Information Security: Department of Health and Human Services
Needs to Fully Implement Its Program (24-FEB-06, GAO-06-267).
The Department of Health and Human Services (HHS) is the nation's
largest health insurer and the largest grant-making agency in the
federal government. HHS programs impact all Americans, whether
through direct services, scientific advances, or information that
helps them choose medical care, medicine, or even food. For
example, the Centers for Medicare & Medicaid Services (CMS), a
major operating division within HHS, is responsible for the
Medicare and Medicaid programs that provide care to about one in
every four Americans. In carrying out their responsibilities,
both HHS and CMS rely extensively on networked information
systems containing sensitive medical and financial information.
GAO was asked to assess the effectiveness of HHS's information
security program, with emphasis on CMS, in protecting the
confidentiality, integrity, and availability of its information
and information systems.
-------------------------Indexing Terms-------------------------
REPORTNUM: GAO-06-267
ACCNO: A47817
TITLE: Information Security: Department of Health and Human
Services Needs to Fully Implement Its Program
DATE: 02/24/2006
SUBJECT: Computer networks
Confidential information
Data integrity
Information security
Information security management
Internal controls
Medical information systems
Security policies
System vulnerabilities
Systems evaluation
Unauthorized access
Policies and procedures
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GAO-06-267
* Report to the Chairman, Committee on Finance, U.S. Senate
* February 2006
* INFORMATION SECURITY
* Department of Health and Human Services Needs to Fully Implement
Its Program
* Contents
* Results in Brief
* Background
* Weak Controls and Incomplete Implementation Compromise
Effectiveness of HHS's Information Security Program
* Electronic Access Controls Are Inadequate
* Network Management
* User Accounts and Passwords
* User Rights and File Permissions
* Auditing and Monitoring of Security-Related Events
* Other Information System Controls Are Ineffective
* Physical Security
* Background Investigations
* Segregation of Duties
* Application Change Controls
* Information Security Program Is Not Yet Fully Implemented
* Risk Assessments
* Policies and Procedures
* Security Plans
* Awareness and Security Training
* Tests and Evaluations
* Remedial Actions
* Incident Handling
* Continuity of Operations
* Conclusions
* Recommendations for Executive Action
* Agency Comments and Our Evaluation
* Objective, Scope, and Methodology
* Comments from the Department of Health and Human Services
* HHS Operating Divisions
* GAO Contact and Staff Acknowledgments
Report to the Chairman, Committee on Finance, U.S. Senate
February 2006
INFORMATION SECURITY
Department of Health and Human Services Needs to Fully Implement Its
Program
Contents
Table
Figure
February 24, 2006Letter
The Honorable Charles E. Grassley Chairman Committee on Finance United
States Senate
Dear Mr. Chairman:
The Department of Health and Human Services (HHS) is the nation's largest
health insurer and the largest grant-making agency in the federal
government. The department protects and promotes the health and well-being
of all Americans and provides world leadership in biomedical and public
health sciences. The programs of the department impact all Americans,
whether through direct services, scientific advances, or information that
helps them choose medical care, medicine, or even food. For example, the
Centers for Medicare & Medicaid Services (CMS), a major operating division
within HHS responsible for the Medicare and Medicaid programs, oversees
the nation's largest health insurance programs, which provide care to
about one in every four Americans.
HHS relies on automated information systems and interconnected networks to
process and pay medical claims; conduct medical research; manage its wide
spectrum of health, disease prevention, and food and safety programs; and
support its departmentwide financial and management functions. Effective
information security controls are essential for ensuring that information
technology resources are adequately protected from inadvertent or
deliberate misuse, fraudulent use, or destruction. Interruptions in HHS's
financial and information management systems could have a significant
adverse affect on the health, welfare, and mental well-being of millions
of American citizens who depend on its services.
At your request, we assessed the effectiveness of the HHS information
security program, particularly at CMS, in protecting the confidentiality,
integrity, and availability of its information and information systems. To
accomplish this objective, we evaluated the effectiveness of HHS's
information security controls, and whether HHS had developed, documented,
and implemented a departmentwide information security program consistent
with federal laws and policies. To supplement our work, we analyzed 74
information security-related reports issued during 2004 and 2005 by HHS,
its Office of the Inspector General (OIG), and independent auditors. This
review was performed from June through December 2005 in accordance with
generally accepted government auditing standards. For further information
about our objective, scope, and methodology, refer to appendix I.
Results in Brief
Significant weaknesses in information security controls at HHS and at CMS
in particular put at risk the confidentiality, integrity, and availability
of their sensitive information and information systems. HHS has not
consistently implemented effective electronic access controls designed to
prevent, limit, and detect unauthorized access to sensitive financial and
medical information at its operating divisions and contractor-owned
facilities. Numerous electronic access control vulnerabilities related to
network management, user accounts and passwords, user rights and file
permissions, and auditing and monitoring of security-related events exist
in its computer networks and systems. In addition, weaknesses exist in
controls designed to physically secure computer resources, conduct
suitable background investigations, segregate duties appropriately, and
prevent unauthorized changes to application software. These weaknesses
increase the risk that unauthorized individuals can gain access to HHS
information systems and inadvertently or deliberately disclose, modify, or
destroy the sensitive medical and financial data that the department
relies on to deliver its vital services.
A key reason for these weaknesses is that the department has not yet fully
implemented its information security program. HHS has laid the foundation
for an effective information security program by developing written
policies and guiding procedures that designate responsibility for
implementation throughout the department. However, it has not yet fully
implemented key elements of the program. Specifically, its operating
divisions have not fully implemented elements related to (1) risk
assessments, (2) policies and procedures, (3) security plans, (4) security
awareness and training, (5) tests and evaluations of control
effectiveness, (6) remedial actions, (7) incident handling, and (8)
continuity of operations plans. Without a fully implemented program,
security controls may remain inadequate or inconsistently applied and
responsibilities may be unclear, misunderstood, or improperly implemented.
This may lead to insufficient protection of sensitive or critical
resources, and disproportionately high expenditures on controls over
low-risk resources.
In reports by the HHS OIG and other independent auditors, specific
recommendations were made to the department to remedy identified
information security control weaknesses. In this report, we are
recommending that the Secretary of Health and Human Services direct the
HHS Chief Information Officer (CIO) to take steps to ensure full
implementation of its information security program across all HHS
operating divisions.
In commenting on a draft of this report, HHS supported our emphasis on
improvements needed in key information security program elements, but did
not believe that the report sufficiently reflected the progress that the
department has made in addressing information security. We acknowledge in
the report that HHS has made progress in correcting its information
security control weaknesses and has begun to implement the foundation for
an effective information security program. HHS also provided specific
technical comments, which we have incorporated, as appropriate, in the
report.
Background
HHS is the federal government's principal agency responsible for
protecting the health of all Americans and providing essential human
services, especially for those who are least able to help themselves. The
department manages more than 300 programs covering a wide spectrum of
activities that include health and social science research, disease
prevention, food and drug safety, health information technology, health
insurance for elderly and disabled Americans (Medicare), health insurance
for low-income people (Medicaid), and comprehensive health services for
Native Americans. Other services provided by the department include
financial assistance to low-income families, pre-school education programs
such as Head Start, child abuse and domestic violence programs, substance
abuse treatment and prevention programs, and programs to help older
Americans, such as providing home-delivered meals.
HHS has 14 operating divisions (see app. III for a description of each
division) to manage its programs and administered more grant dollars than
all other federal agencies combined. HHS employs about 67,000 employees
and is responsible for managing a fiscal year 2005 budget of approximately
$581 billion. Each year HHS handles more than a billion health care
claims, supports over 38,000 research projects focusing on diseases,
provides funding to treat more than 650,000 persons with serious substance
abuse or mental health problems, and serves more than 900,000 pre-school
children.
