Skip to content

Menu

Network by SubjectChannelsBlogsHomeAboutContact
AI Legal Journal logo
Subscribe
Search
Close
PublishersBlogsNetwork by SubjectChannels
Subscribe

September 2024 Developments Under President Biden’s Cybersecurity Executive Order and National Cybersecurity Strategy

By Robert Huffman, Susan B. Cassidy, Ashden Fein, Matthew Harden & Ryan Burnette on October 16, 2024
Email this postTweet this postLike this postShare this post on LinkedIn

This is part of a series of Covington blogs on implementation of Executive Order 14028, “Improving the Nation’s Cybersecurity,” issued by President Biden on May 12, 2021 (the “Cyber EO”).  The first blog summarized the Cyber EO’s key provisions and timelines, and the subsequent blogs described the actions taken by various government agencies to implement the Cyber EO from June 2021 through August 2024.  This blog describes key actions taken to implement the Cyber EO, as well as the U.S. National Cybersecurity Strategy, during September 2024.  We discuss developments during September 2024 to implement President Biden’s Executive Order on Artificial Intelligence in a separate post. 

CMMC 2.0 Clears Interagency Review

On September 13, the long-awaited Cybersecurity Maturity Model Certification (“CMMC”) 2.0 agency rule passed final interagency review.  (The final rule was released publicly in pre-publication form on October 11, as we covered in a separate post here.)  CMMC 2.0 will be subject to a 60-day Congressional review under the Congressional Review Act, during which time Congress could issue a joint statement of disapproval.  CMMC 2.0 will require compliance with the program as a condition of entering into Department of Defense (“DoD”) contracts involving the storage, processing, or transmission of federal contract information (“FCI”) or controlled unclassified information (“CUI”).  A more thorough discussion of CMMC 2.0 generally is available in our January alert, which discussed the proposed CMMC 2.0 rule.  As we noted in a prior post, DoD published an accompanying proposed rule that would implement CMMC 2.0 in the Defense Federal Acquisition Regulation Supplement (“DFARS”).  That rule will govern how the requirements of the program will be imposed on contractors by contract. 

CSC 2.0 Publishes 2024 Implementation Report

The Cyberspace Solarium Commission 2.0 (“CSC 2.0”) published its 2024 Annual Report on Implementation, which assesses the U.S. government’s progress in enacting the original Cyberspace Solarium Commission’s (“CSC”) 82 bipartisan recommendations and outlines the top ten recommendations for the next administration and Congress to improve cyber resilience.  Given the history of the CSC’s recommendations evolving into significant executive, legislative, and regulatory actions that have shaped the cybersecurity landscape over the past several years, the 2024 Implementation Report and the CSC’s roadmap of recommendations provide a noteworthy preview of potential future cyber regulations and legislative developments in the U.S.  Indeed, many of the most significant changes to the federal cybersecurity landscape in the past few years evolved from the CSC’s recommendations.  The report’s analysis and recommendations are summarized further in our Alert.

ONCD Tackles Border Gateway Protocol (“BGP”) Vulnerabilities

On September 3, the Office of the National Cyber Director (“ONCD”) released the Roadmap to Enhancing Internet Routing Security (“Roadmap”), providing recommendations for network operators to strengthen BGP security and resilience features.  BGP refers to the protocol that dictates how information is routed across networks.  According to ONCD, BGP is susceptible to intentional and inadvertent misconfigurations that “may expose personal information; enable theft, extortion, and state-level espionage; disrupt security-critical transactions; and disrupt critical infrastructure operations.”  The Roadmap encourages the adoption of Resource Public Key Infrastructure, a form of cryptographic certification to authenticate route announcements, and provides 18 recommendations for network operators, network service providers, public and private stakeholders, and federal agencies.  To further advance these goals ONCD, in coordination with the Cybersecurity and Infrastructure Security Agency, is in the process of creating a public-private Internet Routing Security Working Group.

