruptions. It not only addresses the restoration of information technology (“IT”) infrastructure, but also focuses on the rapid recovery and resumption of critical business functions for the fulfillment of business obligations.”
15
Cross-Industry BCP Standards
Sarbanes-Oxley Act of 2002
SEC. 404. MANAGEMENT ASSESSMENT OF INTERNAL CONTROLS.(a) RULES REQUIRED.—The Commission shall prescribe rules requiring each annual report required by section 13(a) or 15(d) of the Securities Exchange Act of 1934 (15 U.S.C. 78m or 78o(d)) to contain an internal control report, which shall—(1) state the responsibility of management for establishing and maintaining an adequate internal control structure and procedures for financial reporting; and (2) contain an assessment, as of the end of the most recent fiscal year of the issuer, of the effectiveness of the internal control structure and procedures of the issuer for financial reporting.(b) INTERNAL CONTROL EVALUATION AND REPORTINGINTERNAL CONTROL EVALUATION AND REPORTING.—With respect to the internal control assessment required by subsection (a), each registered public accounting firm that prepares or issues the audit report for the issuer shall attest to, and report on, the assessment made by the management of the issuer. An attestation made under this subsection shall be made in accordance with standards for attestation engagements issued or adopted by the Board. Any such attestation shall not be the subject of a separate engagement.
IS THERE BCP IN SARBANES-OXLEY????
16
Is There BCP in Sarbanes-Oxley?
PCAOB (Public Company Accounting Oversight Board)
NO “Furthermore, management's plans that could potentially affect financial reporting in future periods are not controls. For example, a company's business continuity or contingency planning has no effect on the company's current abilities to initiate, authorize, record, process, or report financial data.
Therefore, a company's business continuity or Therefore, a company's business continuity or contingency planning is not part of internal control over contingency planning is not part of internal control over financial reporting."financial reporting."
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Is There BCP in Sarbanes-Oxley?
Practitioners
YES
18
Continuity of Operations (COOP)
Continuity of Government (COG)
FEMA Federal Preparedness Circular (FPC) 65
–Originally Issued – June 1999 – James Lee Witt
–Revised – June 2004 – Michael Brown
Municipal Governments
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Rating COOP Compliance FEMA 65 Crosswalk
A. Plans and Procedures B. Essential Functions C. Delegations of Authority D. Orders of Succession E. Alternate Operating Facilities F. Interoperable Communications G. Vital Files, Records and Databases H. Human Capital I. Test, Training and Exercise Program J. Devolution of Control and Direction K. Reconstitution Operations L. Agency Head Responsibilities
20
Are They A Client?
FFIEC – Appendix E - Interdependencies
-THIRD-PARTY PROVIDERS, KEY SUPPLIERS, AND BUSINESS PARTNERS
-outsourcing information, transaction processing, and settlement outsourcing information, transaction processing, and settlement
activities activities
-Institutions should review and understand service providers'
BCPs and ensure critical services can be restored within
acceptable timeframes based upon the needs of the institution
- If possible the institution should consider participating in their
provider’s testing process.
HOW FAR DOES THIS EXTEND?????
21
Are They A Client?
HIPAA – Business Associate (aka Chain of Trust)
–the business associate must--(1) implement safeguards that reasonably and appropriately protect the confidentiality, integrity, and availability of the electronic protected health information that it creates, receives, maintains, or transmits on behalf of the covered entity; (2) ensure that any agent, including a subcontractor, to whom it provides this information agrees to implement reasonable and appropriate safeguards;
22
Singapore – The Model for the Future?
SS 540 – Revision to TR19 (PDCA – Plan Do Check Act) – New BCM Framework Standard for Business Continuity / Disaster Recovery Service Providers (SS507)
- Singapore is the first country in the world to introduce a Standard and Standard and Certification program for BC/DR service providersCertification program for BC/DR service providers. Developed by the Infocomm Development Authority of Singapore and the IT Standards Committee (ITSC), the Standard specifies the stringent requirements for BC/DR service providers. These requirements benchmark against the top practices in the region and stipulate the operating, monitoring and up-keeping of BC/DR services offered.
TR19 – Technical Reference 19 - aims to help Singapore based enterprises build competence, capacity, resilience and readiness to respond to and recover from events that threaten to disrupt normal business operations.
