Regulation and guidance aren’t known for light reading. Long, dense, and detailed yet frustratingly vague, it takes a lot of focus to make it through to determine what it means to your institution.
Bankers don’t always get it right. Why not?
Consider a recent cyber guidance for credit unions. A July update to the NCUA’s Supervisory Priorities for 2020 states “The NCUA has transitioned its priority from performing Automated Cybersecurity Examination Tool (ACET) cybersecurity maturity assessments, to evaluat4ing critical security controls.”
A compliance officer or CTO could be forgiven for falsely assuming they could skip out on the ACET and the FFIEC Cybersecurity Assessment Tool (CAT), but a careful reading of the rest of the document shows us that this is not the case. The CAT remains highly relevant.
Why? Let’s break it down.
In the same paragraph addressing the shift away from ACET, the NCUA announced it’s piloting an Information Technology Risk Examination solution for Credit Unions (InTREx-CU) similar to what’s used by the FDIC, Fed, and some state financial regulators to create consistency across regulators.
NCUA says the goal is to “identify and remediate potential high-risk areas through the identification of critical information security program deficiencies as represented by an array of critical security controls and practices.”
Or as the 52-page FDIC InTREx profile describes it, the goal is to give examiners the information they need “to ensure appropriate resources are assigned to the examination.”
One of the many questions included on the FDIC’s InTREx profile is:
"Has the institution assessed its cybersecurity risk and preparedness in the last 12 months using FFIEC CAT, FSSCC Profile, NIST, or any other assessment tool?"
Why does InTREx ask about the CAT tool? It’s because the FDIC knows it’s aligned with the FFIEC IT Exam Handbook, the NIST Cybersecurity framework, and industry-accepted cybersecurity practices. While it doesn’t require the CAT, the FDIC’s examiners expect FIs to have used “appropriate tools, frameworks, or processes” to assess cyber risk and preparedness.
The NCUA guidance also directs CUs to the Cybersecurity Resources page of the NCUA website, which includes content regarding the Cybersecurity Assessment Tool.
Like you, the NCUA doesn’t have unlimited resources. It needs to decide where to focus its time and attention during exams.
Rather than go through every line of the ACET, which was a reporting tool for the CAT, the NCUA is instead homing in on internal controls representing critical, high-risk areas.
They are essentially asking:
To answer those questions, your FI needs to know its cybersecurity risks and priorities. If you don’t identify areas of risk and prioritize them by priority, you won’t know which controls are most critical.
The gold standard for internal controls is COSO’s Internal Control – Integrated Framework. Many regulators have endorsed COSO, including the Federal Deposit Insurance Corporation (FDIC), the Federal Reserve, and the OCC which have “encouraged [institutions] to evaluate their internal control against the COSO framework." The National Credit Union Administration (NCUA) describes it as “the internal control framework most often cited” by credit unions.
COSO says effective internal controls have five components:
Essentially, key/primary controls are identified, weighed, and reviewed to understand residual risk better.
How can this be effectively accomplished for cybersecurity internal controls? I bet you know where this is going. The CAT tool helps management enhance oversight and management of cybersecurity by:
By using the tool, FIs can determine cybersecurity risks and weaknesses so they know which internal controls to prioritize and then assess and monitor their effectiveness. When examiners come in looking to review specific internal controls, FIs should already know which controls will be of greatest interest to examiners and be assured that they are strong and align with the FI’s risk tolerance.
It’s easy to misinterpret guidance, but there are things you can do to avoid it.