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Key Points
On Wednesday, May 12, 2021, President Biden issued EO 14,028, Improving the Nation s
Cybersecurity. The EO sets out an ambitious schedule of
reviews and rulemakings that portend significant changes in the
software and cybersecurity industries, particularly for government
contractors and cybersecurity and software solution providers. In
the view of the administration, these changes should be regarded as
the new normal of what will be considered reasonable
cyber and supply chain security practices applicable to the
government and potentially the private sector in other
industries and sectors.
Most importantly, the EO sets in motion a series of reviews and
rulemakings around two initiatives that will directly affect
On May 12, 2021, President Biden issued an executive order entitled
Improving the Nation’s Cybersecurity (EO). The EO was released only days after the cyberattack impacting Colonial Pipeline, and several months following discovery of the penetration of various federal agencies as a result of the Solar Winds cyber breach by Russian hackers in 2019. The 34-page EO calls for broad and ambitious changes intended to improve Federal Information System cybersecurity, and the prevention, detection, assessment, and remediation of cyber incidents that pose a risk to national and economic security. Many of the changes contemplated by the EO could have significant impacts on contractors doing business the with federal government, and greatly increase their reporting responsibilities and cybersecurity obligations. This GT Alert provides an overview of the key policies, goals, and requirements contained in the EO.
Key Points
On Wednesday, May 12, 2021, President Biden issued EO 14,028, “Improving the Nation’s Cybersecurity.” The EO sets out an ambitious schedule of reviews and rulemakings that portend significant changes in the software and cybersecurity industries, particularly for government contractors and cybersecurity and software solution providers. In the view of the administration, these changes should be regarded as the new normal of what will be considered “reasonable” cyber and supply chain security practices applicable to the government and potentially the private sector in other industries and sectors.
Most importantly, the EO sets in motion a series of reviews and rulemakings around two initiatives that will directly affect certain government contractors and those who sell software and related services to U.S. federal agencies: enhancing and expanding cyber and supply chain incident reporting and threat information sharing (Section 2); and creating and enforcing softw