I must apologize for this final CUI segment taking so long. Every time I thought I was ready to publish, something new to talk about popped up. Initially, I was going to talk about the importance of communicating CUI to the organization and the potential pitfalls of a data classification policy in a company that […]
In my first blog on Controlled Unclassified Information (CUI), I discussed ways in which your organization could get started with the Defense Federal Acquisition Regulation Supplements (DFARS) compliance activities around CUI and the deadline of December 31, 2017. Hopefully, everyone reading this part two of the three-part series has created the policies required to identify, […]
CUI appears to be the new buzzword for the end of 2017, especially for companies who are struggling with compliance to the Defense Federal Acquisition Regulations (DFARs) requirements and NIST SP800-171. All is not lost, nor is it difficult to get started at this late date. Over the next month, I will discuss CUI a […]