Sample Asset Identification and Classification Policy:: Difference between revisions

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Failure to comply with the Asset Identification and Classification Policy and associated standards, guidelines, and procedures can result in disciplinary actions up to and including termination of employment for employees or termination of contracts for contractors, partners, consultants, and other entities. Legal actions also may be taken for violations of applicable regulations and laws.<br>
Failure to comply with the Asset Identification and Classification Policy and associated standards, guidelines, and procedures can result in disciplinary actions up to and including termination of employment for employees or termination of contracts for contractors, partners, consultants, and other entities. Legal actions also may be taken for violations of applicable regulations and laws.<br>
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Requests for exceptions to the Asset Identification and Classification Policy should be submitted to <Title>. Exceptions shall be permitted only on receipt of written approval from <Title>.<br>
Requests for exceptions to the Asset Identification and Classification Standard should be submitted to the CISO. Exceptions shall be permitted only on receipt of written approval from the CISO. The CISO will periodically report current status to the CIO or its designee.<br>
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=='''V. Review and Revision'''==
=='''V. Review and Revision'''==
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Revision as of 17:19, 15 March 2009

Sample Asset Identification and Classification Policy


As stated in the <Your Company Name> (the "Company") Sample Information Security Program Charter, the Company will follow a risk management approach to develop and implement Information Security policies, standards, guidelines, and procedures. The Information Security Program will protect information assets by establishing policies to identify, classify, define protection and management objectives, and define acceptable use of Company information assets.

This Asset Identification and Classification Policy defines Company objectives for establishing specific standards on the identification, classification, and labeling of Company information assets.

I. Scope


All employees, contractors, part-time and temporary workers, and those employed by others to perform work on Company premises, at hosted or outsourced sites supporting the Company, or who have been granted access to Company information or systems, are covered by this policy and must comply with associated standards and guidelines.

Information Asset is defined as any data, or an aggregate of data, that has value to the organization. This includes all data, whether in the form of electronic media or physical records that are used by the Company or in support of Company business processes, including all data maintained or accessed through systems owned or administered by or on the behalf of the Company. Information Assets include all personal, private, or financial data about employees, clients, contractors, or other organizations that must be protected in accordance with relevant legislative, regulatory, or contractual requirements.

Customer refers to an entity that is paying for service.

Customer Information refers to an Information Asset that is owned by a Customer.

II. Objectives


The Company defines information classifications based on the sensitivity, criticality, confidentiality/privacy requirements, and value of the information. All information assets, whether generated internally or externally, must be categorized into one of these information classifications: Restricted, Confidential, Internal Use Only, or Public. When information of various classifications is combined, the resulting collection of information or new information must be classified at the most restrictive level among the sources. Specific instructions and requirements for classifying information assets are provided in the Sample Information Classification Standard.

All Restricted, Confidential, and Internal Use Only information must be labeled or marked with the appropriate information classification designation. Such markings must appear on all manifestations of the information. Specific instructions and requirements for labeling information assets are provided in the Sample Information Labeling Standard.

III. Responsibilities


The Chief Information Officer (CIO) is the approval authority for the Asset Identification and Classification Policy.

The Chief Information Security Officer (CISO) is responsible for the development, implementation, and maintenance of the Asset Identification and Classification Policy and associated standards and guidelines.

The individuals, groups, or organizations identified in the scope of this policy are accountable for one or more of the following levels of responsibility when using Company information assets:

  • Owners are managers of organizational units that have primary responsibility for information assets associated with their functional authority. When Owners are not clearly implied by organizational design, the CIO will make the designation. Owners are responsible for: identifying information assets; assigning the proper information classification; ensuring the proper labeling for sensitive information; designating the Custodian in possession of the information; ensuring the information classifications are properly communicated and understood by the Custodians; and reviewing information assets periodically to determine if their classifications should be changed.


  • Custodians are the managers, administrators, service providers, and those designated by the Owner to manage, process, or store information assets. Custodians are responsible for understanding the information classifications, and applying the necessary controls (specified in the Sample Asset Protection Policy) to maintain and conserve the information classifications and labeling established by the Owners.


  • Users are the individuals, groups, or organizations authorized by the Owner to access information assets. Users are responsible for understanding the information classifications, abiding by the controls defined by the Owner and implemented by Custodians; maintaining and conserving the information classification and labeling established by the Owners; and contacting the Owner when information is unmarked or the classification is unknown.


IV. Enforcement and Exception Handling


Failure to comply with the Asset Identification and Classification Policy and associated standards, guidelines, and procedures can result in disciplinary actions up to and including termination of employment for employees or termination of contracts for contractors, partners, consultants, and other entities. Legal actions also may be taken for violations of applicable regulations and laws.

Requests for exceptions to the Asset Identification and Classification Standard should be submitted to the CISO. Exceptions shall be permitted only on receipt of written approval from the CISO. The CISO will periodically report current status to the CIO or its designee.

V. Review and Revision


The Asset Identification and Classification Policy will be reviewed and revised in accordance with the Sample Information Security Program Charter.


Recommended: _______________________________________________________

Signature


<Typed Name>


Chief Information Security Officer



Approved: _______________________________________________________

Signature


<Typed Name>


Chief Information Officer