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CyberFundamentals (Belgium)
ID.GV-3: Legal and regulatory requirements regarding cybersecurity, including privacy and civil liberties obligations, are understood, and managed.

Requirement description

Legal and regulatory requirements regarding information/cybersecurity, including privacy obligations, shall be understood, implemented, and managed.
Guidance
- There should be regular reviews to ensure the continuous compliance with legal and regulatory
requirements regarding information/cybersecurity, including privacy obligations.
- This requirement also applies to contractors and service providers.

How to fill the requirement

CyberFundamentals (Belgium)

ID.GV-3: Legal and regulatory requirements regarding cybersecurity, including privacy and civil liberties obligations, are understood, and managed.

Task name
Priority
Status
Theme
Policy
Other requirements
Identification, documentation and management of other information security requirements
Critical
High
Normal
Low
Fully done
Mostly done
Partly done
Not done
Risk management and leadership
Cyber security management
16
requirements

Examples of other requirements this task affects

18.1.1: Identification of applicable legislation and contractual requirements
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Identification, documentation and management of other information security requirements
1. Task description

Compliance with required laws, regulations, standards, and contractual obligations can be as challenging as dealing with an ever-changing threat environment and new forms of cyber-attacks.

The organization shall document the information security requirements and the organisation's operating model for meeting them.

It is important to note that a large part of the requirements (e.g. laws, standards) are evolving entities. It is recommended to define a review interval for the documentation to describe the frequency at which changes in the requirements should at least be checked.

Privacy notices -report publishing and maintenance
Critical
High
Normal
Low
Fully done
Mostly done
Partly done
Not done
Privacy
Informing and data subject requests
18
requirements

Examples of other requirements this task affects

12. Transparent information, communication and modalities for the exercise of the rights of the data subject
GDPR
13. Information to be provided where personal data are collected from the data subject
GDPR
14. Information to be provided where personal data have not been obtained from the data subject
GDPR
18.1.4: Privacy and protection of personally identifiable information
ISO27 Full
ID.GV-3: Legal and regulatory requirements
NIST
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Privacy notices -report publishing and maintenance
1. Task description

With regard to the processing of personal data, the data subject must be provided with the information specified in the GDPR in a concise, comprehensible and easily accessible form. This is often done in the form of privacy statements, which are published, for example, on the organisation's website.

Where personal data have not been collected from the data subject himself, the descriptions shall state, in addition to the basic content:

  • where the data were obtained
  • which categories of personal data are covered
Executing and documenting internal audits
Critical
High
Normal
Low
Fully done
Mostly done
Partly done
Not done
Risk management and leadership
Cyber security management
29
requirements

Examples of other requirements this task affects

12.7: Information systems audit considerations
ISO27 Full
12.7.1: Information systems audit controls
ISO27 Full
18.2.1: Independent review of information security
ISO27 Full
ID.GV-3: Legal and regulatory requirements
NIST
HAL-07: Seuranta ja valvonta
Julkri
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Executing and documenting internal audits
1. Task description

The organization conducts internal audits in accordance with its internal audit procedure. The aim is to check:

  • whether the information security management system complies with the organisation's cyber security requirements
  • whether the information security management system complies with other operational security requirements or standards complied with
  • whether the information security management system is implemented effectively

Documented information on the execution and results of audits must be kept.

Implementation and documentation of management reviews
Critical
High
Normal
Low
Fully done
Mostly done
Partly done
Not done
Risk management and leadership
Cyber security management
20
requirements

Examples of other requirements this task affects

18.1.1: Identification of applicable legislation and contractual requirements
ISO27 Full
ID.GV-3: Legal and regulatory requirements
NIST
9.3: Management review
ISO27k1 Full
12: Digiturvan tilan seuraaminen
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13: Digiturvan kokonaistilanteen raportointi
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Implementation and documentation of management reviews
1. Task description

Top management shall review the organization's information security management system at planned intervals to ensure that it remains appropriate, relevant and effective.

The management review shall address and comment on at least the following:

  • Status of improvements (or other actions) initiated as a result of previous management reviews
  • Future changes relevant to the security management system
  • Performance of the ISMS (problem areas, metering, audit results and fulfillment of management security objectives)
  • Stakeholder feedback on data security
  • Operation of the risk assessment and treatment process

Documented information on the execution and results of reviews must be maintained.

Process for receiving and handling data subject requests
Critical
High
Normal
Low
Fully done
Mostly done
Partly done
Not done
Privacy
Informing and data subject requests
24
requirements

Examples of other requirements this task affects

15. Right of access by the data subject
GDPR
16. Right to rectification
GDPR
18. Right to restriction of processing
GDPR
19. Notification obligation regarding rectification or erasure of personal data or restriction of processing
GDPR
21. Right to object
GDPR
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Process for receiving and handling data subject requests
1. Task description

Whenever we process personal data, the data subject has certain rights, e.g. gain access to their data and, in certain situations, oppose processing or have their data deleted.

We have planned procedures for handling data subject requests, which may include e.g.:

  • the ways in which the data subject may make a request for information
  • methods to verify the identity of the sender
  • the persons to whom requests for information are forwarded in relation to each register

Tasks included in the policy

Task name
Priority
Status
Theme
Policy
Other requirements
No items found.

