by dtcglobal2021 | Aug 28, 2020 | Uncategorized
This is urgent. The deadline is 13 AUG, 2020. No contracts may be awarded without completion. BACKGROUND: Effective August 13, 2020, the Government may not contract with an entity that uses telecommunications equipment or services, as a substantial or essential...
by dtcglobal2021 | Jul 14, 2020 | CMMC AB, CMMC Standards, CUIsupply.com, Cybersecurity Maturity Model, Uncategorized
Tom Cornelius Senior Partner at ComplianceForge | Founder & Contributor at Secure Controls Framework (SCF) 20 articles Les Terrell Chief Operating Officer at DTC Global, CMMCsmart, and CUIsupply.com ComplianceForge and DTC Global teamed up to write an article...
by dtcglobal2021 | Jan 22, 2020 | CMMC AB, CMMC Standards, CUI Handling, CUI Training, CUIsupply.com, Cybersecurity Maturity Model, Uncategorized
NOTE: All opinions are my own and do not reflect the official position of the CMMC Accreditation Body, the CMMC PMO, or the Department of Defense. DoD Prime contractors and their suppliers, subcontractors, and tier suppliers impacted by DFARS 202.252-7012 face...
by dtcglobal2021 | Dec 10, 2019 | CMMC AB, CMMC Standards, CUI Handling, CUI Training, Cybersecurity Maturity Model, Uncategorized
A storm is brewing for the Defense Industrial Base impacting hundreds of thousands of companies and research institutions. For the defense industry, December 31, 2017 was a critical deadline. Controlled Unclassified Information (CUI) is the compliance risk management...
by dtcglobal2021 | Nov 26, 2019 | CUIsupply.com, Uncategorized
IMPORTANT:If these practices aren’t being done on a regular basis within your organization, you’re not compliant, and it’s time to take action. There is no shortage of articles out there about CMMC/NIST 800-171, and what it means to contractors. These are great...
by dtcglobal2021 | Nov 6, 2019 | CUIsupply.com, Cybersecurity Maturity Model, Uncategorized
Contractors with the DoD have many different concerns while trying to do their best to be complianct with Nist 800-171 and 32 CFR 2002.20. A problem has been that removable media, documents, computers, storage containers, and filing cabinets are required to be marked...
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