by Bryan Cave LLP
At the end of 2015, the US Department of Defense (DoD) issued a second interim rule, effective immediately, modifying cyber security control requirements it issued earlier in 2015. In particular, this second interim rule (1) grants affected contractors additional time to implement fully compliant cyber security controls, and (2) clarifies certain subcontractor flowdown requirements.
Read more here – http://www.lexology.com/library/detail.aspx?g=916cfd16-c512-40e0-a10f-b3fb7fc3e568
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