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Table of Contents
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Overview

This Information Security Policy is intended to protect CloudCard’s employees, partners and the company from illegal or damaging actions by individuals, either knowingly or unknowingly.

...

The CloudCard “Information Security Policy” is comprised of this policy and all CloudCard policies referenced and/or linked within this document.

Scope

This policy applies to the use of information, electronic and computing devices, and network resources to conduct CloudCard business or interact with internal networks and business systems, whether owned or leased by CloudCard, the employee, or a third party. All employees, contractors, consultants, temporary, and other workers at CloudCard and its subsidiaries are responsible for exercising good judgment regarding appropriate use of information, electronic devices, and network resources in accordance with CloudCard policies and standards, and local laws and regulations.

This policy applies to employees, contractors, consultants, temporaries, and other workers at CloudCard, including all personnel affiliated with third parties. This policy applies to all CloudCard-controlled company and customer data as well as all equipment, systems, networks and software owned or leased by CloudCard.

Security Incident Reporting

All users are required to report known or suspected security events or incidents, including policy violations and observed security weaknesses. Incidents shall be reported immediately or as soon as possible by sending an email to: security@cloudcard.us.

In your email please describe the incident or observation along with any relevant details.

Whistleblower Anonymous Fraud Reporting

Our Whistleblower Policy is intended to encourage and enable employees and others to raise serious concerns internally so that we can address and correct inappropriate conduct and actions. It is the responsibility of all employees to report concerns about violations of our code of ethics or suspected violations of law or regulations that govern our operations.

It is contrary to our values for anyone to retaliate against any employee or who in good faith reports an ethics violation, or a suspected violation of law, such as a complaint of discrimination, or suspected fraud, or suspected violation of any regulation. An employee who retaliates against someone who has reported a violation in good faith is subject to discipline up to and including termination of employment.

Anonymous reports may be submitted via an email to security@cloudcard.us.

Mobile Device Policy

All end-user devices (e.g., mobile phones, tablets, laptops, desktops) must comply with this policy. Employees must use extreme caution when opening email attachments received from unknown senders, which may contain malware.

System level and user level passwords must comply with the Access Control Policy. Providing access to another individual, either deliberately or through failure to secure a device is prohibited.

All end-user, personal (BYOD) or company owned devices used to access CloudCard information systems (i.e. email) must adhere to the following rules and requirements:

  • Devices must be locked with a password (or equivalent control such as biometric) protected screensaver or screen lock after 10 minutes or less of non-use.

  • Devices must be locked whenever left unattended.

  • Users must report any suspected misuse or theft of a mobile device immediately to the Security team (security@cloudcard.us)

  • Confidential information must not be stored on mobile devices or USB drives (this does not apply to business contact information, e.g., names, phone numbers, and email addresses).

  • Any mobile device used to access company resources (such as file shares and email) must not be shared with any other person.

  • Upon termination users agree to return all company owned devices and delete all company information and accounts from any personal devices.

Clear Screen Clear Desk Policy

Users shall not leave confidential materials unsecured on their desk or workspace, and will ensure that screens are locked when not in use.

Remote Access Policy

Laptops and other computer resources that are used to access the CloudCard network must conform to the security requirements outlined in CloudCard’s Information Security Policies and adhere to the following standards:

  • To ensure mobile devices do not connect a compromised device to the company network, Antivirus policies require the use and enforcement of client-side antivirus software.

  • Antivirus software must be configured to detect and prevent or quarantine malicious software, perform periodic system scans, and have automatic updates enabled.

  • Users must not connect to any outside network without a secure, up-to-date software firewall configured on the mobile computer.

  • Users are prohibited from changing or disabling any organizational security controls such as personal firewalls, antivirus software on systems used to access CloudCard resources.

  • Use of remote access software and/or services is allowable as long as Transport Layer Security (TLS or SSL) is used to encrypt the communication of the tool. This includes, but is not limited to, RDP, SSH, database connections, and web applications. For websites, ensure the URL contains https and that the lock icon in the browser bar is green.

  • Unauthorized remote access technologies may not be used or installed on any CloudCard system.

