Each student will conduct and document a personal cyber security risk assessment. ProcessThe assessment will include:1) An inventory of the cyber resources used by the student, including computers,...

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Each student will conduct and document a personal cyber security risk assessment.





Process




The assessment will include:




1) An inventory of the cyber resources used by the student, including

computers, phones, and other devices, internet access through Wi-Fi,

wireless, and wired connections, types of applications, interfaces,

information storage, and other resources. Be sure to categorize the

resources based on criticality of information, impact of exposure, and

ability to operate (as a student, person, etc.).




2) Identify Threats including natural disasters, system failures, human mistakes, and malicious activities.




3) Identify vulnerabilities in your personal cyber resources.




4) Determine the likelihood of an incident.




5) Assess the impact of a potential threat.




6) Prioritize the Risks either qualitatively or quantitatively or using a combination.




7) Recommend controls you should apply.



Based on their Risk Assessment, they will write a Risk Assessment Report in the format specified in

NIST Special Publication 800-30r1






Guide for conducting risk assessments I N F O R M A T I O N S E C U R I T Y Computer Security Division Information Technology Laboratory National Institute of Standards and Technology Gaithersburg, MD 20899-8930 September 2012 U.S. Department of Commerce Rebecca M. Blank, Acting Secretary National Institute of Standards and Technology Patrick D. Gallagher, Under Secretary for Standards and Technology and Director Guide for Conducting Risk Assessments JOINT TASK FORCE TRANSFORMATION INITIATIVE NIST Special Publication 800-30 Revision 1 Special Publication 800-30 Guide for Conducting Risk Assessments ________________________________________________________________________________________________ PAGE ii Reports on Computer Systems Technology The Information Technology Laboratory (ITL) at the National Institute of Standards and Technology (NIST) promotes the U.S. economy and public welfare by providing technical leadership for the nation’s measurement and standards infrastructure. ITL develops tests, test methods, reference data, proof of concept implementations, and technical analyses to advance the development and productive use of information technology. ITL’s responsibilities include the development of management, administrative, technical, and physical standards and guidelines for the cost-effective security and privacy of other than national security-related information in federal information systems. The Special Publication 800-series reports on ITL’s research, guidelines, and outreach efforts in information system security, and its collaborative activities with industry, government, and academic organizations. Special Publication 800-30 Guide for Conducting Risk Assessments ________________________________________________________________________________________________ PAGE iii Authority This publication has been developed by NIST to further its statutory responsibilities under the Federal Information Security Management Act (FISMA), Public Law (P.L.) 107-347. NIST is responsible for developing information security standards and guidelines, including minimum requirements for federal information systems, but such standards and guidelines shall not apply to national security systems without the express approval of appropriate federal officials exercising policy authority over such systems. This guideline is consistent with the requirements of the Office of Management and Budget (OMB) Circular A-130, Section 8b(3), Securing Agency Information Systems, as analyzed in Circular A-130, Appendix IV: Analysis of Key Sections. Supplemental information is provided in Circular A-130, Appendix III, Security of Federal Automated Information Resources. Nothing in this publication should be taken to contradict the standards and guidelines made mandatory and binding on federal agencies by the Secretary of Commerce under statutory authority. Nor should these guidelines be interpreted as altering or superseding the existing authorities of the Secretary of Commerce, Director of the OMB, or any other federal official. This publication may be used by nongovernmental organizations on a voluntary basis and is not subject to copyright in the United States. Attribution would, however, be appreciated by NIST. NIST Special Publication 800-30, 95 pages (September 2012) CODEN: NSPUE2 Comments on this publication may be submitted to: National Institute of Standards and Technology Attn: Computer Security Division, Information Technology Laboratory 100 Bureau Drive (Mail Stop 8930) Gaithersburg, MD 20899-8930 Electronic mail: [email protected] Certain commercial entities, equipment, or materials may be identified in this document in order to describe an experimental procedure or concept adequately. Such identification is not intended to imply recommendation or endorsement by NIST, nor is it intended to imply that the entities, materials, or equipment are necessarily the best available for the purpose. There may be references in this publication to other publications currently under development by NIST in accordance with its assigned statutory responsibilities. The information in this publication, including concepts and methodologies, may be used by federal agencies even before the completion of such companion publications. Thus, until each publication is completed, current requirements, guidelines, and procedures, where they exist, remain operative. For planning and transition purposes, federal agencies may wish to closely follow the development of these new publications by NIST. Organizations are encouraged to review all draft publications during public comment periods and provide feedback to NIST. All NIST publications are available at http://csrc.nist.gov/publications. http://csrc.nist.gov/publications Special Publication 800-30 Guide for Conducting Risk Assessments ________________________________________________________________________________________________ PAGE iv Compliance with NIST Standards and Guidelines In accordance with the provisions of FISMA,1 the Secretary of Commerce shall, on the basis of standards and guidelines developed by NIST, prescribe standards and guidelines pertaining to federal information systems. The Secretary shall make standards compulsory and binding to the extent determined necessary by the Secretary to improve the efficiency of operation or security of federal information systems. Standards prescribed shall include information security standards that provide minimum information security requirements and are otherwise necessary to improve the security of federal information and information systems. • Federal Information Processing Standards (FIPS) are approved by the Secretary of Commerce and issued by NIST in accordance with FISMA. FIPS are compulsory and binding for federal agencies.2 FISMA requires that federal agencies comply with these standards, and therefore, agencies may not waive their use. • Special Publications (SPs) are developed and issued by NIST as recommendations and guidance documents. For other than national security programs and systems, federal agencies must follow those NIST Special Publications mandated in a Federal Information Processing Standard. FIPS 200 mandates the use of Special Publication 800-53, as amended. In addition, OMB policies (including OMB Reporting Instructions for FISMA and Agency Privacy Management) state that for other than national security programs and systems, federal agencies must follow certain specific NIST Special Publications.3 • Other security-related publications, including interagency reports (NISTIRs) and ITL Bulletins, provide technical and other information about NIST's activities. These publications are mandatory only when specified by OMB. • Compliance schedules for NIST security standards and guidelines are established by OMB in policies, directives, or memoranda (e.g., annual FISMA Reporting Guidance).4 1 The E-Government Act (P.L. 107-347) recognizes the importance of information security to the economic and national security interests of the United States. Title III of the E-Government Act, entitled the Federal Information Security Management Act (FISMA), emphasizes the need for organizations to develop, document, and implement an organization-wide program to provide security for the information systems that support its operations and assets. 2 The term agency is used in this publication in lieu of the more general term organization only in those circumstances where its usage is directly related to other source documents such as federal legislation or policy. 3 While federal agencies are required to follow certain specific NIST Special Publications in accordance with OMB policy, there is flexibility in how agencies apply the guidance. Federal agencies apply the security concepts and principles articulated in the NIST Special Publications in accordance with and in the context of the agency’s missions, business functions, and environment of operation. Consequently, the application of NIST guidance by federal agencies can result in different security solutions that are equally acceptable, compliant with the guidance, and meet the OMB definition of adequate security for federal information systems. Given the high priority of information sharing and transparency within the federal government, agencies also consider reciprocity in developing their information security solutions. When assessing federal agency compliance with NIST Special Publications, Inspectors General, evaluators, auditors, and assessors consider the intent of the security concepts and principles articulated within the specific guidance document and how the agency applied the guidance in the context of its mission/business responsibilities, operational environment, and unique organizational conditions. 4 Unless otherwise stated, all references to NIST publications in this document (i.e., Federal Information Processing Standards and Special Publications) are to the most recent version of the publication. Special Publication 800-30
Answered Same DayOct 10, 2022

