ATTACHMENT K - 6500.6 Appendix A.pdf

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Attached to
Q702--Canandaigua Activation Contract Federal contract opportunity
Solicitation number
36C77622Q0268
Issued by
Department of Veterans Affairs Technology Acquisition Center Austin

About this file

This document is a checklist for assessing information security requirements for federal acquisitions involving sensitive Veterans Affairs data. It requires acquisition teams to address a series of questions to determine if security controls are needed for contracts involving IT systems, services, or exchanges of VA information. The checklist must be completed and signed by the contracting officer, information security officer, contracting officer representative, procurement requester, and privacy officer. It will help identify if the Federal Acquisition Regulation security clause or Certification and Accreditation requirements apply. Additionally, the related federal contract opportunity is a solicitation from the VA Technology Acquisition Center Austin for activation services at the Canandaigua VA Medical Center. No other details are provided about required products, services, pricing, or response deadlines.

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Text version

MARCH 12, 2010 VA HANDBOOK 6500.6

APPENDIX A

A-1

CHECKLIST FOR INFORMATION SECURITY IN THE INITIATION PHASE OF

ACQUISITIONS

1. BACKGROUND

In accordance with VA policy, contractors’ storage, generation, transmission or exchanging of VA sensitive information requires approriate security controls to be in place. The VA Information Security Program policy – VA Directive and Handbook 6500 and additional 6500 series directives and handbooks - provide the framework for security within VA.

2. INSTRUCTIONS

This checklist must be completed at the initiation of all IT service acquisitions, statements of work, third-party service agreements and any other legally binding agreement in order to determine what, if any, security and privacy controls are necessary specifically as it relates to the VAAR security clause. OGC guidance should be sought on data ownership issues, as necessary. The checklist can also be used for other types of contracts, if appropriate or needed. In order to successfully complete this checklist, each question below must be addressed in coordination with all members of the local Acquisition Team including: the Procurement Requestor or Program Manager from the program office or facility, the Contracting Officer Representative (COR), the Information Security Officer (ISO), the Contracting Officer (CO) from the program office or facility’s servicing Acquisition office, and the Privacy Officer (PO). The ISO is the arbitrator if there are questions or disagreements on the appropriate answers.

VA HANDBOOK 6500.6 MARCH 12, 2010

A-2

1. Does the contract involve “VA sensitive information?”

(See 3. PROCEDURES a.)

If yes, proceed to next question.

If no, then the security clause is not required.

Yes No

2. Is this an acquisition or purchase of only commodities or goods (e.g. equipment or software)?

If yes, then the security clause is not required as long as VA sensitive information is not involved.

If no, then proceed to the next question.

Yes No

3. Will this acquisition require services of contractor personnel?

If no, proceed to question 5.

If yes, proceed to next question.

Yes No

4. Will the personnel perform a function that requires access to a VA system or VA sensitive information (e.g., system administrator privileged access to a VA system, or contractor systems or processes that utilize VA sensitive information)?

NOTE: See 3.a. under PROCEDURES regarding contracts and agreements concerning medical treatment for Veterans.

If the answer above is no, then proceed to the next question.

If yes, then VA security policies apply. Contracting Officials need to work with the Program Manager or (procurement requestor), COTR, PO, and ISO to:

i. Include the appropriate risk designation of the contractors based on the PDAT determination.

ii. Incorporate the security clause (Appendix B) into the contract involved and the appropriate security/privacy language outlined in Appendix C into the solicitation.

iii. Determine if protected health information is disclosed or accessed and if a BAA is required.

Yes No

A-3

5. Will this acquisition require use of a contractor-owned Information Technology (IT) system or computer assets, and

a. The IT system hardware components are located at an offsite contractor facility; and

b. The IT system is not connected to a VA network; and

c. The contractor has exclusive administrative control to the components; and

d. The purpose of the requirement for the system is to process or store VA information on behalf of the VA.

If any of the answers to 5a-5d are no, proceed to the next question.

If yes, then VA security policies apply. Incorporate the clause from Appendix B and the appropriate security/privacy language from Appendix C respectively into the solicitation and contract and initiate planning for the certification and accreditation of the contractor system(s). Contracting Officials need to work with the COTR and ISO to:

Determine the security impact of the IT system as High, Moderate, or Low per 6500 Handbook, Information Security Program.

Ensure Contractor understanding of the IT security requirements for certification and accreditation (authorization) (C&A) of the contractor system. See VA Handbook 6500.3, Certification and Accreditation.

Ensure that the proper VA Management Official is appointed by the Certification Program Office to formally authorize operation of the system in accordance with VA Handbook 6500 and 6500.3.

Enforce contractor performance (timely submission of deliverables, compliance with personnel screening requirements, maintenance of secure system configurations and participation in annual IT Federal Information Security Management Act (FISMA) assessments to ensure compliance with FISMA requirements).

Ensure yearly FISMA assessments are completed and uploaded into SMART.

Yes No

Yes No

Yes No

A-4

6. Will this acquisition require services that involve connection of one or more contractor-owned IT devices (such as a laptop computer or remote connection from a contractor system) to a VA internal trusted (i.e., non-public) network?

If no, then include a statement in the SOW that “The C&A requirements do not apply, and that a Security Accreditation Package is not required: and proceed to the next question.

If yes, then incorporate the security clause from Appendix B and the appropriate security/privacy language from Appendix C respectively into the solicitation and contract. Contracting Officials need to work with the COR and the ISO to:

Ensure contractor understands and implements the IT security requirements for system interconnection documents required per the Memorandum of Understanding or Interconnection Agreement (MOU-ISA).

The standard operating procedure (SOP) and a template for a MOU-ISA are located on the Information Protection Risk Management (IPRM) Portal and can be provided to the contractor.

Ensure contractor understands their participation in IT security requirements for C&A of the VA system to which they connect.

Enforce contractor performance (timely submission of deliverables, compliance with personnel screening requirements, and appropriate termination activity as appropriate).

Yes No

7. Is the acquisition a service that involves the storage, generating, transmitting, or exchanging of VA sensitive information but does not require C&A or a MOU-ISA for system interconnection?

If no, then specify the mechanism/documentation used to ensure the VA sensitive information is protected.

If yes, then incorporate the security clause and the appropriate security language from Appendices B and C into the solicitation and contract. The COTR needs to:

Ensure that a Contractor Security Control Assessment (CSCA) is completed within 30 days of contract approval and yearly on the renewal date of the contract.

A-5

Ensure that the CSCA is sent to the ISO and the OCS Certification Program Office for review to ensure that appropriate security controls are being implemented in service contracts.

Ensure a copy of the CSCA is maintained in the Security Management and Reporting Tool (SMART) database. COTR will provide a copy of the completed CSCA to ISO for uploading into SMART database.

A-6

3. SIGNATURES

Please provide the name and telephone number of each Acquisition Team member who participated in completing this checklist. By signing this checklist, the Contracting Officer is representing that Security was considered for this requirement through coordination with members of the Acquisition Team including the program or requesting office's IT Security point of contact.

(1) Contracting Officer Representative:

Name: Phone:

Signature: Date:

(2) Information Security Officer:

Name: Phone:

Signature: Date:

(3) Contracting Officer:

Name: Phone:

Signature: Date:

(4) ProcurementRequestor/Program Manager:

Name: Phone:

Title:

Signature: Date:

(5) Privacy Officer:

Name: Phone:

Signature: Date:

(6) Other Team Members participating in the acquisition (e.g., Records Management Officer/Compliance Officer):

Name: Phone:

Title:

Signature: Date:

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