  • Users should avoid use of public Wi-Fi (e.g. coffee shop, hotel) for any CloudCard business, and should instead use a personal or CloudCard owned mobile hotspot. In situations where public Wi-Fi use is necessary, the same remote access precautions should be followed.

  • Users must not access CloudCard resources from a public computer (e.g., from a business center, hotel, etc.). Contact security or your supervisor if you are unable to reach your CloudCard issued laptop and have a business need to do so.

Acceptable Use Policy

CloudCard proprietary and customer information stored on electronic and computing devices, whether owned or leased by CloudCard, the employee or a third party, remains the sole property of CloudCard for the purposes of this policy. Employees and contractors must ensure through legal or technical means that proprietary information is protected in accordance with the Data Management Policy. The use of Google Drive for business file storage is required for all users. All CloudCard documents that are not private should be stored in the appropriate shared folder in Google Drive - this is our primary backup strategy for user laptops. All code should be stored in Bitbucket or GitHub - this is our primary backup strategy for source code.

You have a responsibility to promptly report the theft, loss, or unauthorized disclosure of CloudCard proprietary information or equipment. You may access, use or share CloudCard proprietary information only to the extent it is authorized and necessary to fulfill your assigned job duties. Employees are responsible for exercising good judgment regarding the reasonableness of personal use of company-provided devices.

For security and network maintenance purposes, authorized individuals within CloudCard may monitor equipment, systems and network traffic at any time.

CloudCard reserves the right to audit networks and systems on a periodic basis to ensure compliance with this policy.

Unacceptable Use

The following activities are, in general, prohibited. Employees may be exempted from these restrictions during the course of their legitimate job responsibilities with properly documented Management approval. Under no circumstances is an employee of CloudCard authorized to engage in any activity that is illegal under local, state, federal or international law while utilizing CloudCard-owned resources or while representing CloudCard in any capacity. The list below is not exhaustive, but attempts to provide a framework for activities which fall into the category of unacceptable use.

The following activities are strictly prohibited, with no exceptions:

  1. Violations of the rights of any person or company protected by copyright, trade secret, patent, or other intellectual property, or similar laws or regulations, including, but not limited to, the installation or distribution of "pirated" or other software products that are not appropriately licensed for use by CloudCard

  2. Unauthorized copying of copyrighted material including, but not limited to, digitization and distribution of photographs from magazines, books, or other copyrighted sources, copyrighted music, and the installation of any copyrighted software for which CloudCard or the end user does not have an active license

  3. Accessing data, a server, or an account for any purpose other than conducting CloudCard business, even if you have authorized access, is prohibited

  4. Exporting software, technical information, encryption software, or technology, in violation of international or regional export control laws, is illegal. The appropriate management shall be consulted prior to export of any material that is in question

  5. Introduction of malicious programs into the network or systems (e.g., viruses, worms, Trojan horses, email bombs, etc.)

  6. Revealing your account password to others or allowing use of your account by others. This includes family and other household members when work is being done at home

  7. Using a CloudCard computing asset to actively engage in procuring or transmitting material that is in violation of sexual harassment or hostile workplace laws

  8. Making fraudulent offers of products, items, or services originating from any CloudCard account

  9. Making statements about warranty, expressly or implied, unless it is a part of normal job duties

  10. Effecting security breaches or disruptions of network communication. Security breaches include, but are not limited to, accessing data of which the employee is not an intended recipient, or logging into a server or account that the employee is not expressly authorized to access, unless these duties are within the scope of regular duties. For purposes of this section, "disruption" includes, but is not limited to, network sniffing, pinged floods, packet spoofing, denial of service, and forged routing information for malicious purposes

  11. Port scanning or security scanning is expressly prohibited unless prior notification to the CloudCard engineering team is made

  12. Executing any form of network monitoring which will intercept data not intended for the employee's host, unless this activity is a part of the employee's normal job/duty

  13. Circumventing user authentication or security of any host, network, or account

  14. Introducing honeypots, honeynets, or similar technology on the CloudCard network.

  15. Interfering with or denying service to any user other than the employee's host (for example, denial of service attack)

  16. Using any program/script/command, or sending messages of any kind, with the intent to interfere with, or disable, a user's session, via any means

  17. Providing information about, or lists of: CloudCard employees, contractors, partners, or customers to parties outside CloudCard without authorization

Email and Communication Activities

When using company resources to access and use the Internet, users must realize they represent the company and act accordingly.

