January 23, 2018
Webinar Series: Purple Teaming - Validating Detection & Response Capabilities
What the security community says about a specific industry vertical usually holds true for a good percentage of what is seen in the wild. You can ask any hacker, defender, CISO, etc what industries struggle the most and there are common themes in their answers. Top of the list includes healthcare, manufacturing, government, and financial. Some of the most heavily compliance controlled and regulated are also some of the least secure. Why is this? Is it due to administrators and senior management taking compliance standards as gospel? Maybe it’s a lack of knowledgeable staff like the blind leading the blind.
Rapid technology growth in the healthcare space definitely has not helped. Decision makers are slowly working security practices into business initiatives, but that doesn’t account for all of the security debt that has built up in this technology boom. So now what? How can business work to quickly protect their customer’s data, their own data, their products, while still doing what they do best? Do not fall into the habit of performing tasks, going through routines, or completing configuration with the mindset of “This is how we’ve always done it.” That type of mindset will only hinder progress and decrease security posture in the long run.
Humans are allergic to change. They love to say, “We’ve always done it this way.” I try to fight that. That’s why I have a clock on my wall that runs counter-clockwise.” — Grace Hopper, “The Wit and Wisdom of Grace Hopper” (1987)
The requirement to comply with one standard or the next does provide a few benefits to your organization. Certain standards leave significant room for interpretation, giving you the ability to tie security measures that should be implemented to a portion of that same standard. When compliance is involved there are now social, political, and legal components added that can be leveraged to implement security controls and process changes that may not have been possible otherwise. It also may present the opportunity to piggyback off another department that has excess budget for a project. The Health Insurance Portability & Accountability Act (HIPAA) was enacted in 1996 as law and establishes national standards for electronic healthcare records. It includes any organization that stores or processes ePHI (Electronic Protected Health Information) healthcare providers, health plans, and clearinghouses. There are fifty “implementation specifications,” divided into administrative, physical, and technical safeguards. Most specifications listed involve having policies and procedures in place. Addressable specifications involve performing a “risk assessment” and then taking steps to mitigate the risks in a way that’s appropriate for your organization. One of the largest HIPAA penalties against a small organization was levied not because an event occurred, but because the organization failed to address the possibility. Loss of ePHI can cause significant harm to not only the patients whose data has been compromised, but also the provider and individuals at fault as they are required to report violations to the US Department of Health and Human Services (HHS), the Federal Trade Commission (FTC), and are susceptible to extremely large fines and jail time. The HHS provides a breakdown of each portion of the security rule portion of HIPAA and assistance with the implementation of the security standards.
HIPAA has been put in place as law as a standard of compliance. It has *not* been put into law as an exact roadmap to secure infrastructure. It is a guarantee that with a secure infrastructure, compliance will follow. For example, the HHS points outFour implementation specifications are associated with the Access Controls standard.
While both 3 and 4 are both addressable, they are not a requirement, rather you're permitted to have a compensating control, or documentation on why you can not meet them. Doing that as opposed to implementing them, would be akin to "accepting risk" on something you shouldn't be accepting risk on. Not only are there some items that aren’t specific requirements, but the documentation also leaves a lot of room for interpretation. Security practitioners will often look down on HIPAA as a standard. However every environment is different, so there is no standard or guidelines out there that are going to be the “end all, be all” answer. HIPAA can definitely be incorporated into a security architecture plan that includes in-depth knowledge and strategy, so can most other compliance standards. By using it as a guideline to implement a proper design both compliance and security can be achieved.
Malicious attackers are using multiple vectors including exploiting vulnerabilities in medical devices and printers. Networked medical devices represent a significant security challenge for hospitals, because their IT teams cannot upgrade the underlying operating system and third party applications embedded into these devices. Many medical devices using older versions of Windows and Linux have known security vulnerabilities and are at risk of malware contamination. The vendors supplying these devices sometimes will not allow them to be updated, or have their own remote process and procedure to do any type of update at all. When a third party vendor comes in to show off their new product, here are a few questions that should be asked prior to any purchasing decisions being made as well as a general secure answer.
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