Security Incident and Breach Response Procedures
The purpose of this document is to outline ITS's general approach to dealing with security incidents relating to, or affecting, Carleton's network and computing environment. It is not intended as a comprehensive framework along the lines of ISO/IEC 27035, but rather as 1) a framework for helping clients understand what is happening, and 2) a template we can look to internally for guidance, in the heat of the moment, in case of a security incident.
This document also outlines our specific response steps where personally identifiable or otherwise very sensitive information has been disclosed.
Motivation
Maintaining Carleton's network and overall computing environment has become, increasingly, a cybersecurity challenge. 2017, in particular, was a bad year for for cybersecurity. 2017 saw a number of highly publicized breaches, like the Equifax hack, as well as new vulnerabilities on computer processors (Spectre and Meltdown), and the rise of ransomware. In response to these security challenges, ITS has taken steps to improve our ability to monitor our network, detect anomalies, and mitigate vulnerabilities (or outright compromises) when discovered.
This document is concerned, in particular, with mitigation, that is, with ITS's response when a vulnerability or compromise has been discovered. There is also a detailed section outlining what actions we will take if we determine that personally identifiable or otherwise very sensitive information has been disclosed.
By "vulnerability" we mean an operating state that could allow malicious parties to perform unauthorized actions, for example, an unpatched/un-updated Windows desktop that could be subverted and used as platform for bitcoin mining, spamming, or monitoring of other network traffic to facilitate additional unauthorized actions. By "compromise" we mean an actual breach, that is, a circumvention of our normal operations by a malicious party that presents an immediate reputational and/or financial risk to the college.
A breach could be something as minor as, for example, the theft of user credentials, allowing unauthorized parties to assume the identity of a Carleton user. A breach could also be something as significant as exfiltration of a large amount of sensitive data, or outright theft/ransom of an entire administrative database.
Detection
Detection of anomalous or unauthorized activity in Carleton's computing environment that presents either a reputational or financial risk to the college may come to ITS through a variety of channels, including
- User reports
- Automated alerts
- Semi-automated scanning (for example, when we have reason to suspect a problem exists)
- Analysis of log data by security staff
Risk Assessment
Once a problem has been identified, we assess. In complex cases, we may engage third parties, for example, cybersecurity firms with expertise in the area where we've experienced a compromise.
Investigation and assessment can be difficult and it is sometimes intrusive. It may require careful examination of things like activity logs and email. In general, ITS takes the privacy of the Carleton community very seriously and will only examine and analyze what is strictly needed in order to assess the full extent of a threat that's been identified. Furthermore, the smallest possible group of people will conduct such investigations. And they will not communicate any findings relating to individual user actions other than those strictly relevant to the investigation they are performing. Our goal is to to limit risk and damage, and to protect the campus from the normal threats that all networked computing environments are subject to.
Ultimately, in any given case, we want to reach a point where we understand our risk.
- How immediate is the threat?
- Is the threat potential (a "vulnerability"), or are we looking at an actual breach?
- If the threat is potential, what is its CVS score? How are other schools/businesses addressing the risk? What actions do our software vendors recommend?
- What is the actual (and potential) financial risk to the college?
- Who is affected?
- A single person or device?
- A few people (like a small department) or small number of devices?
- A large number of people or devices, possibly the entire college?
- Internal or external users?
Mitigation
Once affected people and systems have been assessed, ITS will assign appropriate resources, which may include
- Helpdesk staff
- Desktop experts
- Systems or application administrators
- ITS leadership
- Campus leadership
- External parties (law enforcement, forensics experts, auditors); see below on PII disclosure response
Action we may take to mitigate vulnerabilities and breaches may take a variety of forms, such as
- Temporarily locking a user's account, to limit damage to their personal information and resources
- Locking multiple accounts to prevent damage from spreading to new accounts or devices
- Taking one or more devices physically (or virtually, via software) off the network, to prevent intrusion
- Removing unauthorized software ("malware")
- Reimaging/rebuilding affected machines, resetting them to a "known good" state
- Requesting that a user, or set of similar users, update software, in order to secure a device they are responsible for
- See also PII disclosure response procedure below
Response in Case of Personally Identifiable Information (PII) Disclosure
When sensitive PII is involved, Carleton's response, once we have discovered a breach, is necessarily more formal. ITS will:
- Remove or isolate the affected system(s) from the network
- Notify the Chief Technical Officer, or, if unavailable, the Director of Technology Support
- Notify senior Carleton College executives, at minimum the President and Treasurer, and provide ongoing impact assessments to their offices
- Notify local law enforcement and contact the local office of the FBI or the U.S. Secret Service
- Assemble an initial internal forensics team; start the process of engaging external forensics experts, if needed
- Determine whether the system(s) should be shut down (doing this can wipe out evidence and should be avoided initially)
- Attempt to preserve all evidence, including SIEM and firewall logs, backups, snapshots, and other internal (OS) and external monitoring logs, without altering the system itself (root/admin logins should be avoided)
- Document everything we do, including dates, times, and individuals involved
With respect to notification, a number of laws will guide our response.
At the Minnesota state level, Minnesota Statute 325E.61 requires entities that conduct business in Minnesota, and that own or license personal information, to notify residents of Minnesota without unreasonable delay of any data breach that results or could result in the unauthorized acquisition of their unencrypted personal information. Substitute notice is permitted in specific circumstances and notification may be delayed for law enforcement purposes. If more than 500 individuals have to be notified of a breach, we must also notify all consumer reporting agencies that compile and maintain files on consumers on a nationwide basis, as defined in 15 USC Section 1681a(p), within 48 hours.
At the US federal level, insofar as we maintain health data subject to HIPAA, we must notify affected parties of breaches. Federal laws are evolving in this area and changing.
At the international level, the GDPR article 33 mandates that, “in the case of a personal data breach, data controllers shall without undue delay” notify the appropriate regulator of the breach. Article 33 goes on to state that, where feasible, this notification should take place no later than 72 hours after the breached party has become aware of the incident.
Persuant to these and other emerging regulations, Carleton will, in the event of a PII breach,
- Set up a website relating to the incident
- Send a notification email to affected parties outlining the breach, their risk, and next steps, as well as linking to the website, within 72 hours of the incident, if feasible
- Send followup paper notifications to the same, where possible
- In general, provide any information, mitigation, or remedies mandated by law and/or by senior officers of the college