The Centers for Medicare & Medicaid Services (CMS) is an HHS operating
division responsible for administering two major health programs. It
administers the Medicare program, the nation's largest health insurance
program, which covers more than 42 million Americans. This program was
enacted to extend affordable health insurance coverage to the elderly and
was later expanded to cover the disabled. In partnership with the states,
CMS also administers Medicaid, a means-tested health care program for
low-income Americans. Medicaid is the primary source of health care for a
large population of medically vulnerable Americans, including poor
families, the disabled, and persons with developmental disabilities
requiring long-term care. In coordination with the Medicaid program, the
State Children's Health Insurance Program provides health care coverage
for children. CMS employs about 4,900 employees and has a fiscal year 2005
budget of approximately $480 billion or 83 percent of the HHS budget, as
shown in figure 1.
Figure 1: HHS Fiscal Year 2005 Budget
HHS relies extensively on computerized systems to support its mission
critical operations and store the sensitive information it collects. It
uses these systems to support the department's financial and management
functions, maintain sensitive employee personnel information, and process
financial and medical data for millions of health care recipients. Its
local and wide area networks interconnect these systems. In addition, HHS
relies on contractor-owned systems to process departmental information and
support its mission. For fiscal year 2005, HHS planned to spend nearly $5
billion on information technology-more than any other federal agency
except the Department of Defense. A significant amount of these funds will
be spent to facilitate the processing and payment of Medicare claims
processed by CMS or its Medicare contractors.
Information system controls are a critical consideration for any
organization that depends on computerized systems and networks to carry
out its mission or business. Without proper safeguards, there is risk that
individuals and groups with malicious intent may intrude into inadequately
protected systems and use this access to obtain sensitive information,
commit fraud, disrupt operations, or launch attacks against other computer
systems and networks.
In December 2002, Congress enacted the Federal Information Security
Management Act of 2002 (FISMA)1 to strengthen security of information and
information systems within federal agencies. FISMA requires each agency to
develop, document, and implement an agencywide information security
program to provide information security for the information and systems
that support the operations and assets of the agency, including those
provided or managed by another agency, contractor, or other source. In
addition, FISMA provides that the Secretary of HHS is responsible for,
among other things, (1) providing information security protections
commensurate with the risk and magnitude of the harm resulting from
unauthorized access, use, disclosure, disruption, modification, or
destruction of the agency's information systems and information; (2)
ensuring that senior agency officials provide information security for the
information and information systems that support the operations and assets
under their control; and (3) delegating to the agency CIO the authority to
ensure compliance with the requirements imposed on the agency under the
act.
HHS's CIO is responsible for developing, promoting, and coordinating the
departmentwide information security program; developing, promulgating, and
enforcing department information resource management policies, standards,
and guidelines; and appointing the HHS chief information security officer.
Each operating division, including CMS, is responsible for complying with
the requirements of FISMA and departmentwide security-related policies,
procedures, and standards; reporting on the effectiveness of its
information security program; and ensuring that information systems
operated by or on its behalf by contractors provide adequate risk-based
security safeguards.
Weak Controls and Incomplete Implementation Compromise Effectiveness of
HHS's Information Security Program
HHS and CMS in particular have significant weaknesses in electronic access
controls and other information system controls designed to protect the
confidentiality, integrity, and availability of information and
information systems. A key reason for these weaknesses is that the
department has not yet fully implemented a departmentwide information
security program. As a result, HHS's medical and financial information
systems are vulnerable to unauthorized access, use, modification, and
destruction that could disrupt the department's operations.
Electronic Access Controls Are Inadequate
A basic management objective for any organization is to protect the
resources that support its critical operations from unauthorized access.
Organizations accomplish this objective by designing and implementing
electronic controls that are intended to prevent, limit, and detect
unauthorized access to computing resources, programs, and information.
Inadequate electronic access controls diminish the reliability of
computerized information and increase the risk of unauthorized disclosure,
modification, and destruction of sensitive information and disruption of
service. Electronic access controls include those related to network
management, user accounts and passwords, user rights and file permissions,
and auditing and monitoring of security-related events. Our analysis of
reports issued by the OIG and independent auditors disclosed that HHS did
not consistently implement effective electronic access controls in each of
these areas.
Network Management
Networks are collections of interconnected computer systems and devices
that allow individuals to share resources such as computer programs and
information. Because sensitive programs and information are stored on or
transmitted along networks, effectively securing networks is essential to
protecting computing resources and data from unauthorized access,
manipulation, and use. Organizations secure their networks, in part, by
installing and configuring network devices that permit authorized network
service requests, deny unauthorized requests, and limit the services that
are available on the network. Devices used to secure networks include
(1) firewalls that prevent unauthorized access to the network, (2) routers
that filter and forward data along the network, (3) switches that forward
information among segments of a network, and (4) servers that host
applications and data. Network services consist of protocols for
transmitting data between network devices.
Insecurely configured network services and devices, including those
without current software patches, can make a system vulnerable to internal
or external threats, such as denial-of-service attacks.2 Because networks
often include both external and internal access points for electronic
information assets, failure to adequately secure these access points
increases the risk of unauthorized disclosure and modification of
sensitive information or disruption of service. HHS policy requires that
all incoming and outgoing connections from departmental systems and
networks to the Internet, intranets,4 be made through a firewall and that
3 and extranetseffective technical controls be implemented to protect
computing resources connected to the network.
Our analysis found that HHS did not consistently configure network
services and devices securely to prevent unauthorized access to and ensure
the integrity of computer systems operating on its networks. The reports
we reviewed identified weaknesses in the way that HHS operating divisions
and contractors restricted network access, managed antivirus software,
configured network devices, and protected information traversing the HHS
networks. For example,
o System administrative access was not always adequately restricted, and
unnecessary services were available on several network devices, increasing
the risk that unauthorized individuals could gain access to the operating
system.
o Antivirus software was not always installed or up-to-date on the
operating divisions' and contractors' workstations, increasing the risk
that viruses could infect HHS systems and potentially disable or disrupt
system operations.
o Key network devices were not securely configured to prevent unauthorized
individuals from gaining access to sensitive system configuration files
and router access control lists. These weaknesses could allow an external
attacker to circumvent network controls and thereby gain unauthorized
access to the internal network.
o HHS did not encrypt certain information traversing its networks.
Instead, it used clear text protocols that make network traffic
susceptible to eavesdropping.
o HHS's operating divisions and contractors did not consistently patch
their computer systems and network devices in a timely manner. For
example, the OIG reported that approximately 25 percent (287 of 1,129) of
the systems tested at one operating division did not have up-to-date
patches installed on them. Thirty of the machines tested were missing nine
or more software patches that had been rated as critical by the vendor. At
another operating division, over 90 high-risk software patch management
vulnerabilities were outstanding from June 1999 through April 2005.
Failure to keep system patches up-to-date could lead to denial-of-service
attacks or to individuals gaining unauthorized access to network
resources. According to the HHS chief information security officer, a
patch management subcommittee was formed to address this issue and has
formulated and published an approach to the department's patch management
problems.
User Accounts and Passwords
A computer system must be able to identify and differentiate among users
so that activities on the system can be linked to specific individuals.