The following activities are strictly prohibited, with no exceptions:

  1. Sending unsolicited email messages, including the sending of "junk mail", or other advertising material to individuals who did not specifically request such material (email spam)

  2. Any form of harassment via email, telephone, or texting, whether through language, frequency, or size of messages

  3. Unauthorized use, or forging, of email header information

  4. Solicitation of email for any other email address, other than that of the poster's account, with the intent to harass or to collect replies

  5. Creating or forwarding "chain letters", "Ponzi", or other "pyramid" schemes of any type

  6. Use of unsolicited email originating from within CloudCard networks or other service providers on behalf of, or to advertise, any service hosted by CloudCard or connected via CloudCard’s network

Additional Policies and Procedures Incorporated by Reference

Personnel are responsible for reading and complying with all policies relevant to their roles and responsibilities.

...

Policy

...

Purpose

...

Access Control Policy

...

To limit access to information and information processing systems, networks, and facilities to authorized parties in accordance with business objectives.

...

Asset Management Policy

...

To identify organizational assets and define appropriate protection responsibilities.

...

Business Continuity & Disaster Recovery Plan

...

To prepare CloudCard in the event of extended service outages caused by factors beyond our control (e.g., natural disasters, man-made events), and to restore services to the widest extent possible in a minimum time frame.

...

Cryptography Policy

...

To ensure proper and effective use of cryptography to protect the confidentiality, authenticity and/or integrity of information.

...

Data Management Policy

...

To ensure that information is classified and protected in accordance with its importance to the organization.

...

Human Resource Security Policy

...

To ensure that employees and contractors meet security requirements, understand their responsibilities, and are suitable for their roles.

...

Incident Response Plan

...

Policy and procedures for suspected or confirmed information security incidents.

...

Information Security Roles and Responsibilities

...

Establishes the roles and responsibilities that ensure effective communication of information security policies and standards.

...

Operations Security Policy

...

To ensure the correct and secure operation of information processing systems and facilities.

...

Physical Security Policy

...

To prevent unauthorized physical access or damage to the organization’s information and information processing facilities.

...

Risk Management Policy

...

To define the process for assessing and managing CloudCard’s information security risks in order to achieve the company’s business and information security objectives.

...

Secure Development Policy

...

To ensure that information security is designed and implemented within the development lifecycle for applications and information systems.

...

Third-Party Management Policy

...

To ensure protection of the organization's data and assets that are shared with, accessible to, or managed by suppliers, including external parties or third-party organizations such as service providers, vendors, and customers, and to maintain an agreed level of information security and service delivery in line with supplier agreements.

Policy Compliance

CloudCard will measure and verify compliance to this policy through various methods, including but not limited to ongoing monitoring, and both internal and external audits.

Exceptions

Requests for an exception to this policy must be submitted to the Director of Security (security@cloudcard.us) for approval.

Violations & Enforcement

Any known violations of this policy should be reported to the Director of Security (security@cloudcard.us) . Violations of this policy can result in immediate withdrawal or suspension of system and network privileges and/or disciplinary action in accordance with company procedures up to and including termination of employment<

It is the goal of CloudCard that:

  • Information will be protected against unauthorized access or misuse.

  • Confidentiality of information will be secured.

  • Integrity of information will be maintained.

  • Availability of information / information systems is maintained for service delivery.

  • Business continuity planning processes will be maintained.

  • Regulatory, contractual and legal requirements will be complied with.

  • Physical, logical, environmental and communications security will be maintained.

  • Infringement of this Policy may result in disciplinary action or criminal prosecution.

  • When information is no longer of use, it is disposed of in a suitable manner.

  • All information security incidents will be reported to the Managing Director and investigated through the appropriate management channel. These reports will be brought to the Product Owner in order to address the current problem and devise a new plan.

 

Information relates to:

  • Electronic information systems (software, computers, and peripherals) owned by CloudCard whether deployed or accessed on or off campus.