Susan B. Cassidy

Ms. Cassidy represents clients in the defense, intelligence, and information technologies sectors.  She works with clients to navigate the complex rules and regulations that govern federal procurement and her practice includes both counseling and litigation components.  Ms. Cassidy conducts internal investigations for government…

Ms. Cassidy represents clients in the defense, intelligence, and information technologies sectors.  She works with clients to navigate the complex rules and regulations that govern federal procurement and her practice includes both counseling and litigation components.  Ms. Cassidy conducts internal investigations for government contractors and represents her clients before the Defense Contract Audit Agency (DCAA), Inspectors General (IG), and the Department of Justice with regard to those investigations.  From 2008 to 2012, Ms. Cassidy served as in-house counsel at Northrop Grumman Corporation, one of the world’s largest defense contractors, supporting both defense and intelligence programs. Previously, Ms. Cassidy held an in-house position with Motorola Inc., leading a team of lawyers supporting sales of commercial communications products and services to US government defense and civilian agencies. Prior to going in-house, Ms. Cassidy was a litigation and government contracts partner in an international law firm headquartered in Washington, DC.

Read more about Susan B. Cassidy
Show more Show less
Photo of Ashden Fein Ashden Fein

Ashden Fein advises clients on cybersecurity and national security matters, including crisis management and incident response, risk management and governance, government and internal investigations, and regulatory compliance.

For cybersecurity matters, Mr. Fein counsels clients on preparing for and responding to cyber-based attacks, assessing…

Ashden Fein advises clients on cybersecurity and national security matters, including crisis management and incident response, risk management and governance, government and internal investigations, and regulatory compliance.

For cybersecurity matters, Mr. Fein counsels clients on preparing for and responding to cyber-based attacks, assessing security controls and practices for the protection of data and systems, developing and implementing cybersecurity risk management and governance programs, and complying with federal and state regulatory requirements. Mr. Fein frequently supports clients as the lead investigator and crisis manager for global cyber and data security incidents, including data breaches involving personal data, advanced persistent threats targeting intellectual property across industries, state-sponsored theft of sensitive U.S. government information, and destructive attacks.

Additionally, Mr. Fein assists clients from across industries with leading internal investigations and responding to government inquiries related to the U.S. national security. He also advises aerospace, defense, and intelligence contractors on security compliance under U.S. national security laws and regulations including, among others, the National Industrial Security Program (NISPOM), U.S. government cybersecurity regulations, and requirements related to supply chain security.

Before joining Covington, Mr. Fein served on active duty in the U.S. Army as a Military Intelligence officer and prosecutor specializing in cybercrime and national security investigations and prosecutions — to include serving as the lead trial lawyer in the prosecution of Private Chelsea (Bradley) Manning for the unlawful disclosure of classified information to Wikileaks.

Mr. Fein currently serves as a Judge Advocate in the U.S. Army Reserve.

Read more about Ashden Fein
Show more Show less
Matthew Harden

Matthew Harden is a litigation associate in the firm’s New York office and advises on a broad range of cybersecurity, data privacy, and national security matters, including cybersecurity incident response, cybersecurity and privacy compliance obligations, internal investigations, and regulatory inquiries.

Read more about Matthew Harden
Photo of Ryan Burnette Ryan Burnette

Ryan Burnette advises clients on a range of issues related to government contracting. Mr. Burnette has particular experience with helping companies navigate mergers and acquisitions, FAR and DFARS compliance issues, public policy matters, government investigations, and issues involving government cost accounting and the…

Ryan Burnette advises clients on a range of issues related to government contracting. Mr. Burnette has particular experience with helping companies navigate mergers and acquisitions, FAR and DFARS compliance issues, public policy matters, government investigations, and issues involving government cost accounting and the Cost Accounting Standards.  Prior to joining Covington, Mr. Burnette served in the Office of Federal Procurement Policy in the Executive Office of the President, where he worked on government-wide contracting regulations and administrative actions affecting more than $400 billion dollars’ worth of goods and services each year.

Read more about Ryan Burnette
Show more Show less
  • Posted in:
    Administrative, Government
  • Blog:
    Inside Government Contracts
  • Organization:
    Covington & Burling LLP
  • Article: View Original Source

LexBlog logo
Copyright © 2025, LexBlog. All Rights Reserved.
Legal content Portal by LexBlog LexBlog Logo