When an organization assigns unique user accounts to specific users, the
system is able to distinguish one user from another-a process called
identification. The system must also establish the validity of a user's
claimed identity by requesting some kind of information, such as a
password, that is known only by the user-a process known as
authentication. The combination of identification and authentication-such
as user account and password combinations-provides the basis for
establishing individual accountability and for controlling access to the
system. Accordingly, agencies (1) establish password parameters, such as
number of characters, type of characters, and the frequency with which
users should change their passwords, in order to strengthen the
effectiveness of passwords for authenticating the identity of users; (2)
require encryption for passwords to prevent their disclosure to
unauthorized individuals; and (3) implement procedures to control the use
of user accounts. HHS policy requires that all operating divisions
implement and enforce logical password controls for all departmental
systems and networks.
Our analysis of reported weaknesses showed that HHS did not adequately
control user accounts and passwords to ensure that only authorized
individuals were granted access to its systems. For example, the
department and its contractors did not always implement strong
passwords-using vendor-default or easy to guess passwords. Additionally,
o One CMS Medicare contractor set passwords to never expire for 28 service
accounts with powerful administrative privileges. As a result, an
unauthorized individual could use a compromised user identification and
password for an indefinite period to gain unauthorized access to server
resources.
o Firewall administrators for another CMS Medicare contractor used a
shared administrative account. As a result, the actions taken by these
individuals cannot be traced back to the responsible individual.
o The minimum password length on one operating division's local area
network was set to zero. Consequently, users could create short passwords.
Short passwords tend to be easier to guess or crack than longer passwords.
In addition, passwords on this local area network were not required to be
changed at initial logon.
Such weaknesses increase the risk that passwords may be disclosed to
unauthorized users and used to gain access to the system. They also
diminish the effectiveness of these controls for attributing system
activity to individuals. As a result, HHS may not be able to hold these
users individually accountable for system activity.
User Rights and File Permissions
The concept of "least privilege" is a basic underlying principle for
securing computer systems and data. It means that users are granted only
those access privileges needed to perform their official duties. To
restrict legitimate users' access to only those programs and files that
they need to do their work, organizations establish access rights and
permissions. "User rights" are allowable actions that can be assigned to
users or to groups of users. File and directory permissions are rules that
are associated with a particular file or directory and regulate which
users can access them and the extent of that access. To avoid
unintentionally giving users unnecessary access to sensitive files and
directories, an organization must give careful consideration to its
assignment of rights and permissions. HHS policy requires that access
privileges be granted to users at the minimum level required to perform
their job-related duties.
Our analysis of OIG reports showed that HHS granted access rights and
permissions that gave some users more access to departmental information
and medical systems than they needed to perform their jobs. For example,
the following vulnerabilities were identified:
o All users could access world-readable start up scripts and files on
several Medicare contractor systems. A malicious user could use this
information to increase their system privileges.
o Members of the "Everyone" group were granted access to sensitive Windows
directories, files, and registry settings, even though some did not have a
legitimate business need for this access.
o Twenty-two groups or users without a legitimate need could access and
update mainframe production data at one CMS Medicare contractor facility.
o Six of 15 employees reviewed at one operating division retained access
privileges to the local area network after their separation from the
department.
Inappropriate access to sensitive files and directories provides
opportunities for individuals to circumvent security controls to
deliberately or inadvertently read, modify, or delete critical or
sensitive information and computer programs.
Auditing and Monitoring of Security-Related Events
To establish individual accountability, monitor compliance with security
policies, and investigate security violations, it is crucial to determine
what, when, and by whom specific actions have been taken on a system.
Organizations accomplish this by implementing system or security software
that provides an audit trail that they can use to determine the source of
a transaction or attempted transaction and to monitor users' activities.
The way in which organizations configure system or security software
determines the nature and extent of information that can be provided by
the audit trail. To be effective, organizations should configure their
software to collect and maintain audit trails that are sufficient to track
security-related events. HHS policy requires that audit logging be enabled
for all departmental systems and networks so that security-related
events-the manipulation, modification, or deletion of data-can be
monitored and analyzed for unauthorized activity.
HHS has not consistently audited and monitored security-related system
activity on their systems. For example, the OIG reported that logging on
some UNIX systems was either disabled or configured to overwrite these
events, firewall and router logs were not routinely monitored, and
procedures for classifying and investigating security-related events had
not been documented at several HHS operating divisions and CMS Medicare
contractors. As a result, if a system was modified or disrupted, the
department's ability to trace or recreate events could be diminished. In
addition, these weaknesses could allow unauthorized access to go
undetected.
In response to weaknesses identified in electronic access controls, the
HHS chief information security officer indicated that significant progress
has been made in correcting these weaknesses and that preliminary results
of fiscal year 2005 audits, by independent auditors, show a reduction in
the number of weaknesses. In addition, the independent auditor of HHS's
financial statements for fiscal year 2005 reported that HHS had made
significant progress in strengthening system controls, although it
continued to identify general controls issues that represent significant
deficiencies in the design and operation of electronic access controls.
Other Information System Controls Are Ineffective
In addition to electronic access controls, other important controls should
be in place to ensure the confidentiality, integrity, and availability of
an organization's information and systems. These controls include
policies, procedures, and techniques to physically secure computer
resources, conduct appropriate background investigations, provide
sufficient segregation of duties, and prevent unauthorized changes to
application software. Our analysis of reports issued by the OIG and
independent auditors disclosed significant weaknesses in each of these
areas. These weaknesses increase the risk that unauthorized individuals
can gain access to HHS information systems and inadvertently or
deliberately disclose, modify, or destroy the sensitive medical and
financial data that the department relies on to deliver its vital
services.
Physical Security
Physical security controls are important for protecting computer
facilities and resources from espionage, sabotage, damage, and theft.
These controls restrict physical access to computer resources, usually by
limiting access to the buildings and rooms in which the resources are
housed and by periodically reviewing the access granted, in order to
ensure that access continues to be appropriate. HHS policy requires that
physical access to rooms, work areas and spaces, and facilities containing
departmental systems, networks, and data be limited to authorized
personnel; controls be in place for deterring, detecting, monitoring,
restricting, and regulating access to sensitive areas at all times; and
controls be commensurate with the level of risk and sufficient to
safeguard these resources against possible loss, theft,
destruction, accidental damage, hazardous conditions, fire, malicious
actions, and natural disasters.
Our analysis showed that HHS did not effectively implement physical
controls as the following examples illustrate:
o One CMS Medicare contractor used a privately owned vehicle and an
unlocked container to transport approximately 25,000 Medicare check
payments over a 1-year period.
o Four hundred forty individuals were granted unrestricted access to an
entire data center, including a sensitive area within the data
center-although their jobs functions did not require them to have such
access.
o Surveillance cameras used for monitoring a facility were not
functioning, leading to blind spots in the data center's perimeter
security.
o Three individuals with access to an operating division's data center did
not have management approval for such access.
These weaknesses in physical security increase the risk that unauthorized
individuals could gain access to sensitive computing resources and data
and inadvertently or deliberately misuse or destroy them.
Background Investigations
According to Office of Management and Budget (OMB) Circular A-130,5 it has
long been recognized that the greatest harm to computing resources has
been done by authorized individuals engaged in improper activities-whether
intentionally or accidentally. Personnel security controls (such as
screening individuals in positions of trust) are particularly important
where the risk and magnitude of potential harm is high. The National
Institute of Standards and Technology (NIST) guidelines suggest that
agencies determine the sensitivity of particular positions, based on such
factors as the type and degree of harm that the individual could cause by
misusing the computer system and on more traditional factors, such as
access to classified information and fiduciary responsibilities.
Background investigations help an organization to determine whether a
particular individual is suitable for a given position by attempting to
ascertain the person's trustworthiness and appropriateness for the
position. The exact type of screening that takes place depends on the
sensitivity of the position and any applicable regulations by which the
agency is bound.
