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Network Working Group                                        S. ChokhaniRequest for Comments: 2527                      CygnaCom Solutions, Inc.Category: Informational                                          W. Ford                                                          VeriSign, Inc.                                                              March 1999Internet X.509 Public Key InfrastructureCertificate Policy and Certification Practices FrameworkStatus of this Memo   This memo provides information for the Internet community.  It does   not specify an Internet standard of any kind.  Distribution of this   memo is unlimited.Copyright Notice   Copyright (C) The Internet Society (1999).  All Rights Reserved.Abstract   This document presents a framework to assist the writers of   certificate policies or certification practice statements for   certification authorities and public key infrastructures.  In   particular, the framework provides a comprehensive list of topics   that potentially (at the writer's discretion) need to be covered in a   certificate policy definition or a certification practice statement.1. INTRODUCTION1.1  BACKGROUND   A public-key certificate (hereinafter "certificate") binds a public-   key value to a set of information that identifies the entity (such as   person, organization, account, or site) associated with use of the   corresponding private key (this entity is known as the "subject" of   the certificate).  A certificate is used by a "certificate user" or   "relying party" that needs to use, and rely upon the accuracy of, the   public key distributed via that certificate (a certificate user is   typically an entity that is verifying a digital signature from the   certificate's subject or an entity sending encrypted data to the   subject).  The degree to which a certificate user can trust the   binding embodied in a certificate depends on several factors. These   factors include the practices followed by the certification authority   (CA) in authenticating the subject; the CA's operating policy,   procedures, and security controls; the subject's obligations (for   example, in protecting the private key); and the stated undertakingsChokhani & Ford              Informational                      [Page 1]

RFC 2527                          PKIX                        March 1999   and legal obligations of the CA (for example, warranties and   limitations on liability).   A Version 3 X.509 certificate may contain a field declaring that one   or more specific certificate policies applies to that certificate   [ISO1].  According to X.509, a certificate policy is "a named set of   rules that indicates the applicability of a certificate to a   particular community and/or class of application with common security   requirements." A certificate policy may be used by a certificate user   to help in deciding whether a certificate, and the binding therein,   is sufficiently trustworthy for a particular application.  The   certificate policy concept is an outgrowth of the policy statement   concept developed for Internet Privacy Enhanced Mail [PEM1] and   expanded upon in [BAU1].   A more detailed description of the practices followed by a CA in   issuing and otherwise managing certificates may be contained in a   certification practice statement (CPS) published by or referenced by   the CA.  According to the American Bar Association Digital Signature   Guidelines (hereinafter "ABA Guidelines"), "a CPS is a statement of   the practices which a certification authority employs in issuing   certificates." [ABA1]1.2  PURPOSE   The purpose of this document is to establish a clear relationship   between certificate policies and CPSs, and to present a framework to   assist the writers of certificate policies or CPSs with their tasks.   In particular, the framework identifies the elements that may need to   be considered in formulating a certificate policy or a CPS.  The   purpose is not to define particular certificate policies or CPSs, per   se.1.3  SCOPE   The scope of this document is limited to discussion of the contents   of a certificate policy (as defined in X.509) or CPS (as defined in   the ABA Guidelines).  In particular, this document describes the   types of information that should be considered for inclusion in a   certificate policy definition or a CPS.  While the framework as   presented generally assumes use of the X.509 version 3 certificate   format, it is not intended that the material be restricted to use of   that certificate format.  Rather, it is intended that this framework   be adaptable to other certificate formats that may come into use.   The scope does not extend to defining security policies generally   (such as organization security policy, system security policy, or   data labeling policy) beyond the policy elements that are consideredChokhani & Ford              Informational                      [Page 2]

