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Test Number : ST0-237
Test name : Symantec Data Loss Prevention 12 Technical Assessment
Vendor name : Symantec
: 300 Dumps Questions

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Symantec Data Loss Prevention 12 Technical Assessment book

19 questions - and answers - to commonplace PCI DSS issues | ST0-237 Dumps and true exam Questions with VCE drill Test

by pass of coverage, their corporation doesn't shop any records. achieve the workstations that method and transmit credit card data to their acquirer soundless should be segregated from the leisure of their network?

I find this query fairly commonly. The requirement applies to any gadget that retailers, tactics or transmits bank card suggestions. So, although there are contraptions that most efficacious transmit the facts and don't sustain it, and aren't accurately segmented, your whole network would requisite to be compliant.

Our commerce has segmented its charge application to a unique environment (together with the database for the card records), however this charge software likewise needs to hook up with the net software's MySQL database on the DMZ. is that this allowed?

i'm no longer trying to circumvent your question, however the reply definitely depends on what the database stores and what the software is doing with that records. If, as an example, the database shops fee information, you're going to precipitate up in opposition t requirement 1.3.7, which requires the database to be in an "inner community zone" rather than your DMZ.

If the database would not accommodate statistics of a choice nature, then the simple rigor is whether the connectivity into the DMZ breaks your segregation mannequin. Realistically, here's going to depend on the specifics of what you might be doing and what different controls you maintain in region. The assistance provided through the DSS (page 5) within the zone on scoping makes it lucid that comparison of specific segmentation methodologies is discretionary.

My information? when you are going via an assessment, manufacture this probably the most first stuff you consult with your QSA. deliver a doc that outlines your intent for why you suppose the segmentation is unbroken regardless of the connectivity to the database (on condition that you feel it's). Your QSA will let you know pretty quickly if he or she would not agree.

PCI DSS scope question: Would an utility that transfers data from aspect to point (a file-switch software) be in scope for PCI DSS if that software can not ever anatomize or process the contents of the files?

tremendous query! It is dependent upon when you are a merchant building/the usage of the device or the developer manufacturing it. if you are a service provider and you're the usage of a utensil that might or might no longer transfer credit card facts (however you don't necessarily comprehend someway), the scope of the compliance endeavor would consist of the utensil just as it would encompass every other section that can be within the fee atmosphere.

even so, when you are a utility developer making a typical train file-switch device, the condition is distinct. supplied the device isn't exceptionally a imbue utility (for example, to assist the point of sale), then it's going to be your purchasers that are going to maintain the burden of compliance. That means the utensil should be would becould very well be in scope for their compliance process, wherein case they may doubtless attain to you with questions about safety controls. youngsters, the utility developer would not in reality maintain any compliance duties just as a result of someone else might elect to manufacture exercise of the utensil for bank card records at some factor.

accept as loyal with here process: imbue records is bought over the cell, stored on a pc on the corporate network after which despatched out to a third celebration to be processed. Are totality computer systems that finger that one computing device now within the scope of PCI?

as soon as once again, abide in intellect that segmentation and scoping is a discretionary convoke on the section of the individual/organization doing the assessment. youngsters, my interpretation of the requirement is that, sure, with out segregation the entirety of the community could be in scope. here is as a result of web page 5 of the DSS particularly comprises totality methods related to the cardholder ambiance (machines that shop/manner/transmit statistics) unless there is segmentation. On the plus facet, it's going to be relatively handy to segment that one equipment to in the reduction of scope.

involving scoping and segmentation, if one device from an additional community is authorized into the cardholder network, and that device can hook up with hundreds of alternative outside systems, are totality those programs in scope?

You in reality must exercise your most efficient judgment here. there may be broad spectrum of what could be occurring that outcomes the scope, given this set of circumstances.

for instance, on one conclusion of the spectrum, it can be a tightly managed device that connects into the cardholder network to discharge a selected administrative project and nothing else (to kick off usage reviews, as an example). you'd maintain an exquisite friendly argument that this is able to no longer rupture segmentation.

then again, a comparatively uncontrolled device connecting to down load fee information is a special be counted entirely. if that's the case, you'd be pretty difficult-pressed to manufacture a case for how segmentation is preserved.

suppose about it this manner: The intent isn't to convey each device in scope just by means of advantage of the indisputable fact that some connectivity exists between that network and the CDE. in spite of everything, what programs don't seem to be linked by some means to fairly a lot every different equipment on earth? but the intent is to provide protection to the fee tips from threats on other networks that might probably find access to the payment community.

Would a body-relay network carrier supplied by using a service be considered a public or deepest community? and how does requirement 12.eight practice? Does the carrier deserve to accept accountability for card statistics in its possession as it passes over its community devices?

i could preface the primary a section of the reply with the aid of asserting that QSAs disagree about the body-relay question. which you could follow the back-and-forth on it by using browsing over to pcianswers.com and sorting out the threads on what precisely constitutes a public community vs. what doesn't. i will be able to inform you from my own own journey, I frequently believe body-relay to be a private network (for example, for the purposes of requirement four, i.e., "open, public networks").