  • CloudCard’s computer network, both in the cloud and on campus.

  • Hardware, software and data owned by CloudCard.

  • Paper-based materials.

  • Electronic recording devices (i.e. camera systems).

  • Customer data obtained by CloudCard

>

Scope

This policy applies to the use of information, electronic and computing devices, and network resources to conduct CloudCard business or interact with internal networks and business systems, whether owned or leased by CloudCard, the employee, or a third party. All employees, contractors, consultants, temporary, and other workers at CloudCard and its subsidiaries are responsible for exercising good judgment regarding appropriate use of information, electronic devices, and network resources in accordance with CloudCard policies and standards, and local laws and regulations.

This policy applies to employees, contractors, consultants, temporaries, and other workers at CloudCard, including all personnel affiliated with third parties. This policy applies to all CloudCard-controlled company and customer data as well as all equipment, systems, networks and software owned or leased by CloudCard.

Security Incident Reporting

All users are required to report known or suspected security events or incidents, including policy violations and observed security weaknesses. Incidents shall be reported immediately or as soon as possible by sending an email to: security@cloudcard.us.

In your email please describe the incident or observation along with any relevant details.

Whistleblower Anonymous Fraud Reporting

Our Whistleblower Policy is intended to encourage and enable employees and others to raise serious concerns internally so that we can address and correct inappropriate conduct and actions. It is the responsibility of all employees to report concerns about violations of our code of ethics or suspected violations of law or regulations that govern our operations.

It is contrary to our values for anyone to retaliate against any employee or who in good faith reports an ethics violation, or a suspected violation of law, such as a complaint of discrimination, or suspected fraud, or suspected violation of any regulation. An employee who retaliates against someone who has reported a violation in good faith is subject to discipline up to and including termination of employment.

Anonymous reports may be submitted via an email to security@cloudcard.us.

Mobile Device Policy

All end-user devices (e.g., mobile phones, tablets, laptops, desktops) must comply with this policy. Employees must use extreme caution when opening email attachments received from unknown senders, which may contain malware.

System level and user level passwords must comply with the Access Control Policy. Providing access to another individual, either deliberately or through failure to secure a device is prohibited.

All end-user, personal (BYOD) or company owned devices used to access CloudCard information systems (i.e. email) must adhere to the following rules and requirements:

  • Devices must be locked with a password (or equivalent control such as biometric) protected screensaver or screen lock after 10 minutes or less of non-use.

  • Devices must be locked whenever left unattended.

  • Users must report any suspected misuse or theft of a mobile device immediately to the Security team (security@cloudcard.us)

  • Confidential information must not be stored on mobile devices or USB drives (this does not apply to business contact information, e.g., names, phone numbers, and email addresses).

  • Any mobile device used to access company resources (such as file shares and email) must not be shared with any other person.

  • Upon termination users agree to return all company owned devices and delete all company information and accounts from any personal devices.

Clear Screen Clear Desk Policy

Users shall not leave confidential materials unsecured on their desk or workspace, and will ensure that screens are locked when not in use.

Remote Access Policy

Laptops and other computer resources that are used to access the CloudCard network must conform to the security requirements outlined in CloudCard’s Information Security Policies and adhere to the following standards:

  • To ensure mobile devices do not connect a compromised device to the company network, Antivirus policies require the use and enforcement of client-side antivirus software.

  • Antivirus software must be configured to detect and prevent or quarantine malicious software, perform periodic system scans, and have automatic updates enabled.

  • Users must not connect to any outside network without a secure, up-to-date software firewall configured on the mobile computer.

  • Users are prohibited from changing or disabling any organizational security controls such as personal firewalls, antivirus software on systems used to access CloudCard resources.

  • Use of remote access software and/or services is allowable as long as Transport Layer Security (TLS or SSL) is used to encrypt the communication of the tool. This includes, but is not limited to, RDP, SSH, database connections, and web applications. For websites, ensure the URL contains https and that the lock icon in the browser bar is green.

  • Unauthorized remote access technologies may not be used or installed on any CloudCard system.

  • Users should avoid use of public Wi-Fi (e.g. coffee shop, hotel) for any CloudCard business, and should instead use a personal or CloudCard owned mobile hotspot. In situations where public Wi-Fi use is necessary, the same remote access precautions should be followed.