HHS policy requires that all information security employees and contractor
personnel be designated with position-sensitivity levels that are
commensurate with the responsibilities and risks associated with their
position. In addition, it requires suitability background investigations
to be completed and favorably adjudicated for all personnel assigned to
these positions prior to allowing them access to sensitive HHS systems and
networks.
Our analysis of prior reports showed that background investigations were
not always performed. For example, 13 CMS Medicare contractors had
weaknesses in their background investigation policies and procedures. Six
of the contractors reviewed were not adhering to established policies,
while the remaining seven were not performing background investigations in
a consistent manner. In addition, one operating division was unable to
provide the background investigation status for any of the 49 contractor
personnel working at its data center or for any of the 28 contractor
personnel supporting one of its general support systems. Additionally,
background investigations at three operating divisions were considered
inadequate because they were not performed at the appropriate sensitivity
level. Granting people access to sensitive data without appropriate
background investigations increases the risk that unsuitable individuals
could gain access to sensitive information, use it inappropriately, or
destroy it.
Segregation of Duties
Segregation of duties refers to the policies, procedures, and
organizational structure that help ensure that no single individual can
independently control all key aspects of a process or computer-related
operation and thereby gain unauthorized access to assets or records. Often
segregation of duties is achieved by dividing responsibilities among two
or more individuals or organizational groups. This diminishes the
likelihood that errors and wrongful acts will go undetected, because the
activities of one individual or group will serve as a check on the
activities of the other. Inadequate segregation of duties increases the
risk that erroneous or fraudulent transactions could be processed,
improper program changes be implemented, and computer resources could be
damaged or destroyed. HHS policy requires operating divisions to ensure
that responsibilities with a security impact be shared among multiple
staff by enforcing the concept of separation of duties, which requires
that individuals do not have control of the entirety of a critical
process.
Our analysis of OIG reports showed that HHS did not always sufficiently
segregate computer functions. For example, some software developers had
full access to both development and production software libraries. To
illustrate, UNIX developers at one facility used a shared user account to
promote development changes into the production environment. In another
instance, two individuals with full access to development source code also
had update capabilities to production libraries. Consequently, increased
risk exists that these individuals could introduce software errors into
production or perform unauthorized system activities without being
detected.
Application Change Controls
It is important to ensure that only authorized and fully tested
application programs are placed into operation. To ensure that changes to
application programs are necessary, work as intended, and do not result in
the loss of data or program integrity, such changes should be documented,
authorized, tested, and independently reviewed. In addition, test
procedures should be established to ensure that only authorized changes
are made to the application's program code. HHS policy requires that
operating divisions establish, implement, and enforce change management
and configuration management controls on all departmental systems and
networks that process, store, or communicate sensitive information.
However, our analysis showed that HHS did not always document or control
changes to application programs as the following examples demonstrate:
o Authorization forms did not exist for each of the 21 application control
changes reviewed at one Medicare contractor facility. In addition, change
control procedures were out-of-date and did not reflect current process
and practice.
o Testing documentation at one operating division was not maintained for 4
of 15 change requests reviewed.
Without adequately documented or controlled application change control
procedures, changes may be implemented that are not authorized, tested, or
approved. Further, the lack of adequate controls place HHS at greater risk
that software supporting its missions will not produce reliable data or
effectively meet its business needs.
In response to weaknesses identified in other information security
controls, the HHS chief information security officer indicated that
significant progress has been made in correcting these weaknesses and that
preliminary results of fiscal year 2005 audits, by independent auditors,
show a reduction in the number of weaknesses. In addition, the independent
auditor of HHS's financial statements for fiscal year 2005 reported that
HHS had made significant progress in strengthening system controls,
although it continued to identify general controls issues that represent
significant deficiencies in the design and operation of key controls such
as physical access, system software, and application development and
program change controls.
Information Security Program Is Not Yet Fully Implemented
A key reason for the information security weaknesses identified at HHS was
that the department had not yet fully implemented its information security
program. A departmentwide security program provides a framework and
continuing cycle of activity for managing risk, developing security
policies, assigning responsibilities, and monitoring the adequacy of the
entity's computer-related controls. Without such a program, security
controls may be inadequate; responsibilities may be unclear,
misunderstood, and improperly implemented; and controls may be
inconsistently applied. Such conditions may lead to insufficient
protection of sensitive or critical resources and disproportionately high
expenditures for controls over low-risk resources.
FISMA6 requires each agency to develop, document, and implement an
information security program that includes the following key elements:
o periodic assessments of the risk and the magnitude of harm that could
result from the unauthorized access, use, disclosure, disruption,
modification, or destruction of information and information systems;
o policies and procedures that (1) are risk-based, (2) cost-effectively
reduce risks, (3) ensure that information security is addressed throughout
the life cycle of each system, and (4) ensure compliance with applicable
requirements;
o plans for providing adequate information security for networks,
facilities, and systems;
o security awareness training to inform personnel-including contractors
and other users of information systems-of information security risks and
of their responsibilities in complying with agency policies and
procedures;
o at least annual testing and evaluation of the effectiveness of
information security policies, procedures, and practices relating to
management, operational, and technical controls of every information
system identified in the agency's inventory;
o a process for planning, implementing, evaluating, and documenting
remedial action to address any deficiencies in its information security
policies, procedures, or practices;
o procedures for detecting, reporting, and responding to security
incidents; and
o plans and procedures to ensure continuity of operations for information
systems that support the operations and assets of the agency.
FISMA also requires each agency to (1) annually report to OMB, selected
congressional committees, and the Comptroller General on the adequacy of
information security policies, procedures, and practices and compliance
with requirements, and (2) its OIG or independent external auditor perform
an independent annual evaluation of the agency's information security
program and practices.
HHS has begun to implement the foundation for an effective information
security program through its Secure One initiative by developing and
documenting policies and procedures that designate implementation
responsibilities. For example, HHS information security program provides
baseline security policies and standards for the department. Operating
divisions are required to comply with departmental standards or develop
specific standards that exceed them. In addition, HHS uses an automated
security management tool to collect, analyze, and report FISMA data.
Similarly, CMS has made progress in developing and documenting its
information security policies and procedures.
Although HHS has made progress in developing and documenting a
departmentwide information security program, it has not fully implemented
the following key elements: risk assessments, policies and procedures,
system security planning, security and awareness training, periodic
testing and evaluation of controls, remedial action plans, incident
handling, and continuity of operations. These weaknesses limit HHS's
ability to protect the confidentiality, integrity, and availability of its
information and information systems.
Risk Assessments
Identifying and assessing information security risks are essential to
determining what controls are required. By increasing awareness of risks,
these assessments can generate support for the policies and controls that
are adopted. OMB Circular A-130, appendix III, prescribes that risk be
reassessed when significant changes are made to computerized systems-or at
least every 3 years, as does HHS policy. Consistent with NIST guidance,
HHS requires that risk assessments characterize the system, identify
information sensitivity and threats, determine the risk level of those
threats and corresponding vulnerabilities, and analyze the potential
business impact of exploited vulnerabilities.
HHS's performance in conducting risk assessments has varied across the
department. Our review of 10 CMS risk assessments found that they
generally complied with applicable federal and departmental guidance. By
contrast, two of the three Office of the Secretary risk assessments
reviewed did not fully address key elements. For example, the risk
assessments did not identify threat sources, threat actions, or risk
levels, as described in NIST SP 800-30.7 Nor did they detail whether or
not a business impact analysis had been completed. HHS's OIG also
identified weaknesses in the department's risk assessments. In its 2005
FISMA evaluation, the OIG reported that risk assessments had not been
performed on two major systems-one at the Administration for Children and
Families, and one at the Administration on Aging.