RFC 2527                          PKIX                        March 1999   of particular relevance to certificate policies or CPSs.   This document does not define a specific certificate policy or CPS.   It is assumed that the reader is familiar with the general concepts   of digital signatures, certificates, and public-key infrastructure,   as used in X.509 and the ABA Guidelines.2.  DEFINITIONS   This document makes use of the following defined terms:      Activation data - Data values, other than keys, that are required      to operate cryptographic modules and that need to be protected      (e.g., a PIN, a passphrase, or a manually-held key share).      CA-certificate - A certificate for one CA's public key issued by      another CA.      Certificate policy - A named set of rules that indicates the      applicability of a certificate to a particular community and/or      class of application with common security requirements.  For      example, a particular certificate policy might indicate      applicability of a type of certificate to the authentication of      electronic data interchange transactions for the trading of goods      within a given price range.      Certification path - An ordered sequence of certificates which,      together with the public key of the initial object in the path,      can be processed to obtain that of the final object in the path.      Certification Practice Statement (CPS) - A statement of the      practices which a certification authority employs in issuing      certificates.      Issuing certification authority (issuing CA) - In the context of a      particular certificate, the issuing CA is the CA that issued the      certificate (see also Subject certification authority).      Policy qualifier - Policy-dependent information that accompanies a      certificate policy identifier in an X.509 certificate.      Registration authority (RA) - An entity that is responsible for      identification and authentication of certificate subjects, but      that does not sign or issue certificates (i.e., an RA is delegated      certain tasks on behalf of a CA).  [Note: The term Local      Registration Authority (LRA) is used elsewhere for the same      concept.]Chokhani & Ford              Informational                      [Page 3]

RFC 2527                          PKIX                        March 1999      Relying party - A recipient of a certificate who acts in reliance      on that certificate and/or digital signatures verified using that      certificate.  In this document, the terms "certificate user" and      "relying party" are used interchangeably.      Set of provisions - A collection of practice and/or policy      statements, spanning a range of standard topics, for use in      expressing a certificate policy definition or CPS employing the      approach described in this framework.      Subject certification authority (subject CA) - In the context of a      particular CA-certificate, the subject CA is the CA whose public      key is certified in the certificate (see also Issuing      certification authority).3.  CONCEPTS   This section explains the concepts of certificate policy and CPS, and   describes their relationship.  Other related concepts are also   described.  Some of the material covered in this section and in some   other sections is specific to certificate policies extensions as   defined X.509 version 3.  Except for those sections, this framework   is intended to be adaptable to other certificate formats that may   come into use.3.1  CERTIFICATE POLICY   When a certification authority issues a certificate, it is providing   a statement to a certificate user (i.e., a relying party) that a   particular public key is bound to a particular entity (the   certificate subject).  However, the extent to which the certificate   user should rely on that statement by the CA needs to be assessed by   the certificate user.  Different certificates are issued following   different practices and procedures, and may be suitable for different   applications and/or purposes.   The X.509 standard defines a certificate policy as "a named set of   rules that indicates the applicability of a certificate to a   particular community and/or class of application with common security   requirements"[ISO1].  An X.509 Version 3 certificate may contain an   indication of certificate policy, which may be used by a certificate   user to decide whether or not to trust a certificate for a particular   purpose.   A certificate policy, which needs to be recognized by both the issuer   and user of a certificate, is represented in a certificate by a   unique, registered Object Identifier.  The registration process   follows the procedures specified in ISO/IEC and ITU standards.  TheChokhani & Ford              Informational                      [Page 4]

RFC 2527                          PKIX                        March 1999   party that registers the Object Identifier also publishes a textual   specification of the certificate policy, for examination by   certificate users.  Any one certificate will typically declare a   single certificate policy or, possibly, be issued consistent with a   small number of different policies.   Certificate policies also constitute a basis for accreditation of   CAs.  Each CA is accredited against one or more certificate policies   which it is recognized as implementing.  When one CA issues a CA-   certificate for another CA, the issuing CA must assess the set of   certificate policies for which it trusts the subject CA (such   assessment may be based upon accreditation with respect to the   certificate policies involved).  The assessed set of certificate   policies is then indicated by the issuing CA in the CA-certificate.   The X.509 certification path processing logic employs these   certificate policy indications in its well-defined trust model.3.2  CERTIFICATE POLICY EXAMPLES   For example purposes, suppose that IATA undertakes to define some   certificate policies for use throughout the airline industry, in a   public-key infrastructure operated by IATA in combination with   public-key infrastructures operated by individual airlines.  Two   certificate policies are defined - the IATA General-Purpose policy,   and the IATA Commercial-Grade policy.   The IATA General-Purpose policy is intended for use by industry   personnel for protecting routine information (e.g., casual electronic   mail) and for authenticating connections from World Wide Web browsers   to servers for general information retrieval purposes.  The key pairs   may be generated, stored, and managed using low-cost, software-based   systems, such as commercial browsers.  Under this policy, a   certificate may be automatically issued to anybody listed as an   employee in the corporate directory of IATA or any member airline who   submits a signed certificate request form to a network administrator   in his or her organization.   The IATA Commercial-Grade policy is used to protect financial   transactions or binding contractual exchanges between airlines.   Under this policy, IATA requires that certified key pairs be   generated and stored in approved cryptographic hardware tokens.   Certificates and tokens are provided to airline employees with   disbursement authority. These authorized individuals are required to   present themselves to the corporate security office, show a valid   identification badge, and sign an undertaking to protect the token   and use it only for authorized purposes, before a token and a   certificate are issued.Chokhani & Ford              Informational                      [Page 5]