  • Users must not access CloudCard resources from a public computer (e.g., from a business center, hotel, etc.). Contact security or your supervisor if you are unable to reach your CloudCard issued laptop and have a business need to do so.

Acceptable Use Policy

CloudCard proprietary and customer information stored on electronic and computing devices, whether owned or leased by CloudCard, the employee or a third party, remains the sole property of CloudCard for the purposes of this policy. Employees and contractors must ensure through legal or technical means that proprietary information is protected in accordance with the Data Management Policy. The use of Google Drive for business file storage is required for all users. All CloudCard documents that are not private should be stored in the appropriate shared folder in Google Drive - this is our primary backup strategy for user laptops. All code should be stored in Bitbucket or GitHub - this is our primary backup strategy for source code.

You have a responsibility to promptly report the theft, loss, or unauthorized disclosure of CloudCard proprietary information or equipment. You may access, use or share CloudCard proprietary information only to the extent it is authorized and necessary to fulfill your assigned job duties. Employees are responsible for exercising good judgment regarding the reasonableness of personal use of company-provided devices.

For security and network maintenance purposes, authorized individuals within CloudCard may monitor equipment, systems and network traffic at any time.

CloudCard reserves the right to audit networks and systems on a periodic basis to ensure compliance with this policy.

Unacceptable Use

The following activities are, in general, prohibited. Employees may be exempted from these restrictions during the course of their legitimate job responsibilities with properly documented Management approval. Under no circumstances is an employee of CloudCard authorized to engage in any activity that is illegal under local, state, federal or international law while utilizing CloudCard-owned resources or while representing CloudCard in any capacity. The list below is not exhaustive, but attempts to provide a framework for activities which fall into the category of unacceptable use.

The following activities are strictly prohibited, with no exceptions:

  1. Violations of the rights of any person or company protected by copyright, trade secret, patent, or other intellectual property, or similar laws or regulations, including, but not limited to, the installation or distribution of "pirated" or other software products that are not appropriately licensed for use by CloudCard

  2. Unauthorized copying of copyrighted material including, but not limited to, digitization and distribution of photographs from magazines, books, or other copyrighted sources, copyrighted music, and the installation of any copyrighted software for which CloudCard or the end user does not have an active license

  3. Accessing data, a server, or an account for any purpose other than conducting CloudCard business, even if you have authorized access, is prohibited

  4. Exporting software, technical information, encryption software, or technology, in violation of international or regional export control laws, is illegal. The appropriate management shall be consulted prior to export of any material that is in question

  5. Introduction of malicious programs into the network or systems (e.g., viruses, worms, Trojan horses, email bombs, etc.)

  6. Revealing your account password to others or allowing use of your account by others. This includes family and other household members when work is being done at home

  7. Using a CloudCard computing asset to actively engage in procuring or transmitting material that is in violation of sexual harassment or hostile workplace laws

  8. Making fraudulent offers of products, items, or services originating from any CloudCard account

  9. Making statements about warranty, expressly or implied, unless it is a part of normal job duties

  10. Effecting security breaches or disruptions of network communication. Security breaches include, but are not limited to, accessing data of which the employee is not an intended recipient, or logging into a server or account that the employee is not expressly authorized to access, unless these duties are within the scope of regular duties. For purposes of this section, "disruption" includes, but is not limited to, network sniffing, pinged floods, packet spoofing, denial of service, and forged routing information for malicious purposes

  11. Port scanning or security scanning is expressly prohibited unless prior notification to the CloudCard engineering team is made

  12. Executing any form of network monitoring which will intercept data not intended for the employee's host, unless this activity is a part of the employee's normal job/duty

  13. Circumventing user authentication or security of any host, network, or account

  14. Introducing honeypots, honeynets, or similar technology on the CloudCard network.

  15. Interfering with or denying service to any user other than the employee's host (for example, denial of service attack)

  16. Using any program/script/command, or sending messages of any kind, with the intent to interfere with, or disable, a user's session, via any means

  17. Providing information about, or lists of: CloudCard employees, contractors, partners, or customers to parties outside CloudCard without authorization

Email and Communication Activities

When using company resources to access and use the Internet, users must realize they represent the company and act accordingly.