In response to these weaknesses identified in the department's information
security program, the HHS chief information security officer stated that
risk assessments are currently being tracked using the department's FISMA
data management tool, which compiles information security management data
for monitoring and review. All operating divisions are required to enter
their FISMA data into this automated tool so that it can be reviewed and
validated by the Secure One program staff. The combination of this tool
and feedback from the Secure One program is designed to improve the
completion rate and quality of risk assessments. The lack of or incomplete
risk assessments could result in HHS's systems having inadequate or
inappropriate security controls that might not address those systems' true
risk, and result in costly efforts to subsequently implement effective
controls.
Policies and Procedures
Another key task in implementing an effective information security program
is to develop and document risk-based policies, procedures, and technical
standards that govern security over an agency's computing environment. If
properly implemented, policies and procedures should help to
cost-effectively reduce the risk of unauthorized access, modification, and
destruction of information and systems. Technical security standards
should provide consistent implementing guidance for each computing
environment. Because security policies are the primary mechanism by which
management communicates its views and requirements, it is important to
develop and document them. FISMA requires each agency to develop minimally
acceptable system configuration requirements and ensure compliance with
them. Systems with secure configurations have less vulnerabilities and are
better able to thwart network attacks.
HHS has not developed departmentwide policies regarding minimally
acceptable configuration requirements. According to HHS's chief
information security officer, HHS has neither developed nor documented
such configuration requirements for its operating systems. The OIG
reported in its fiscal year 2005 FISMA evaluation that these requirements
were being maintained at the operating division level. In addition, the
OIG found that three of the six operating divisions had not implemented
minimum acceptable configuration requirements for their operating systems.
Without departmentwide policies for developing minimally acceptable
configuration requirements for its information systems, HHS may not be
able to cost-effectively reduce information security risks to an
acceptable level.
Security Plans
The objective of system security planning is to improve the protection of
information technology resources. A system security plan is to provide a
complete and up-to-date overview of the system's security requirements and
describe the controls that are in place or planned to meet those
requirements. FISMA requires that agency information security programs
include subordinate plans for providing adequate information security for
networks, facilities, and systems or groups of information systems, as
appropriate. OMB Circular A-130 specifies that agencies develop and
implement system security plans for major applications and for general
support systems and that these plans address policies and procedures for
providing management, operational, and technical controls. According to
NIST, security plans should include existing or planned security controls,
the individual responsible for the security of the system, a description
of the system and its interconnected environment, and rules of behavior.
HHS policy requires all of its operating divisions to develop and document
system security plans for all departmental systems and networks in
accordance with NIST guidance8 and to update such plans at least once
every 3 years or when significant changes occur to the system.
Our review found that HHS and CMS system security plans generally complied
with applicable federal and departmental guidance. We examined seven plans
and determined that they were up-to-date, addressed existing controls,
identified responsible security personnel, described the system and its
interconnections, and included rules of behavior. However, our analysis of
OIG reports found that security plans had not been completed for two major
systems-one at the Administration for Children and Families, and one at
the Administration on Aging. Until its operating divisions complete
security plans for all systems, HHS cannot ensure that appropriate
controls are in place to protect its systems and critical information.
Awareness and Security Training
Computer intrusions and security breakdowns often occur because computer
users fail to take appropriate security measures. For this reason, it is
vital that employees and contractors who use computer resources in their
day-to-day operations be made aware of the importance and sensitivity of
the information they handle, as well as the business and legal reasons for
maintaining its confidentiality, integrity, and availability. FISMA
requires that an information security program promote awareness and
provide training for users (federal employees and contractors) so that
they can understand the system security risks and their role in
implementing related policies and controls to mitigate those risks. HHS
policy requires the establishment of an annual security awareness training
program for all employees and contractors. In the event that a security
breach occurs, amply trained security personnel are vital to a timely and
appropriate response. Depending on an employee's specific security role,
specialized training could include training in incident detection
response, physical security, or firewall configuration. FISMA requires
agency chief information officers to ensure that personnel with
significant information security responsibilities receive specialized
security training. HHS policy also require specialized security education
and awareness training for all individuals with significant security
responsibilities.
Although the department has made progress in security awareness training,
the department had not provided adequate security training to employees
with significant security related responsibilities. In fiscal year 2005,
HHS reported that 98 percent of its employees, including contractors, had
received security awareness training. However, it reported that 32 percent
of its employees with significant security related responsibilities had
not received specialized security training. Conversely, CMS reported that
100 percent of its employees with significant security related
responsibilities had received such training. Without sufficiently trained
security personnel, security lapses are more likely to occur and could
contribute to information security weaknesses at HHS.
Tests and Evaluations
Another key element of an information security program is testing and
evaluating system controls to ensure that they are appropriate, effective,
and comply with policies. An effective program of ongoing tests and
evaluations can be used to identify and correct information security
weaknesses. This type of oversight demonstrates management's commitment to
the security program, reminds employees of their roles and
responsibilities, and identifies and mitigates areas of noncompliance and
ineffectiveness. Although control tests may encourage compliance with
security policies, the full benefits of testing are not achieved unless
the test results are analyzed by security specialists and business
managers and used as a means of identifying new problem areas, reassessing
the appropriateness of existing controls, and identifying the need for new
controls.
FISMA requires that agencies test and evaluate the information security
controls of their systems, and that the frequency of such tests be based
on risk, but occur no less than annually. HHS requires systems and
networks that contain sensitive or mission critical information to undergo
vulnerability scanning and/or penetration testing to identify security
threats at least annually or when significant changes are made to the
system or network. HHS also requires that a self-assessment be conducted
of all departmental systems and networks at least annually in accordance
with NIST SP 800-26.9 Consistent with FISMA provisions and HHS guidance,
CMS policy also requires periodic testing and evaluation of its
information systems' security controls.
Although HHS has initiatives under way to improve its testing and
evaluation of controls, it has not fully implemented an ongoing program of
tests and evaluations. Our analysis of the OIG's fiscal year 2005 FISMA
report found that several operating divisions had not tested and evaluated
security controls for all their systems. For example, three systems at
three different operating divisions had not undergone system testing and
evaluation. At another operating division, system tests and evaluations
for three of its six major applications had not been completed.
Without comprehensive tests and evaluations of security controls, HHS
cannot be assured that employees and contractors are complying with
established policies or those policies and controls are appropriate and
working as intended.
Remedial Actions
Remedial action plans, also known as plans of actions and milestones, can
assist agencies in identifying, assessing, prioritizing, and monitoring
progress in correcting security weaknesses in information systems.
According to OMB Circular A-123, agencies should take timely and effective
action to correct deficiencies that they have identified through a variety
of information sources. To accomplish this, remedial action plans should
be developed for each deficiency, and progress should be tracked for each.
In compliance with OMB policy, HHS requires the capture of all information
security program and system control weaknesses that require mitigation in
remedial action plans. In addition, HHS has provided information security
managers and system owners guidance for developing, maintaining, and
reporting their remedial action plans.
Our review of OIG reports on selected operating divisions identified
shortcomings in the HHS remedial action process. For example, the remedial
action plans for three operating divisions did not include weaknesses
previously identified in the operating divisions' risk assessments, OIG
audits, or other independent audits. Moreover, the remedial action plans
for four operating divisions contained overdue corrective action items and
lacked key corrective action information, such as the risk level assigned
to weaknesses, resources needed to remedy the weaknesses, and adequate
support to demonstrate closed weaknesses. Our review of CMS remedial
action plans yielded similar results. Specifically, we found 20 percent of
the corrective actions did not identify the resources needed to correct
those weaknesses.