As to the 2nd section of the question: if you're simply presenting connectivity, you're going to care about PCI, however it's going to be consumer pushed in site of driven with the aid of your personal should correspond to the normal. You referenced requirement 12.8, and that's the understanding exactly where the drivers are going to attain back from. Your clients should correspond to 12.8, so that they're going to recur to you to track your compliance reputation.

certain, you provide a pipe -- and or not it's genuine that a client might at some aspect resolve to pour card statistics down that pipe. but simply as a result of somebody probably may transmit cardholder information over it would not swiftly imply you requisite to dawn filling out RoCs.

whereas measure FTP usage in the imbue processing environment isn't typically condoned, would FTP by the exercise of a VPN tunnel to the vacation spot be PCI compliant?

i'd be watchful with this one. FTP is principally mentioned within the scrutinize at various standards for requirement 2.2.2. So, while you might meet the requirement to offer protection to the facts in transit through the exercise of a VPN, you are likely to precipitate up in opposition t different requirements the site FTP may be at situation.

in spite of the fact that you achieve everything perfectly and remove particular steps for every requirement the site it comes up, your QSA is required to pattern gadget configurations. When this occurs, she or he will view FTP enabled and (considering or not it's especially mentioned within the scrutinize at various standards), will absolutely conclude that you just're no longer compliant.

My tips? prevent it. in particular due to the fact that it be so handy to implement another solution, comparable to ssh/sftp or an additional classification of at ease switch answer. Granted, you can not sojourn away from it in each case, but you will locate that keeping it on isn't effortless.

Is a quarterly rogue wireless factor scan essential outside of the included ambiance, or simply interior of the PCI ambiance or zone?

this is simplest crucial interior the cardholder facts network. other amenities that are segmented from the cardholder statistics atmosphere can be scoped out.

A tiny ingredient of their arduous is a book shop that accepts credit cards for payment. They precipitate an IBM on an IBM power gadget. It has very efficacious safety keeping apart the a variety of functions. The "understanding the Intent of the necessities" doc from the PCI security requisites Council website states that requirement 2.2.1 isn't intended for mainframes. How achieve I impress the Self evaluation Questionnaire (SAQ) to reflect this?

First off, "Navigating the PCI SSC -- figuring out the Intent of the requirements" (.pdf) is a pretty friendly useful resource, so i'm fortunate you introduced it up.

Insofar as addressing the theme on the SAQ goes, this requirement offers a lot of people pause. In a virtualized atmosphere, as an example, what counts as "per server"? Is it one characteristic per virtual desktop, or one characteristic per equipment? but when you scrutinize at why this requirement is in the document you reference, the SSC tells us this requirement is basically focused on concerns of the "our email server is likewise their charge server and zone controller" range.

similarly, when they command the requirement is for server techniques (they are saw "usually Unix-, Linux-, or windows-based") and not for mainframe systems, what achieve you achieve when your device is rarely a mainframe per se, however additionally doesn't plunge into the Unix/Linux/windows bucket? My view is that, similar to virtualization, working rational partitions which are segmented from each other would not violate what the council is making an attempt to sojourn away from.

What are the PCI compliance concerns concerned with an outsourced IDS? Does the provider requisite to be PCI compliant as would a web hosting provider?

firstly, you're going to wish to manufacture inevitable the internet hosting company implements its provider in a pass that meets the IDS-particular necessities in the measure (e.g., 11.four, 10.6). it is the No. 1 subject. additionally, you might be going to want to govern them the identical method you could some other seller beneath 12.8. sustain in intellect that in order for the issuer to achieve its job, it's going to should view lots of the traffic to your network, which places it in scope for compliance efforts. So track the provider's reputation, validate that it's compliant, and play it near to the road when it involves 12.eight.

other than that, the council intentionally left the door open for flexibility in terms of how enterprises meet particular person necessities. definitely, for some organizations an outsourced IDS can really provide extra safety than could be the case if a corporation ran the IDS itself.

Is it viable for a company to act in a role as a service provider by the exercise of a compliant service company's PCI-accredited equipment and likewise work with clients to deliver avenues for payment processing by the exercise of that identical gadget? Can the company in the merchant role be discipline to the compliant provider company's PCI compliance certification if it can not provide its own certification?

i might warning you to be cautious in the pass you method this. firstly, with the aid of offering processing potential to purchasers you're placing your self on the heart of purchasers' compliance issues when it involves requirement 12.eight. In other phrases, consumers are going to delivery knocking at your door expecting you to be compliant with the gardenvariety and demanding facts that you're. simply telling them that you simply exercise a compliant service issuer doubtless is rarely going to chop it.

think about it this fashion: if you maintain been trying to fulfill requirement 12.eight and one of your companies didn't present any facts of compliance because it pertains to its personal enterprise, but instead said it used a compliant service issuer, would you purchase it? maybe there are some instances in which this is able to fly, but lots of folks are going to requisite to dig deeper. i know i might.

So are you able to chop back your scope of compliance by means of outsourcing plenty of the imbue mechanics? if you can in fact pull yourself out of the keep/technique/transmit loop, then which you could. however i would strategy sharing that relationship with others cautiously. no longer that you cannot achieve it, but your consumers will are expecting you to comply with the requirements and be capable of disclose that you are doing so.