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1.1 (MIL2): Manage IT and OT Asset Inventory
C2M2: MIL1
1.1 (MIL3): Manage IT and OT Asset Inventory
C2M2: MIL1
1.1.1: Availability of information security policies
TISAX
1.1.1: Identify the organisation’s strategy and priorities
NSM ICT-SP
1.1.2: Identify the organisation’s structures and processes for security management
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1.1.3: Identify the organisation’s processes for ICT risk management
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1.1.4: Identify the organisation’s tolerances for ICT risk
NSM ICT-SP
1.1.5: Identify the organisation’s deliverables, information systems and supporting ICT functions
NSM ICT-SP
1.1.6: Identify information processing and data flow
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1.2 (MIL2): Manage Information Asset Inventory
C2M2: MIL1
1.2 (MIL3): Manage Information Asset Inventory
C2M2: MIL1
1.2.1: Establish a process to identify devices and software in use at the organisation
NSM ICT-SP
1.2.1: Scope of Information Security management
TISAX
1.2.2: Establish organisational guidelines for approved devices and software
NSM ICT-SP
1.2.2: Information Security Responsibilities
TISAX
1.2.3: Identify devices in use at the organisation
NSM ICT-SP
1.2.3: Information Security requirements in projects
TISAX
1.2.4: Definition of responsibilities with service providers
TISAX
1.2.4: Identify the software in use at the organisation
NSM ICT-SP
1.2: Manage Information Asset Inventory
C2M2: MIL1
1.3 (MIL2): Manage IT and OT Asset Configuration
C2M2: MIL1
1.3 (MIL3): Manage IT and OT Asset Configuration
C2M2: MIL1
1.3.1: Identification of information assets
TISAX
1.3.1: Identify the users of the information systems
NSM ICT-SP
1.3.2: Classification of information assets
TISAX
1.3.2: Identify and define the different user categories
NSM ICT-SP
1.3.3: Identify roles and responsibilities linked especially to ICT security
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1.3.3: Use of approved external IT services
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1.3.4: Use of approved software
TISAX
1.3: Manage IT and OT Asset Configuration
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1.4 (MIL2): Manage Changes to IT and OT Assets
C2M2: MIL1
1.4 (MIL3): Manage Changes to IT and OT Assets
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1.4.1: Management of Information Security Risks
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1.4: Manage Changes to IT and OT Assets
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1.5 (MIL1): Management Activities for the ASSET domain
C2M2: MIL1
1.5 (MIL2): Management Activities for the ASSET domain
C2M2: MIL1
1.5 (MIL3): Management Activities for the ASSET domain
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1.5.1: Assessment of policies and requirements
TISAX
1.5.2: External review of ISMS
TISAX
1.5: Management Activities for the ASSET domain
C2M2: MIL1
1.6.1: Reporting of security events
TISAX
1.6.2: Management of reported events
TISAX
1.6.3: Crisis preparedness
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10 §: Johdon vastuu
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10. Processing of personal data relating to criminal convictions and offences
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10.1 (MIL2): Establish Cybersecurity Program Strategy
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10.1 (MIL3): Establish Cybersecurity Program Strategy
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10.1.1: Policy on the use of cryptographic controls
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10.1.2: Key management
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10.1.2: Key management
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10.1: Continuous improvement
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10.1: Cryptographic controls
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10.1: Cryptographic controls
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10.1: Establish Cybersecurity Program Strategy
C2M2: MIL1
10.2 (MIL2): Establish and Maintain Cybersecurity Program
C2M2: MIL1
10.2 (MIL3): Establish and Maintain Cybersecurity Program
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10.2: Establish and Maintain Cybersecurity Program
C2M2: MIL1
10.2: Non-conformity and corrective action
ISO27k1 Full
10.3 (MIL1): Management Activities for the PROGRAM domain
C2M2: MIL1
10.3 (MIL2): Management Activities for the PROGRAM domain
C2M2: MIL1
10.3 (MIL3): Management Activities for the PROGRAM domain
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10.3: Management Activities for the PROGRAM domain
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10: Cryptography
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10: Cryptography
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10: Cybersecurity Program Management (PROGRAM)
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10: Prosessi väärinkäytöksiin reagoimiseksi
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11 §: Poikkeamailmoitukset viranomaiselle
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11. Processing which does not require identification
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11.1.1: Physical security perimeter
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11.1.2: Physical entry controls
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11.1.3: Securing offices, rooms and facilities
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11.1.4: Protecting against external and environmental threats
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11.1.5: Working in secure areas
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11.1.6: Delivery and loading areas
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11.1: Secure areas
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11.2.1: Equipment siting and protection
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11.2.2: Supporting utilities
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11.2.3: Cabling security
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11.2.4: Equipment maintenance
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11.2.5: Removal of assets
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11.2.6: Security of equipment and assets off-premises
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11.2.7: Secure disposal or re-use of equipment
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11.2.7: Secure disposal or re-use of equipment
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11.2.8: Unattended user equipment
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11.2.9: Clear desk and clear screen policy
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11.2: Equipment
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11.2: Equipment
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11: Physical and environmental security
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12. Transparent information, communication and modalities for the exercise of the rights of the data subject
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12.1.1: Documented operating procedures
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12.1.2: Change management
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12.1.3: Capacity management
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12.1.4: Separation of development, testing and operational environments
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12.1: Operational procedures and responsibilities
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12.2.1: Controls against malware
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12.2: Protection from malware
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