PROPOSED BUSINESS CONTINUITY MANAGEMENT REQUIREMENTS FOR SGX MEMBERS – May 2008
23
China & Japan
Chinese Business Continuity Management Committee (CBCM)– Setting Standards for Chinese
Emergency Response Business Continuity
– Still IT Centric (Committee exists under technology directorate)– Will Greatly Influence its “Business Partners”
Japanese Crisis Management & Prepareness Organization. (CMPO)
Business Continuity Advancement Organization. (BCAO)
Australia 2008-9
Introducing 3 New Standard Handbook to Align with ISO 31000 (Risk Management Standard) – Due for Release in May 2009 – Management Standard– Practice Standard– Audit Standard
24
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Standards
Uniform Commercial Code
– Preparing for foreseeable business disruption
National Institute of Standards and Technology (NIST) – Contingency Planning Guide for Information Technology Systems
IT Governance Institute Standards COBIT
– Control objectives for information and related technology
26
ISO Standards and Business Continuity
ISO/TS 16949 - Applicable to any supplier to automotive original equipment manufacturer
ISO 27001 (Previously Designated (ISO17799) - Deals with Information Security
ISO 9001, Quality Management - Record Retention and Data Availability
ISO 14001, Environmental Mgt - Emergency Preparedness and Response
ISO/PAS 22399 – Societal Security - - Guideline for incident preparedness and operational continuity management
Section 6.3.2. Contingency Plans The organization shall prepare contingency plans to satisfy customer requirements in the event of an emergency such as a utility interruptions, labor shortages, key equipment failure, and field returns.
11 BUSINESS CONTINUITY MANAGEMENT11.1 ASPECTS OF BUSINESS CONTINUITY MANAGEMENT11.1.1 Business continuity management process11.1.2 Business continuity and impact analysis11.1.3 Writing and implementing continuity plans11.1.4 Business continuity planning framework11.1.5 Testing, maintaining and re-assessing business continuity plans
27
Legal Standards
Liability of CorporationsLiability of Corporations
Liability of Corporate ExecutivesLiability of Corporate Executives
Liability to Outside PartiesLiability to Outside Parties
Standard of NegligenceStandard of Negligence– Standard of Care:Standard of Care:
Prudent Man DoctrinePrudent Man Doctrine Exercise same care in managing company affairs as in managing own Exercise same care in managing company affairs as in managing own
affairs.affairs.
Informed Business Judgment v. Gross NegligenceInformed Business Judgment v. Gross Negligence
28
Case Law – Legal Precedence
Blake v. Woodford Bank & Trust Co. (1977) – Foreseeable
workload – failure to prepare
Sun Cattle Company, Inc.vs. Miners Bank (1974) – Computer
System Failure – Foreseeable Computer Failure
Uniform Commercial Code – Preparing for foreseeable business
disruption
29
Meeting the Standards
US v. Carroll Towing Co. (1947)
1. Probability of Harm (P): the chance that a damaging event will occur
2. Magnitude of Harm (M): the amount of financial damage that would occur should a disaster happen
3. Cost of Prevention (C): the price of putting in place a means of preventing the disaster’s effects
P * M = CP * M = C
30
Negligent Failure To Plan/Prepare – Liability Pandemics
2003 – Canadian Nurses who contracted SARS file suit stating that the Government was Negligent in not preparing for the second wave of the disease after the first wave was identified.
Munich Re:
American Bar Association
31
BS25999 Part 1 is an extension of PAS56Part 1 is an extension of PAS56
– GuidanceGuidance– PrescriptivePrescriptive– Not Performance BasedNot Performance Based
Part 2Part 2– Certification BodyCertification Body– SpecificationSpecification– AuditableAuditable– Create Ability to Demonstrate ComplianceCreate Ability to Demonstrate Compliance
Stage 1 – Audit – Initial Assessment – Desktop ReviewStage 1 – Audit – Initial Assessment – Desktop Review Successful Completion Required Before Moving To Stage 2Successful Completion Required Before Moving To Stage 2
Stage 2 -Conformance Audit - Certification AuditStage 2 -Conformance Audit - Certification Audit Demonstrate ImplementationDemonstrate Implementation Failure Requires Failure Requires Corrective Action Plan Corrective Action Plan Which Must be Agreed UponWhich Must be Agreed Upon
Completion of Stage 1 & 2 Allows for Application to BS 25999 Certification Manager for Completion of Stage 1 & 2 Allows for Application to BS 25999 Certification Manager for CertificationCertification
Surveillance AuditsSurveillance Audits (To be fair, British standard BS25999introduced "Maximum Tolerable Period of Disruption"
(MTPD), another mind-bender destined for the verbal scrap heap, as well.)