What PCI information applies to banks that challenge and system playing cards and precipitate POS terminals?

The PCI DSS applies to totality organizations that store, system or transmit cardholder records. so you maintain to comply. Compliance validation for a fiscal institution is a lot distinctive than for a service provider or service issuer (since you're interfacing directly with the cardboard manufacturers), but you achieve soundless must comply.

are you able to intimate any equipment (free or in any other case) for finding choice counsel (credit score cards, SSNs, and many others.) on pcs or file shares?

there's a ton of tools that achieve that. On the freeware facet, there's an open source device called ccsearch from SourceForge.net (full-disclosure that this device become written through CTG so I actually maintain a prejudice here). that you may likewise locate middling expressions on pcianswers.com that may likewise be plugged into grep to achieve the browsing.

On the commerce side, lots of the equipment that achieve this are within the DLP (statistics leak prevention) house. as an example, tools fancy Symantec Corp.'s Vontu, Code eco-friendly Networks Inc.'s TrueDLP, McAfee Inc.'s data Loss Prevention monitor, and the like, will quest and file on sensitive information of this class.

We currently upgraded their POS machines to truncate the basic account number (PAN) on each the service provider and consumer receipts. achieve they should be anxious about securely storing each day batch totals and merchant reproduction receipts from POS machines despite the fact that they achieve not comprise the entire PAN?

No. On web page four of the commonplace, it outlines fairly evidently what's in scope and what is never from a coverage and storage viewpoint. Of route, achieve not let this stop you from maintaining that facts for different protection motives.

Requirement 1.2.2 speaks to verifying that router configuration files are comfy and synchronized. could you expand on what this means?

In drawing near this one, I determine it be advantageous to spoil it down into two ingredients: the "cozy" half and the "synchronized" part.

The "relaxed" section would encompass common hardening and configuration activities: making inevitable you're operating the existing edition of the firmware, that you maintain the router locked down, that you simply're not nonetheless the exercise of any dealer default passwords, etc. when you are no longer intimate with a pass to achieve that, there are some decent guides purchasable to walk you via it. The heart for web safety (CIS) has equipment and information on its website, as does the national protection agency SNAC.

so far as "synchronized" is concerned, the gist is to manufacture inevitable the router configuration is manageable. searching on the test method for this requirement offers a friendly understanding of the council's intent. It says "determine [that] … configuration files (used when machines are re-booted), maintain the identical, comfy configurations." so as to paraphrase, they requisite you to synchronize a snug configuration throughout the whole router population; to prevent one off configurations that aren't hardened. as an instance, if you maintain 100 distinctive routers, achieve totality of them exercise a baseline configuration or are they every working a unique configuration? if they're totality working diverse configurations, trying to preserve it is challenging (to command the least) and is likely to be less at ease. So in reality, you are looking to synchronize your generic, hardened configuration throughout the entire instruments in scope.

If a arduous is using a digital terminal device fancy PayPal, and accesses it from a laptop on enterprise premises, does the desktop computing device deserve to be segregated or isolated from other interior techniques with the expostulate to hold those different systems outdoor the scope of PCI DSS?

no longer totality QSAs agree, however my for my part, sure, it'll be segregated. The requirement is relatively clear: Any device that retailers, processes or transmits cardholder statistics is in scope, and the handiest method to reduce scope is through segregation. So since the device transmits the facts, you'll deserve to segregate to reduce scope.

if you're basically the exercise of the PayPal virtual terminal product, PayPal offers a free e-book entitled "Disclosure & payment Compliance: a pass to shape guidelines That gain customer self belief" (.pdf) this is pretty beneficial. You ought to register for PayPal to find it, nevertheless it doesn't remove long to achieve so.

I work for a govt company, and or not it's mandated that any supplier I work with must be PCI compliant. What questions may soundless I be asking competencies providers? How can i verify they're compliant?

First, query if the vendor has long past through the compliance validation procedure and if it may disclose you its RoC. If it might not panoply you the RoC without delay, you could query to peer a replica of its attestation of compliance, which it is required to finished (however or not it's simply self-assessing the usage of the SaQ).

Is GFI utility's Languard network protection scanner considered a network vulnerability scanner that satisfies PCI DSS requirement eleven.2?

careful: operating a scanning device on the inside community satisfies section of eleven.2, however no longer the total aspect.

From a device viewpoint, there are a yoke of different equipment -- some free, some commercial -- so that you can exercise to achieve internal scanning (together with the one you reference). however be sensible that when it comes to exterior scans, you deserve to exercise an accredited scanning supplier (ASV). there is a list of authorized scanning carriers on the PCI security necessities Council website.

a expert helping us with PCI concerns related to software construction observed the encryption key necessities in requirement three additionally apply to SSL private keys. is this the case?

this is my studying as well. Requirement 3.5 does not chiefly restrict the scope of private key insurance pass to the encryption techniques utilized in 3.4, so my remove is that it applies to totality cryptographic keys used to offer protection to cardholder information, which would comprise SSL keys.


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