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Inputs/prerequisites/requirements

  • Understand the context and internal and external requirements of the organisation (ISO/IEC 27001 section 4)
  • A defined risk management process (ISO/IEC 27001 section 6)

The model for an ISMS as set out in these documents and ISO/IEC 27001 is just a model, and it should not be taken as proscriptive. It is possible to make some of the decisions related to controls without having first used the risk management process (8.2), such as control set selection, and controls needed to meet customer requirements. Some may also prefer to perform a complete risk assessment before considering what controls may be necessary by the organisation so you may also require

  • Completed risk assessment
  • A list of risk owners

This may not be the first time you are looking at the choice of controls. You may also wish to take into account

  • The effectiveness of previously selected controls
  • The results of previous risk assessments
  • The evaluation of monitoring and measuring activities

Control sets

You will need to make a decision on what set of controls is most appropriate to use within your organisation. From this set of controls, you will select those controls necessary to control risks, and meet internal and external requirements. Sets of controls include:

  • ISO/IEC 27001:2013 Annex A
  • CIS Critical Security Controls

There may be control sets specific for your country. The UK specifies five controls for basic cyber hygiene in the Cyber Essentials standard, and controls/objectives for operators of essential services under the NIS Directive are published by NCSC.

Domains and activities may also have their own control sets: scientific collaboration environments have https://www.eugridpma.org/sci/, telecommunications sector ISO/IEC 27011, and cloud computing ISO/IEC 27017

ISO/IEC 27001:2013 allows you to select controls from any source, but you must justify the exclusion of any controls from Annex A which you have chosen not to implement, to ensure that no necessary controls are overlooked.

Most organisations will chose Annex A as their normal set of controls, with additional controls chosen for particular business requirements.

Prioritisation/Triage

When first starting out, or setting up an ISMS, the number of controls you need to implement may be overwhelming. It might be advisable to focus on the controls necessary to address the most important risks, or provide the greatest reduction in risk, and then come back to other controls at a later stage. It is not necessary to get things complete or perfect at the outset - this is what continual improvement is for.

Presentation / A framework for linking controls to risk

ISO/IEC 27001:2013 Annex A can be overwhelming both ourselves as information security practitioners but also to our colleagues. It can appear to be a very technical and bureaucratic listing of things that must be done with no relationship with the organisation's objectives, activities, and risks. You should think about how you present controls within your organisation. It could be a idea to group your selected controls by

  • Activities: running a data centre, operating a network, administering a server
  • Risks: fire, theft, hacking, malware
  • Business units: financial, human resources, operations

It is helpful to get input from a wide variety of sources at all levels within your organisation who can present different perspectives and expertise on the choice and implementation of controls. It can be too easy just to focus on the inputs of more technical colleagues.

Effectiveness

Your selection of controls must be practical for your organisation and staff to implement and understand, otherwise they will not be effective. You should think about how you will monitor and measure the controls as set out in section 9 of the standard.

Non-control

Non all risks need to be controlled. Some may be acceptable, some may be transferred or insured against, or the activity leading to the risk may be stopped. You should pick the most acceptable treatment option, but it is likely that in most cases you will chose to control the risk.

Cost

ISO/IEC 27001 does not going into any detail on the cost of implementing controls, but the controls should be appropriate. You should take this to include the cost of controls. The cost of a control should be at least less than the expected loss of the risk it is attempting to control. In practice it should a lot less than this. 

Training/Awareness

It is sensible to provide training to those responsible for implementing, managing, or monitoring controls. This training should cover the reasons why the controls are implemented, how they are intended to reduce risk, and the different ways in which the control can be implemented. It is also a useful means to get feedback on the suitability of controls. Also consider making this training available to your internal auditors.

Selection

All controls must be selected for a reason. The core reason in ISO 27001 is to address a specific risk. The control must do something to reduce this risk.

Controls may also be selected because a customer has asked you to implement it, or because a law or regulation requires it. You should try to understand these external factors in Section 4 of the standard. Selected controls should be implemented in a lawful manner.

This section should have a reference to ISO 27001 chapter 6: planning.

There is a strong relation with the ISO 27001 Statement of Applicability, and the risk based selection of controls. You can use ISO 27002 and its chapters for grouping controls or you can use other groupings that are better suited to your business processes.

Risk acceptance

The selection of controls to treat risks must be accepted by risk owners, and they must also accept any residual risk. You must have a risk treatment plan that details the risks, selected controls, acceptance by the risk owner, and the implementation of the control or not. 

Statement of applicability

ISO/IEC requires that you produce a statement of applicability (SoA). It must contain the necessary controls (those you have chosen AND Annex A), and detail which you have selected and why, and the justification for controls you have excluded from Annex A. Many organisations decide to provide internal and external facing SoA with different levels of confidential information.

Outputs

  • Risk treatment plan
  • Statement of applicability
  • An understanding of residual risk after control selection
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