BS25999 --UPDATE Will be revised and included with ASIS proposed standard. The new proposed
ISO/ANSI standard will also include elements of the Dutch standard.
The ANSI PINS (Project Initiation Notification System) filing will be reviewed by ANSI by the first week in November 2008 which ends the 30 day PINS comment period
A Technical committee will be formed to help create the standard. The technical committee will be open to a mixture of experts SDOs, users, managers, producers, etc.
The new proposed standard may face some opposition in that there is an indication that it is in conflict with other ANSI standards
The same group concluded unanimously that there is a “compelling” reason to have this standard.
The effort to create and have the new standard approved may take anywhere from 6 months to 2 years to be approved.
32
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PUBLIC LAW 110-53 “IMPLEMENTING RECOMMENDATIONS OF THE 9/11 COMMISSION ACT OF 2007” TITLE IX
34
The Holy Grail or SOX for Business Continuity The Program Was Called For In Title IX Of "The Implementing The 9/11 Commission
Recommendations Act Of 2007“ (Public Law 110-53) Which Addresses A Diversity Of Other National Security Issues As Well. It Was Signed Into Law By The President On August 3, 2007.
Intent – To Implement The Findings Of The 9/11 Commission– NFPA 1600 Was Recommendation Of Commission For Standard– DRII’s Professional Practices Are The Basis For BCP In NFPA 1600
Will It Become A “Standard”????– Voluntary– Non-punitive– Unsuccessful Attempts By Federal Government To Address Private Sector BCM
Overcome Investments By Private Sector
Strain On Small And Medium Sized Businesses In Supply Chain
35
a. Goal of the new program is to provide a method to independently certify the emergency preparedness of private sector organizations, including their disaster / emergency management and business continuity programs. The program focuses on certifying the preparedness of businesses and other private sector entities, and does not involve any individual professional certification. b. The program will be voluntary.c. Key stakeholders are invited to participate in the development of the program. Consultation with a variety of organizations and various sectors is required by the legislation. Program development will likely include involvement by a diversity of private sector advisory groups and others.d. The program will be administered outside of government by 3rd party organizations with experience / expertise in managing and implementing voluntary accreditation and certification programs.e. One or more preparedness standards can be designated. NFPA 1600 is reference by example.f. Existing industry efforts, certifications and reporting in this area will not be duplicated or displaced, but rather recognized and integrated.g. Special consideration will be made for small business.h. Proprietary and confidential information is to be protected.
Title IX – 110-53
Defining “The Standard” Process Used By Sloan Interdisciplinary Team
– Representatives of: ASIS, DRI International, NFPA, RIMS
Review Existing Regulations– FFIEC, NYSE, SEC, NASD– NERC– HIPAA
Provide “Credit” for Work Already Done Reduce Start From Scratch Opposition Create Core Elements for Standard
36
Core elements are those basic components that, when implemented within an organization’s unique governance and culture, provide the underlying framework to enable the organization to sustain itself in spite of a disruptive event (i.e., the “common set of criteria for preparedness, disaster management, emergency management, and business continuity programs...." called for under the law.)