The following activities are strictly prohibited, with no exceptions:

  1. Sending unsolicited email messages, including the sending of "junk mail", or other advertising material to individuals who did not specifically request such material (email spam)

  2. Any form of harassment via email, telephone, or texting, whether through language, frequency, or size of messages

  3. Unauthorized use, or forging, of email header information

  4. Solicitation of email for any other email address, other than that of the poster's account, with the intent to harass or to collect replies

  5. Creating or forwarding "chain letters", "Ponzi", or other "pyramid" schemes of any type

  6. Use of unsolicited email originating from within CloudCard networks or other service providers on behalf of, or to advertise, any service hosted by CloudCard or connected via CloudCard’s network

Additional Policies and Procedures Incorporated by Reference

Personnel are responsible for reading and complying with all policies relevant to their roles and responsibilities.

Policy

Purpose

Access Control Policy

To limit access to information and information processing systems, networks, and facilities to authorized parties in accordance with business objectives.

Asset Management Policy

To identify organizational assets and define appropriate protection responsibilities.

Business Continuity & Disaster Recovery Plan

To prepare CloudCard in the event of extended service outages caused by factors beyond our control (e.g., natural disasters, man-made events), and to restore services to the widest extent possible in a minimum time frame.

Cryptography Policy

To ensure proper and effective use of cryptography to protect the confidentiality, authenticity and/or integrity of information.

Data Management Policy

To ensure that information is classified and protected in accordance with its importance to the organization.

Human Resource Security Policy

To ensure that employees and contractors meet security requirements, understand their responsibilities, and are suitable for their roles.

Incident Response Plan

Policy and procedures for suspected or confirmed information security incidents.

Information Security Roles and Responsibilities

Establishes the roles and responsibilities that ensure effective communication of information security policies and standards.

Operations Security Policy

To ensure the correct and secure operation of information processing systems and facilities.

Physical Security Policy

To prevent unauthorized physical access or damage to the organization’s information and information processing facilities.

Risk Management Policy

To define the process for assessing and managing CloudCard’s information security risks in order to achieve the company’s business and information security objectives.

Secure Development Policy

To ensure that information security is designed and implemented within the development lifecycle for applications and information systems.

Third-Party Management Policy

To ensure protection of the organization's data and assets that are shared with, accessible to, or managed by suppliers, including external parties or third-party organizations such as service providers, vendors, and customers, and to maintain an agreed level of information security and service delivery in line with supplier agreements.

Policy Compliance

CloudCard will measure and verify compliance to this policy through various methods, including but not limited to ongoing monitoring, and both internal and external audits.

Exceptions

Requests for an exception to this policy must be submitted to the Director of Security (security@cloudcard.us) for approval.

Violations & Enforcement

Any known violations of this policy should be reported to the Director of Security (security@cloudcard.us) . Violations of this policy can result in immediate withdrawal or suspension of system and network privileges and/or disciplinary action in accordance with company procedures up to and including termination of employment.

Amazon Web Services

CloudCard uses Amazon Web Services (“AWS”) to deliver a premium software as a service experience to its customers. AWS built their entire product suite with security as the highest priority. All of the servers used by CloudCard are hosted in secure AWS facilities, which means that certain compliance and security policies and practices are provided by AWS. AWS follows a shared responsibility model (see https://aws.amazon.com/compliance/shared-responsibility-model/), in which AWS is responsible for the security “Of” the cloud infrastructure, while CloudCard is responsible for security and compliance of our resources “In” the cloud. As a result, CloudCard maintains security policies and procedures that apply to resources we establish in the cloud, and will refer to AWS’s security and compliance certifications (see https://aws.amazon.com/security/), practices and policies where appropriate (security of the underlying cloud infrastructure that CloudCard leverages). CloudCard takes every reasonable measure to follow the configuration best practices, set forth by AWS, for their products and services.

Version

Date

Description

Author

Approved by

1.0

2023-03-15

Conversion to SOC Compliant Template

Ryan Heathcote

Luke Rettstatt

...