Without a sound remediation process, HHS cannot be assured that weaknesses
in its information security program will be efficiently and effectively
corrected.
Incident Handling
Even strong controls may not block all intrusions and misuse, but
organizations can reduce the risks associated with such events if they
take steps to promptly detect and respond to them before significant
damage is done. In addition, analyzing security incidents allows
organizations to gain a better understanding of the threats to their
information and the costs of their security-related problems. Such
analyses can pinpoint vulnerabilities that need to be eliminated so that
they will not be exploited again. Incident reports can be used to provide
valuable input for risk assessments, help in prioritizing security
improvement efforts, and illustrate risks and related trends for senior
management. FISMA requires that agency information security programs
include procedures for detecting and reporting security incidents. To
ensure effective handling of incidents, HHS policy requires the
establishment and maintenance of an incident response capability that
includes preparation, identification, containment, eradication, recovery,
and follow-up capabilities.
HHS operating divisions did not always employ adequate incident detection
capabilities. Our analysis of OIG reports found, for example, that 13 CMS
Medicare contractors had weaknesses in their intrusion detection policies
and procedures. Five of the contractors did not have intrusion detection
systems in place, while six were cited for either not reporting incidents
in accordance with FISMA guidance or not reporting incidents to CMS. The
remaining two contractors exhibited weaknesses in their incident
monitoring process and procedures. Finally, one operating division used
router and firewall logs for troubleshooting instead of for intrusion
detection.
The wide disparity in the reporting of security incidents11 at 10 and
eventsHHS and its operating divisions also raises concern. For example,
the Food and Drug Administration reported over 16 million events while the
Centers for Medicare & Medicaid Services and the Centers for Disease
Control and Prevention combined reported less than 1,600, as indicated in
table 1.
Table 1: Reported Incidents among HHS Operating Divisions
September 2005 Event Summary
Operating division Number of events Number of incidents
Food and Drug Administration 16,515,911 1
National Institutes of Health 1,142,424 0
Health Resources and Services 348,346 0
Administration
Office of the Secretary 162,197 1
Indian Health Service 79,911 2
Program Support Center 9,125 0
Office of the Inspector General 8,839 0
Agency for Healthcare Research and 1,682 0
Quality
Administration for Children and 1,560 0
Families
Centers for Disease Control and 1,074 0
Prevention
Centers for Medicare & Medicaid 429 1
Services
Administration on Aging 244 0
Substance Abuse and Mental Health 0 0
Services Administration
Source: HHS.
Notes: Incidents were reported to the U.S. Computer Emergency Response
Team. No data were available for the Agency for Toxic Substances and
Disease Registry.
HHS operating divisions collectively reported over 18 million events
during September 2005 but less than 10 incidents. We did not attempt to
assess the accuracy of the reported events and incidents. However, the
disparity in the number of reported events among the operating divisions
of relatively similar size raises concerns. This disparity may be an
indication of inconsistency among criteria settings and configuration
requirements for the respective intrusion detection systems. The reporting
disparities may also be influenced by the type and location of the
intrusion detection systems. For example, an intrusion detection system
located behind a firewall detects fewer events than one located on the
perimeter in front of a firewall because of the firewall's ability to
block certain network traffic. Intrusion detection systems' visibility to
the Internet also increases the potential exposure to security events.
Without consistent detection and reporting, HHS cannot be assured that it
is handling incidents in an effective manner.
Continuity of Operations
Continuity of operations controls can enable systems to be recovered
quickly and effectively following a service disruption or disaster. Such
controls include plans and procedures designed to protect information
resources and minimize the risk of unplanned interruptions, along with a
plan to recover critical operations should interruptions occur. These
controls should be designed to ensure that when unexpected events occur,
key operations continue without interruption or are promptly resumed, and
critical and sensitive data are protected. They should also be tested
annually or as significant changes are made. It is important that these
plans be clearly documented, communicated to potentially affected staff,
and updated to reflect current operations. Consistent with federal
guidance, HHS policy requires operating divisions to identify, prioritize,
and document disaster recovery planning requirements for all critical
departmental systems, networks, data, and facilities. CMS's information
security policy complies with the departmentwide policy. CMS's Information
Security Handbook provides additional guidance as to what key elements
should be included in contingency plans. These elements are further
detailed in its guidance to CMS contractors.
HHS has various efforts underway to address continuity of operations. In
its fiscal year 2005 FISMA report, the OIG noted the elimination of the
department's significant deficiency relating to contingency planning and
disaster recovery. However, shortcomings in continuity of operations still
exist. In its FISMA report to OMB for fiscal year 2005, HHS reported that
19.2 percent of its FISMA inventoried systems (34 out of 177) did not have
tested contingency plans. Furthermore, the OIG also identified
deficiencies in continuity of operations plans developed at HHS's
operating divisions. For example,
o contingency plans for four major applications at one operating division
were not application specific, but were actually the same plan originally
developed for the server recovery;
o contingency plans did not exist for the local area networks of four
operating divisions;
o another operating division did not prioritize the recovery of its
systems in the divisionwide contingency plan; and
o inadequate documentation existed to determine whether testing had been
performed for one of another division's contingency plans.
As a result of these weaknesses, the department has limited assurance that
operating divisions will be able to protect critical and sensitive
information and information systems and resume operations promptly when
unexpected events or unplanned interruptions occur. If continuity of
operations controls are inadequate, even a relatively minor interruption
could result in significant adverse impact on HHS operating divisions'
ability to recover and resume operations.
Conclusions
Given the size and significance of HHS's information technology
investments, and the sensitivity of the medical, personal, and financial
data it maintains through these investments, it is imperative that the
department develops strong information security controls and implements a
comprehensive information security program. While HHS has made progress
toward developing and documenting a departmentwide information security
program, significant weaknesses in information security controls could
lead to the unauthorized disclosure, modification, or destruction of the
sensitive data that HHS relies on to accomplish its vital mission. A key
reason for these weaknesses is that HHS has not yet fully implemented a
departmentwide information security program that can establish and
maintain effective controls. Full implementation of such a program would
provide for periodically assessing risks, establishing appropriate
policies and procedures, developing and implementing security plans,
promoting security awareness training, testing and evaluating the
effectiveness of controls, implementing corrective actions, responding to
incidents, and ensuring continuity of operations. Implementing such a
program across all operating divisions requires effective management
oversight and monitoring, especially at a department as diverse as HHS.
Until HHS strengthens information security controls and fully implements
its information security program, it will have limited assurance that its
operations and assets are adequately protected.
Recommendations for Executive Action
To help HHS fully implement its departmentwide information security
program, we recommend that the Secretary of HHS direct the Chief
Information Officer to develop and implement policies and procedures to
ensure the establishment of minimum acceptable configuration requirements.
In addition, we recommend that the Secretary direct the Chief Information
Officer to take the following seven steps to ensure that operating
divisions
o develop comprehensive risk assessments that address key elements;
o complete system security plans for all systems;
o provide specialized training to all individuals with significant
security responsibilities;
o conduct tests and evaluations of the effectiveness of controls on
operational systems, and document results;
o review remedial action plans to ensure that they address all previously
identified weaknesses and key corrective action information;
o implement intrusion detection systems and configure them to use
consistent criteria for the detection and reporting of security incidents
and events; and
o develop and test continuity of operations plans for all of their
systems.
Agency Comments and Our Evaluation
The Department of Health and Human Services's Inspector General
transmitted the department's written comments on a draft of this report
(reprinted in app. II). In these comments, HHS supported our emphasis on
improvements needed in key information security program elements, but
stated that our report did not appropriately reflect the progress that the
department has made in addressing information security.