RFC 2527                          PKIX                        March 19993.3 X.509 CERTIFICATE FIELDS   The following extension fields in an X.509 certificate are used to   support certificate policies:      * Certificate Policies extension;      * Policy Mappings extension; and      * Policy Constraints extension.3.3.1 Certificate Policies Extension   The Certificate Policies extension has two variants - one with the   field flagged non-critical and one with the field flagged critical.   The purpose of the field is different in the two cases.   A non-critical Certificate Policies field lists certificate policies   that the certification authority declares are applicable.  However,   use of the certificate is not restricted to the purposes indicated by   the applicable policies.  Using the example of the IATA General-   Purpose and Commercial-Grade policies defined inSection 3.2, the   certificates issued to regular airline employees will contain the   object identifier for certificate policy for the General-Purpose   policy.  The certificates issued to the employees with disbursement   authority will contain the object identifiers for both the General-   Purpose policy and the Commercial-Grade policy.  The Certificate   Policies field may also optionally convey qualifier values for each   identified policy; use of qualifiers is discussed inSection 3.4.   The non-critical Certificate Policies field is designed to be used by   applications as follows.  Each application is pre-configured to know   what policy it requires.  Using the example inSection 3.2,   electronic mail applications and Web servers will be configured to   require the General-Purpose policy.  However, an airline's financial   applications will be configured to require the Commercial-Grade   policy for validating financial transactions over a certain dollar   value.   When processing a certification path, a certificate policy that is   acceptable to the certificate-using application must be present in   every certificate in the path, i.e., in CA-certificates as well as   end entity certificates.   If the Certificate Policies field is flagged critical, it serves the   same purpose as described above but also has an additional role.  It   indicates that the use of the certificate is restricted to one of the   identified policies, i.e., the certification authority is declaring   that the certificate must only be used in accordance with the   provisions of one of the listed certificate policies. This field isChokhani & Ford              Informational                      [Page 6]

RFC 2527                          PKIX                        March 1999   intended to protect the certification authority against damage claims   by a relying party who has used the certificate for an inappropriate   purpose or in an inappropriate manner, as stipulated in the   applicable certificate policy definition.   For example, the Internal Revenue Service might issue certificates to   taxpayers for the purpose of protecting tax filings.  The Internal   Revenue Service understands and can accommodate the risks of   accidentally issuing a bad certificate, e.g., to a wrongly-   authenticated person.  However, suppose someone used an Internal   Revenue Service tax-filing certificate as the basis for encrypting   multi-million-dollar-value proprietary secrets which subsequently   fell into the wrong hands because of an error in issuing the Internal   Revenue Service certificate.  The Internal Revenue Service may want   to protect itself against claims for damages in such circumstances.   The critical-flagged Certificate Policies extension is intended to   mitigate the risk to the certificate issuer in such situations.3.3.2  Policy Mappings Extension   The Policy Mappings extension may only be used in CA-certificates.   This field allows a certification authority to indicate that certain   policies in its own domain can be considered equivalent to certain   other policies in the subject certification authority's domain.   For example, suppose the ACE Corporation establishes an agreement   with the ABC Corporation to cross-certify each others' public-key   infrastructures for the purposes of mutually protecting electronic   data interchange (EDI). Further, suppose that both companies have   pre-existing financial transaction protection policies called ace-e-   commerce and abc-e-commerce, respectively.  One can see that simply   generating cross certificates between the two domains will not   provide the necessary interoperability, as the two companies'   applications are configured with and employee certificates are   populated with their respective certificate policies.  One possible   solution is to reconfigure all of the financial applications to   require either policy and to reissue all the certificates with both   policies.  Another solution, which may be easier to administer, uses   the Policy Mapping field.  If this field is included in a cross-   certificate for the ABC Corporation certification authority issued by   the ACE Corporation certification authority, it can provide a   statement that the ABC's financial transaction protection policy   (i.e., abc-e-commerce) can be considered equivalent to that of the   ACE Corporation (i.e., ace-e-commerce).Chokhani & Ford              Informational                      [Page 7]