Core Elements 13 Become 81. Policy statement and management commitment - Scope, program roles,
responsibilities, and resources
2. Risk identification, assessments and criticality impact analyses, including legal and other requirements
3. Prevention and Mitigation Evaluation and Planning
4. Incident management (procedures and controls before, during and after a disruption, including emergency management of people, business operations and technology) includes communications
5. Recovery Planning - May be considered to include rebuilding, repairing, and / or restoring
6. Awareness and training
7. Exercises and testing
8. Program revision and improvement
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Program Policies & Procedures Policy statement Management commitment Program procedures and resources Roles, responsibilities, and authorities
Implementation & Operations Controls Operational procedures Awareness and training Communications and warning Document and information control Resources and finances Incident management (procedures and controls for before, during and after a disruption including prevention, mitigation, response and recovery)
Checking and Evaluation Exercises and testing Nonconformity and problem analysis Internal audits (system)
Review, Maintenance, Improvement Corrective action process (acting on problems) Program revision and improvement
Planning Prioritization Objectives and targets Strategic and tactical plans for prevention, deterrence, readiness, mitigation, response, continuity, and recovery
Analysis Risk assessment Impact analysis Criticality analysis Resource analysis Analysis of legal and other requirements
Process Mapping
Standards Crosswalk
NFPA 1600:2007 Standard on Disaster/ Emergency Management and Business Continuity Programs
CSA Z1600 Standard on Emergency Management and Business Continuity Programs
DRI International Professional Practices for Business Continuity Planners
BS 25999-2: 2007 Business Continuity Management – Part 2: Specification
ASIS International - Organizational Resilience: Preparedness and Continuity Management - Best Practices Standard Probably Become Part of ISO/PAS 22399
TR19:2005 Technical Reference for Business Continuity Management (BCM) includes TS507
ISO/PAS 22399:2007 Societal Security: Guidelines for Incident Preparedness and Operational Continuity Management
39
TO BE REPLACED WITH A NEW PROPOSED ANSI/ISO STANDARD UNDER DEVELOPMENT
Flexibility Within A Framework
Existing Industry Efforts– Regulations
FFIEC – NYSE – SEC – HIPAA – NERC – Standards
ISO, ANSI, BSI
40
NOT Sarbanes-Oxley
1. DHS will designate one or more organizations to act as the accrediting body, and oversee the certification process, and to accredit qualified third parties to carry out the certification program.
2. DHS will separately designate one or more standards for assessingprivate sector preparedness.
3. DHS will provide information and promote the business case forvoluntary compliance with preparedness standards.
4. DHS will monitor the effectiveness program on an on-going basis.
41
Process For Implementation of Title IX
Gaining Accreditation
42
ANSI-ANAB
Gaining Accreditation
43
ANSI-ANAB
DHS
44
NFPA gets new DHS support - PRECURSOR TO A STANDARDS CHOICE?
The US Department of Homeland Security (DHS) has designated the National Fire Protection Association (NFPA) codes and standards development process as a ‘Qualified Anti-Terrorism Technology’ (QATT) under the Support Anti-terrorism by Fostering Effective Technologies Act of 2002 (SAFETY Act). NFPA is the first standards development organization to receive this designation. Under provisions of the SAFETY Act, NFPA’s codes and standards development process was also certified as an ‘Approved Product for Homeland Security.’ According to DHS, the SAFETY Act encourages the development and deployment of new and innovative anti-terrorism products and services by providing liability protections. Designation as a QATT and certification as an approved product for homeland security under the SAFETY Act provides legal protections for the NFPA codes and standards development process as applied to anti-terrorism.“NFPA is pleased to have its codes and standards development process recognized as an effective anti-terrorism technology which reflects the openness, balance and fairness NFPA strives to achieve in its voluntary codes and standards development process,” said NFPA President James M. Shannon.Federal protections under the DHS Designation and Certification are retroactive and recognize NFPA’s technology’s ‘first date of sale’ as September 11, 2001.Shannon added, “The commitment and involvement of NFPA in anti-terrorism standards predates the events of 9/11. NFPA has long been committed to making its codes and standards development process available for the creation and continual improvement of standards used to protect first responders and the public in terrorist events. We believe we have a world-class system which attracts numerous experts from diverse fields to develop codes and standards that mitigate the effects of terrorism on people and property.”All NFPA safety codes and standards are developed through a process accredited by the American National Standards Institute (ANSI). The more than 250 technical committees responsible for developing and updating all 300 codes and standards include approximately 4,000 volunteers, representing enforcing authorities, installers and maintainers, labor, research and testing laboratories, insurers, special experts, consumers and other users.NFPA was the developer of the NFPA 1600 ‘Standard on Disaster/Emergency Management and Business Continuity Programs’.
TITLE IX UPDATE – December 2008 At ANSI – HSSP (Homeland Security Standards Panel ) - DHS “unveiled” its
“Voluntary Private Sector Preparedness Accreditation and Certification Program – Proposed Target Criteria for Preparedness Standard”
Internally developed and will be open for comment when DHS publishes a notice in the Federal Registry
December 24, 2008 DHS files notice for comments in the Federal Register. “We note that the designated officer will consider adoption of the American National Standards Institute (ANSI) National Fire Protection Association (NFPA) 1600 Standard on Disaster/Emergency Management and Business Continuity Programs (ANSI/NFPA 1600)—the standard specifically mentioned in both the statute and the 9/11 Commission’s recommendation—as well as any other private sector preparedness standards submitted for adoption.”