Specifically, HHS expressed concerns that our evaluation approach did not
provide an accurate or complete appraisal of the department's information
security program, in that the report does not mention the department's
defense-in-depth strategy or accomplishment of two major goals-the
department's campaign to mitigate its deficiency pertaining to contingency
planning and reduce its number of reportable conditions by 25 percent.
According to HHS, it employs a defense-in-depth strategy to ensure threats
are effectively addressed and mitigated. We acknowledge HHS's statement on
its defense-in-depth strategy, but note that the significant control
weaknesses identified in this report and by independent auditors indicate
that this strategy is not fully working as intended. With regard to the
two major goals, we have revised the report to reflect the elimination of
the contingency planning deficiency. Regarding the department's reduction
in
the number of reportable conditions, in its report on internal controls,12
the OIG's independent auditor reported progress made in strengthening
security controls; however, it still reported weaknesses in several
information security areas, including the entitywide security program,
access controls, application development and program change controls,
system software, and service continuity.
HHS also noted that our report did not mention recent improvements or
progress made in information security until a brief statement in the
conclusion of the report, and that the report was predicated on findings
originally documented by the HHS OIG in fiscal year 2005. However,
throughout the report we acknowledge HHS's improvements and progress made
in correcting information security weaknesses and have added additional
statements based on these comments. In addition, as noted in our scope and
methodology, our evaluation included the most recent reports issued at the
time of our review.
In its comments, HHS also expressed concern over our use of the word
"significant" to describe the reported weaknesses. In their most recent
report on internal controls, the OIG's independent auditor reported
information security as a "reportable condition"13 at the department. The
auditors concluded that "the cumulative effect of these weaknesses
represents significant deficiencies in the overall design and operation of
internal controls." Based on the findings in our report, the definition of
"reportable condition," and the comments of the independent auditors, we
believe the use of the word "significant" is appropriate to describe these
weaknesses.
HHS also took exception to our conclusion that it had not fully
implemented a departmentwide information security program, and stated that
our findings instead indicate that the full integration or maturity of the
program has not been achieved. FISMA requires that agencies develop,
document, and implement an information security program. As stated in our
report, we acknowledged that HHS has made progress in developing and
documenting its program. However, elements of the program have not been
fully or consistently implemented. For example, three systems at three
different operating divisions had not undergone system testing and
evaluation. As a result, we believe that the use of the phrase "not fully
implemented" is appropriate for describing HHS's shortcomings in its
information security program.
Additionally, the department stated that our assessment of its security
program was based on a small percentage of HHS systems. However, as noted
in our scope and methodology, we selected applications and general support
systems because they support HHS's departmentwide financial reporting and
communications, or Medicare payment and communication functions at CMS and
its contractors-operations that are critical to the department. These
included the Medicare Claims Processing Systems that processed over one
billion claims and $294 billion in claims payments in 2004; the CMS
Communication Network that provides connectivity between CMS and its
business-related entities; and the HHS Enterprise Services Network that
provides a shared network backbone for several HHS operating divisions.
The department also noted that our statement that HHS had not developed
departmentwide policies regarding minimally acceptable configuration
requirements was inaccurate. In its comments, HHS states that "plans are
in place" to standardize implementation in fiscal year 2006 and that the
divisional chief information security officers formed a subcommittee to
develop configuration standards. Although these are positive efforts, we
believe that such statements support our conclusion that such policies
have not yet been developed.
In addition, the department noted that we did not acknowledge progress
made relating to contingency planning. HHS stated that it had completed
and tested contingency plans for 100 percent of its high-risk FISMA
systems. However, the HHS OIG did not concur with this statement,
reporting that one of the seven high-risk systems that they evaluated did
not have tested contingency plans. As mentioned previously, the department
also stated that we did not acknowledge the elimination of their sole
existing significant deficiency relating to contingency planning and
disaster recovery. We have revised the report to reflect the elimination
of this deficiency.
Finally, the department noted additional improvements specific to CMS that
were not included in our report. The department cited the elimination of a
long standing CMS material weakness in Medicare electronic access
controls. However, this material weakness was downgraded to a reportable
condition, indicating that significant deficiencies still exist. The
department also stated that we did not acknowledge significant progress in
FISMA compliance made by its fiscal intermediaries and carriers and that
they provided these results to the HHS OIG in early December 2005.
However, these reports were not available for release to us at that time.
Additionally, the department stated that we did not acknowledge CMS's
significant achievements in meeting it statutory responsibilities under
FISMA, as reported by the HHS OIG. We acknowledge in the report that HHS,
which includes CMS, has begun to implement the foundation for an effective
information security program. While the HHS OIG FISMA report cited some
achievements made by CMS, the HHS OIG also noted 28 exceptions in the CMS
information security program.
HHS also provided specific technical comments, which we have incorporated,
as appropriate, in the report.
As agreed with your office, unless you publicly announce the contents of
this report earlier, we plan no further distribution until 30 days from
the report date. At that time we will send copies of this report to the
Secretary of Health and Human Services. We will also make copies available
to others upon request. In addition, this report will be available at no
charge on the GAO Web site at http://www.gao.gov.
If you have any questions regarding this report, please contact me at
(202) 512-6244 or by e-mail at w ilshuseng@gao.gov . Contact points for
our Offices of Congressional Relations and Public Affairs may be found on
the last page of this report. Key contributors to this report are listed
in appendix IV.
Sincerely yours,
Gregory C. Wilshusen Director, Information Security Issues
Objective, Scope, and Methodology Appendix I
The objective of our review was to assess the effectiveness of the HHS
information security program, particularly at CMS, in protecting the
confidentiality, integrity, and availability of its information and
information systems. To accomplish this objective, we evaluated the
effectiveness of HHS's information security controls, and whether HHS had
developed, documented, and implemented a departmentwide information
security program consistent with federal laws and policies.
To evaluate the effectiveness of HHS's information security controls, we
examined 74 management and audit reports pertaining to information
security practices and controls at 13 operating divisions issued by the
department, its Office of the Inspector General (OIG), and independent
auditors during 2004 and 2005. These reports identified information
security control weaknesses at HHS, the operating divisions, and
contractor-owned facilities, which we then classified according to the
general control categories specified in our Federal Information System
Controls Audit Manual (FISCAM).1 Further, these reports contained specific
recommendations to the department to remedy identified information
security control weaknesses.
To evaluate whether HHS had developed and documented a departmentwide
information security program consistent with federal laws and policies, we
examined related documents, such as policies and procedures, handbooks,
various types of security-related reports, and HHS's information systems
inventory. We assessed whether its program was consistent with the
requirements of FISMA, as well as applicable Office of Management and
Budget policies and National Institute of Standards and Technology
guidance related to risk assessments, risk-based policies and procedures,
information security plans, security awareness training, testing and
evaluating security controls, remedial action plans, handling security
incidents, and continuity of operations for information systems. We also
held discussions with CMS and contractor officials responsible for
information security management and with the HHS Inspector General staff
regarding any related prior, ongoing, or planned work in these areas.