RFC 2527                          PKIX                        March 19993.3.3  Policy Constraints Extension   The Policy Constraints extension supports two optional features.  The   first is the ability for a certification authority to require that   explicit certificate policy indications be present in all subsequent   certificates in a certification path.  Certificates at the start of a   certification path may be considered by a certificate user to be part   of a trusted domain, i.e., certification authorities are trusted for   all purposes so no particular certificate policy is needed in the   Certificate Policies extension.  Such certificates need not contain   explicit indications of certificate policy.  However, when a   certification authority in the trusted domain certifies outside the   domain, it can activate the requirement for explicit certificate   policy in subsequent certificates in the certification path.   The other optional feature in the Policy Constraints field is the   ability for a certification authority to disable policy mapping by   subsequent certification authorities in a certification path.  It may   be prudent to disable policy mapping when certifying outside the   domain.  This can assist in controlling risks due to transitive   trust, e.g., a domain A trusts domain B, domain B trusts domain C,   but domain A does not want to be forced to trust domain C.3.4  POLICY QUALIFIERS   The Certificate Policies extension field has a provision for   conveying, along with each certificate policy identifier, additional   policy-dependent information in a qualifier field.  The X.509   standard does not mandate the purpose for which this field is to be   used, nor does it prescribe the syntax for this field.  Policy   qualifier types can be registered by any organization.   The following policy qualifier types are defined in PKIX Part I   [PKI1]:      (a) The CPS Pointer qualifier contains a pointer to a          Certification Practice Statement (CPS) published by the CA.          The pointer is in the form of a uniform resource identifier          (URI).      (b) The User Notice qualifier contains a text string that is to be          displayed to a certificate user (including subscribers and          relying parties) prior to the use of the certificate.  The          text string may be an IA5String or a BMPString - a subset of          the ISO 100646-1 multiple octet coded character set.  A CA may          invoke a procedure that requires that the certficate user          acknowledge that the applicable terms and conditions have been          disclosed or accepted.Chokhani & Ford              Informational                      [Page 8]

RFC 2527                          PKIX                        March 1999   Policy qualifiers can be used to support the definition of generic,   or parameterized, certificate policy definitions.  Provided the base   certificate policy definition so provides, policy qualifier types can   be defined to convey, on a per-certificate basis, additional specific   policy details that fill in the generic definition.3.5  CERTIFICATION PRACTICE STATEMENT   The term certification practice statement (CPS) is defined by the ABA   Guidelines as: "A statement of the practices which a certification   authority employs in issuing certificates." [ABA1] In the 1995 draft   of the ABA guidelines, the ABA expands this definition with the   following comments:      A certification practice statement may take the form of a      declaration by the certification authority of the details of its      trustworthy system and the practices it employs in its operations      and in support of issuance of a certificate, or it may be a      statute or regulation applicable to the certification authority      and covering similar subject matter. It may also be part of the      contract between the certification authority and the subscriber. A      certification practice statement may also be comprised of multiple      documents, a combination of public law, private contract, and/or      declaration.      Certain forms for legally implementing certification practice      statements lend themselves to particular relationships. For      example, when the legal relationship between a certification      authority and subscriber is consensual, a contract would      ordinarily be the means of giving effect to a certification      practice statement.  The certification authority's duties to a      relying person are generally based on the certification      authority's representations, which may include a certification      practice statement.      Whether a certification practice statement is binding on a relying      person depends on whether the relying person has knowledge or      notice of the certification practice statement.  A relying person      has knowledge or at least notice of the contents of the      certificate used by the relying person to verify a digital      signature, including documents incorporated into the certificate      by reference.  It is therefore advisable to incorporate a      certification practice statement into a certificate by reference.      As much as possible, a certification practice statement should      indicate any of the widely recognized standards to which the      certification authority's practices conform.  Reference to widely      recognized standards may indicate concisely the suitability of theChokhani & Ford              Informational                      [Page 9]