45
AWAITING DHS FEDERAL REGISTRY FILING OF APPLICABLE STANDARDS
46
Implications
Certification– Benefit To Passing Certification– If You Can’t Pass Don’t Start
Legal– Litigation Standard– “Voluntary Negligence”
No Teeth Non-Punitive
Will it meet customer requirements
What We Know Right Now
Title IX of PL 110-53 is an unfunded effort, there are no tangible rewards; e.g., tax reductions in the form of deductions or tax credits to use as an incentive. While there are ongoing efforts to provide some insurance relief for business continuity planning, at this time no such incentives are available – Sloan Foundation Report
FEMA has been designated to lead the effort
ANSI – will oversee the certification process Manage Accreditation Accredit third parties to carry out certification Collaborate to develop procedures and requirements for
certification and accreditation
47
Now For The Misinformation
48
Although voluntary right now, these standards could soon be federal mandates for all private industry. - Not To Be Named Consulting Firm in advertising for their webinar
Will share their best practices to meet the new "national preparedness standard" known as NFPA 1600 – Not To Be Named Consulting Firm
This voluntary program offers a number of potential benefits to the certified organization, including:
•Possible insurance premium advantages•Enhanced credit ratings•Competitive differentiation - Not To Be Named Consulting Firm
Certification Risk/Reward Reward
– May Satisfy Customer Inquiries– Create Uniformity– No Insurance/Rating Advantage
Risks– Discoverable (Corrective Action Plan)– May Not Provide Legal Protection
Judge and Jury Decision No Known NFPA1600 Defense
– Quality of Auditors– Potential Conflict
Financial – Operational Audit Corporate Governance Regulation
– Expensive
The Problem Literal Interpretation of Using a Standard
– Precludes Use of Binding Regulations– Standards are General in Nature
No One Standard or Combination of Standards Will Meet Prescriptive and/or Performance Based Standards
Standards Are Not Industry Specific Evacuation - NRC vs. NFPA Data Backup – HIPAA vs. BS25999 Recovery Time – SWIFT vs. SS540
Failure to Adapt ``(E) CONSIDERATIONS.--In developing and implementing the program under this subsection, the designated officer shall–
``(i) consider the unique nature of various sectors within the private sector, including preparedness standards, business continuity standards, or best practices, established--
50
Regulations
Created by Government/Industry Regulatory Bodies
Punitive– Fines– Shutdown
Subject to (Operational/Financial) Audit – Annually
Audit Conducted by Third Party
Results are Board Issues
May Create Vendor Requirements– FFIEC– HIPPA
Standards
Voluntary
Non-Punitive
Auditable Through First, Second or Third Parties
State of Flux– NFPA 1600 is the ANSI National Standard is in Revision for 3rd Quarter 2009 Release– ASIS/BS25999 are Currently in the Early Stages of Seeking ANSI Accreditation not
Due until at Least End of 2009– ISO 22399/PAS (Publicly Available Specifications) Interim State– New Australian Standard– New Singapore Standard– ………………………………..
53
The Answer
Aim is Preparedness
Preparedness Elements Are Defined
Sloan
ANSI-ANAB
Pick What is Appropriate
Financial Requirements
Utility Requirements
Satisfy Industry Requirements
5454
The Answer
Satisfy Industry Requirements
Industry Specific
One Size Doesn’t Fit All
Acceptable to Private Sector
Meets the Spirit of the Law
Cost Effective – Single Audit – No Audit Conflict
Gain Momentum – Quick Certification for 1,000s
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Next Steps QUALIFYING “CERTIFYING BODY”
– Meet ANSI-ANAB Requirements– Designed for SMEs (Emergency/Disaster Management and Business Continuity to
Understand Audit Concepts)– Designed for Auditors (To Understand Emergency/Disaster Management and
Business Continuity)– Earn a CBCA (Certified Business Continuity Auditor) or CBCLA (Certified Business
Continuity Lead Auditor)– Provide Consistency– Provide Recognition
Help Auditing, Help Professionals– Self Assessment– Second Party Assessment– Third Party Assessment
Q & A
Thank You
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Statements concerning legal matters should be understood to be general observations based solely on our experience as risk consultants and should not be relied upon as legal advice, which we are not authorized to provide. All such matters should be reviewed with your own qualified legal advisors in these areas