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In addition, he will provide updates on the RiskManagement Framework (RMF) and Authority to Operate (ATO) processes as part of the integration of technology in delivering best value healthcare. Entities that meet certain threshold criteria – regardless of size – are covered by the rule.
Updates to relevant terms and definitions – The proposed rule includes new definitions for “IoT devices,” “Operational Technology,” “Telecommunications Equipment,” “Telecommunications Services,” and “Security incident” to be included in FAR 2.101. Notably absent from those FAR provisions is a definition for these terms.
Updates to relevant terms and definitions – The proposed rule includes new definitions for “IoT devices,” “Operational Technology,” “Telecommunications Equipment,” “Telecommunications Services,” and “Security incident” to be included in FAR 2.101. Notably absent from those FAR provisions is a definition for these terms.
As CISA has noted , [an SBOM] has emerged as a key building block in software security and software supply chain riskmanagement. In 2019, the National Telecommunications and Information Administration (NTIA) published the first edition of Framing Software Component Transparency: Establishing a Common Software Bill of Materials (SBOM).
Updates to relevant terms and definitions – The proposed rule includes new definitions for “IoT devices,” “Operational Technology,” “Telecommunications Equipment,” “Telecommunications Services,” and “Security incident” to be included in FAR 2.101. Notably absent from those FAR provisions is a definition for these terms.
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