RFC 2527                          PKIX                        March 1999      certification authority's practices for another person's purposes,      as well as the potential technological compatibility of the      certificates issued by the certification authority with      repositories and other systems.3.6 RELATIONSHIP BETWEEN CERTIFICATE POLICY AND CERTIFICATION PRACTICE    STATEMENT   The concepts of certificate policy and CPS come from different   sources and were developed for different reasons.  However, their   interrelationship is important.   A certification practice statement is a detailed statement by a   certification authority as to its practices, that potentially needs   to be understood and consulted by subscribers and certificate users   (relying parties).  Although the level of detail may vary among CPSs,   they will generally be more detailed than certificate policy   definitions.  Indeed, CPSs may be quite comprehensive, robust   documents providing a description of the precise service offerings,   detailed procedures of the life-cycle management of certificates, and   more - a level of detail which weds the CPS to a particular   (proprietary) implementation of a service offering.   Although such detail may be indispensable to adequately disclose, and   to make a full assessment of trustworthiness in the absence of   accreditation or other recognized quality metrics, a detailed CPS   does not form a suitable basis for interoperability between CAs   operated by different organizations.  Rather, certificate policies   best serve as the vehicle on which to base common interoperability   standards and common assurance criteria on an industry-wide (or   possibly more global) basis.  A CA with a single CPS may support   multiple certificate policies (used for different application   purposes and/or by different certificate user communities).  Also,   multiple different CAs, with non-identical certification practice   statements, may support the same certificate policy.   For example, the Federal Government might define a government-wide   certificate policy for handling confidential human resources   information.  The certificate policy definition will be a broad   statement of the general characteristics of that certificate policy,   and an indication of the types of applications for which it is   suitable for use.  Different departments or agencies that operate   certification authorities with different certification practice   statements might support this certificate policy.  At the same time,   such certification authorities may support other certificate   policies.Chokhani & Ford              Informational                     [Page 10]

RFC 2527                          PKIX                        March 1999   The main difference between certificate policy and CPS can therefore   be summarized as follows:      (a) Most organizations that operate public or inter-          organizational certification authorities will document their          own practices in CPSs or similar statements.  The CPS is one          of the organization's means of protecting itself and          positioning its business relationships with subscribers and          other entities.      (b) There is strong incentive, on the other hand, for a          certificate policy to apply more broadly than to just a single          organization.  If a particular certificate policy is widely          recognized and imitated, it has great potential as the basis          of automated certificate acceptance in many systems, including          unmanned systems and systems that are manned by people not          independently empowered to determine the acceptability of          different presented certificates.   In addition to populating the certificate policies field with the   certificate policy identifier, a certification authority may include,   in certificates it issues, a reference to its certification practice   statement.  A standard way to do this, using a certificate policy   qualifier, is described inSection 3.4.3.7  SET OF PROVISIONS   A set of provisions is a collection of practice and/or policy   statements, spanning a range of standard topics, for use in   expressing a certificate policy definition or CPS employing the   approach described in this framework.   A certificate policy can be expressed as a single set of provisions.   A CPS can be expressed as a single set of provisions with each   component addressing the requirements of one or more certificate   policies, or, alternatively, as an organized collection of sets of   provisions.  For example, a CPS could be expressed as a combination   of the following:      (a) a list of certificate policies supported by the CPS;      (b) for each certificate policy in (a), a set of provisions which          contains statements that refine that certificate policy by          filling in details not stipulated in that policy or expressly          left to the discretion of the CPS by that certificate policy;          such statements serve to state how this particular CPS          implements the requirements of the particular certificateChokhani & Ford              Informational                     [Page 11]