Answer To: Each student will conduct and document a personal cyber security risk assessment. ProcessThe...

Amar Kumar answered on Oct 11 2022
59 Votes
If you work in information security, risk management is your field whether you like it or not. Risk evaluations are not new. As businesses rely more and more on information systems and technology, the threat environment for digital risk grows, creating important new risks for ecosystems.
The National Instit
ute of Standards and Technology (NIST) developed a cybersecurity framework to use as the basis for risk evaluation processes.
Cyber risk is the possibility of having sensitive data, funds, or corporate activities negatively disrupted online. Cyber dangers are frequently connected to issues that might result in a data leak.
Cyber risk assessments, in accordance with the National Institute of Standards and Technology, are "risk evaluations that are used to detect, evaluate, and prioritize risk to organizational operations, organizational assets, persons, other organizations, and the Nation" (NIST). These assessments are based on the use of information systems.
A cyber-risk assessment's primary objectives are to inform stakeholders and encourage appropriate risk responses. They also offer an executive summary to aid directors and executives in making knowledgeable security choices.
A cyber risk assessment is beneficial for many reasons and obligatory for some. Let's discuss each of them:
Data Loss- You face the risk of losing clients to other businesses if trade secrets, source code, or other valuable information assets are stolen.
Additionally, cyber risk evaluations are a vital part of information risk management and any organization's overall risk management plan.
Limit application outages- In order for workers and customers to perform their duties, internal or customer-facing systems must be accessible and functioning.
Prevent Data Breach- A data breach may have a serious negative impact on any company's finances and image.
Improved Organizational Knowledge-Once you are aware of your organization's limitations, you will be able to identify the areas that need improvement.
Lowering long-term costs-By seeing possible dangers and weaknesses, your business may act to minimize them before they cost money or harm its brand.
In a perfect world, internal teams tasked with processing risk assessments would do so. This calls for having CEOs who understand how information moves, IT personnel that are familiar with your network and digital architecture, as well as any internal organisational knowledge that would be helpful throughout the test.
Transparency inside the company is necessary for a proper cyber risk assessment. Due to a lack of internal resources, small enterprises may need to outsource assessment to a third party.
Cybersecurity software is used by businesses to track their operations, prevent breaches, send security questionnaires, and reduce third-party risk.
In the parts that follow, we'll go through each stage in further detail after giving a broad overview. Risk assessment and mitigation require a thorough understanding of your infrastructure, data, and the importance of the data you are seeking to safeguard.
Stage...
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