To evaluate whether HHS had implemented an information security program
consistent with federal laws and policies, we focused our review on
CMS-the operating division with the largest budget in the department-as
well as the Office of the Secretary, an operating division with a
departmentwide perspective. We compared their documented practices and
controls to the departmentwide information security program as well as
applicable FISMA requirements, OMB policy, and NIST guidance. To determine
how well the operating divisions were implementing their own policies and
procedures, we evaluated available risk assessments, security plans,
security and awareness training, system tests and evaluations, remedial
actions, and continuity of operations for the following major applications
and general support systems:
o Automated Financial Statement System-a system to collect operating
divisions' financial statement data to generate the departmentwide
year-end and quarterly statements.
o Information Collection Review and Approval System-a web-based database
application used by HHS, the Securities and Exchange Commission and OMB to
help federal agencies electronically administer and manage its information
collection clearance responsibilities under the Paperwork Reduction Act.
o HHS's Enterprise Services Network-the enterprise network for the
department. It is comprised of a combination of very high performance
network services provided by a public communications carrier.
o Medicare Claims Processing Systems-a CMS contractor operated group of
systems used to process Medicare claims-including inpatient hospital care,
nursing facilities, home health care, and other health care services.
o CMS communications network-a private network that provides connectivity
between CMS and its business-related entities that provide Medicare
services.
We selected these applications and systems because they support either (1)
HHS's enterprisewide financial reporting and communication functions, or
(2) CMS's and its contractors' Medicare payments and communication
functions.
We performed our work at HHS headquarters in Washington, D.C., and the CMS
Central Office, located in Baltimore, Maryland. This review was performed
from June through December 2005 in accordance with generally accepted
government auditing standards.
Comments from the Department of Health and Human Services Appendix II
HHS Operating Divisions Appendix III
Administration for Children and Families-responsible for some 60 programs
that promote the economic and social well being of children, families and
communities.
Administration on Aging-supports a nationwide network providing services
to the elderly, especially to enable them to remain independent.
Agency for Healthcare Research and Quality-supports research on health
care systems, health care quality and cost issues, access to health care,
and effectiveness of medical treatments. It provides evidence-based
information on health care outcomes and quality of care.
Agency for Toxic Substances and Disease Registry-responsible for
preventing exposure to hazardous substances from waste sites on the U.S.
Environmental Protection Agency's National Priorities List and develops
toxicological profiles of chemicals at these sites.
Centers for Disease Control and Prevention-provides a system of health
surveillance to monitor and prevent disease outbreaks, implements disease
prevention strategies, and maintains national health statistics. The
centers also provide for immunization services, workplace safety, and
environmental disease prevention. In addition, the centers guard against
international disease transmission, with personnel stationed in more than
25 foreign countries.
Centers for Medicare & Medicaid Services-administers the Medicare and
Medicaid programs, which provide health care to about one in every four
Americans. Medicare provides health insurance for more than 42.1 million
elderly and disabled Americans. Medicaid, a joint federal-state program,
provides health coverage for some 44.7 million low-income persons,
including 21.9 million children, and nursing home coverage for low-income
elderly. CMS also administers the State Children's Health Insurance
Program that covers more than 4.2 million children.
Food and Drug Administration-responsible for assuring the safety of foods
and cosmetics, and the safety and efficacy of pharmaceuticals, biological
products, and medical devices-products that represent almost 25 cents of
every dollar in U.S. consumer spending.
Health Resources and Services Administration-provides access to essential
health care services for people who are low-income, uninsured or who live
in rural areas or urban neighborhoods where health care is scarce. The
agency helps prepare the nation's health care system and providers to
respond to bioterrorism and other public health emergencies, maintains the
National Health Service Corps, and helps build the health care workforce
through training and education programs.
Indian Health Service-provides health services to 1.6 million American
Indians and Alaska Natives of more than 550 federally recognized tribes.
The Indian health system includes 49 hospitals, 247 health centers, 348
health stations, satellite clinics, residential substance abuse treatment
centers, Alaska Native village clinics, and 34 urban Indian health
programs.
National Institutes of Health-a medical research organization, supporting
over 38,000 research projects nationwide in diseases including cancer,
Alzheimer's, diabetes, arthritis, heart ailments, and AIDS.
Office of Inspector General-The OIG is responsible for protecting the
integrity of HHS programs, as well as the health and welfare of the
beneficiaries of those programs. It is also responsible for reporting
program and management problems and recommendations to correct them to
both the Secretary of HHS and to Congress. The OIG's duties are carried
out through a nationwide network of audits, investigations, inspections,
and other mission-related functions performed by OIG components.
Office of the Secretary-provides counsel to the secretary on such issues
as public affairs, legislation, budget, technology, and finance.
Program Support Center-The Program Support Center was created in 1995 to
provide a wide range of administrative support within the Department of
Health and Human Services, allowing the department operating divisions to
concentrate on their core functional and operational objectives.
Substance Abuse and Mental Health Services Administration-works to improve
the quality and availability of substance abuse prevention, addiction
treatment, and mental health services.
GAO Contact and Staff Acknowledgments Appendix IV
Gregory C. Wilshusen (202) 512-6244
In addition to the person named above, Idris Adjerid, Larry Crosland,
Jeffrey Knott, Carol Langelier, Ronald Parker, Amos Tevelow, and William
Thompson made key contributions to this report.
(310559)
www.gao.gov/cgi-bin/getrpt? GAO-06-267 .
To view the full product, including the scope
and methodology, click on the link above.
For more information, contact Gregory C. Wilshusen at (202) 512-6244 or
Wilshuseng@gao.gov.
Highlights of GAO-06-267 , a report to the Chairman, Committee on Finance,
U.S. Senate
February 2006
INFORMATION SECURITY
Department of Health and Human Services Needs to Fully Implement Its
Program
The Department of Health and Human Services (HHS) is the nation's largest
health insurer and the largest grant-making agency in the federal
government. HHS programs impact all Americans, whether through direct
services, scientific advances, or information that helps them choose
medical care, medicine, or even food. For example, the Centers for
Medicare & Medicaid Services (CMS), a major operating division within HHS,
is responsible for the Medicare and Medicaid programs that provide care to
about one in every four Americans. In carrying out their responsibilities,
both HHS and CMS rely extensively on networked information systems
containing sensitive medical and financial information.
GAO was asked to assess the effectiveness of HHS's information security
program, with emphasis on CMS, in protecting the confidentiality,
integrity, and availability of its information and information systems.
What GAO Recommends
GAO recommends that the Secretary of HHS direct the Chief Information
Officer to take steps to fully implement key elements of the department's
information security program at all operating divisions. In commenting on
a draft of this report, HHS supported GAO's emphasis on improvements to
its security program, but did not believe the report sufficiently
reflected progress made.
HHS and CMS have significant weaknesses in controls designed to protect
the confidentiality, integrity, and availability of their sensitive
information and information systems. HHS computer networks and systems
have numerous electronic access control vulnerabilities related to network
management, user accounts and passwords, user rights and file permissions,
and auditing and monitoring of security-related events. In addition,
weaknesses exist in other types of controls designed to physically secure
computer resources, conduct suitable background investigations, segregate
duties appropriately, and prevent unauthorized changes to application
software. All of these weaknesses increase the risk that unauthorized
individuals can gain access to HHS information systems and inadvertently
or deliberately disclose, modify, or destroy the sensitive data that the
department relies on to deliver its vital services.
A key reason for these control weaknesses is that the department has not
yet fully implemented a departmentwide information security program. While
HHS has laid the foundation for such a program by developing and
documenting policies and procedures, the department has not yet fully
implemented key elements of its information security program at all of its
operating divisions. Specifically, HHS and its operating divisions have
not fully implemented elements related to (1) risk assessments, (2)
policies and procedures, (3) security plans, (4) security awareness and
training, (5) tests and evaluations of control effectiveness, (6) remedial
actions, (7) incident handling, and (8) continuity of operations plans.
Until HHS fully implements a comprehensive information security program,
security controls may remain inadequate; responsibilities may be unclear,
misunderstood, and improperly implemented; and controls may be
inconsistently applied. Such conditions may lead to insufficient
protection of sensitive or critical resources and disproportionately high
expenditures for controls over low-risk resources.
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