RFC 2527                          PKIX                        March 1999          policy;      (c) a set of provisions that contains statements regarding the          certification practices on the CA, regardless of certificate          policy.   The statements provided in (b) and (c) may augment or refine the   stipulations of the applicable certificate policy definition, but   must not conflict with any of the stipulations of such certificate   policy definition.   This framework outlines the contents of a set of provisions, in terms   of eight primary components, as follows:      * Introduction;      * General Provisions;      * Identification and Authentication;      * Operational Requirements;      * Physical, Procedural, and Personnel Security Controls;      * Technical Security Controls;      * Certificate and CRL Profile; and      * Specification Administration.   Components can be further divided into subcomponents, and a   subcomponent may comprise multiple elements.Section 4 provides a   more detailed description of the contents of the above components,   and their subcomponents.4.  CONTENTS OF A SET OF PROVISIONS   This section expands upon the contents of a set of provisions, as   introduced inSection 3.7.  The topics identified in this section   are, consequently, candidate topics for inclusion in a certificate   policy definition or CPS.   While many topics are identified, it is not necessary for a   certificate policy or a CPS to include a concrete statement for every   such topic.  Rather, a particular certificate policy or CPS may state   "no stipulation" for a component, subcomponent, or element on which   the particular certificate policy or CPS imposes no requirements.  In   this sense, the list of topics can be considered a checklist ofChokhani & Ford              Informational                     [Page 12]

RFC 2527                          PKIX                        March 1999   topics for consideration by the certificate policy or CPS writer.  It   is recommended that each and every component and subcomponent be   included in a certificate policy or CPS, even if there is "no   stipulation"; this will indicate to the reader that a conscious   decision was made to include or exclude that topic.  This protects   against inadvertent omission of a topic, while facilitating   comparison of different certificate policies or CPSs, e.g., when   making policy mapping decisions.   In a certificate policy definition, it is possible to leave certain   components, subcomponents, and/or elements unspecified, and to   stipulate that the required information will be indicated in a policy   qualifier.  Such certificate policy definitions can be considered   parameterized definitions.  The set of provisions should reference or   define the required policy qualifier types and should specify any   applicable default values.4.1 INTRODUCTION   This component identifies and introduces the set of provisions, and   indicates the types of entities and applications for which the   specification is targeted.   This component has the following subcomponents:      * Overview;      * Identification;      * Community and Applicability; and      * Contact Details.4.1.1  Overview   This subcomponent provides a general introduction to the   specification.4.1.2  Identification   This subcomponent provides any applicable names or other identifiers,   including ASN.1 object identifiers, for the set of provisions.4.1.3  Community and Applicability   This subcomponent describes the types of entities that issue   certificates or that are certified as subject CAs (2, 3), the types   of entities that perform RA functions (4), and the types of entitiesChokhani & Ford              Informational                     [Page 13]

RFC 2527                          PKIX                        March 1999   that are certified as subject end entities or subscribers. (5, 6)   This subcomponent also contains:      * A list of applications for which the issued certificates are        suitable.  (Examples of application in this case are: electronic        mail, retail transactions, contracts, travel order, etc.)      * A list of applications for which use of the issued certificates        is restricted.  (This list implicitly prohibits all other uses        for the certificates.)      * A list of applications for which use of the issued certificates        is prohibited.4.1.4  Contact Details   This subcomponent includes the name and mailing address of the   authority that is responsible for the registration, maintenance, and   interpretation of this certificate policy or CPS.  It also includes   the name, electronic mail address, telephone number, and fax number   of a contact person.4.2  GENERAL PROVISIONS   This component specifies any applicable presumptions on a range of   legal and general practices topics.   This component contains the following subcomponents:      * Obligations;      * Liability;      * Financial Responsibility;      * Interpretation and Enforcement;      * Fees;      * Publication and Repositories;      * Compliance Audit;      * Confidentiality; and      * Intellectual Property Rights.Chokhani & Ford              Informational                     [Page 14]

RFC 2527                          PKIX                        March 1999   Each subcomponent may need to separately state provisions applying to   the entity types: CA, repository, RA, subscriber, and relying party.   (Specific provisions regarding subscribers and relying parties are   only applicable in the Liability and Obligations subcomponents.)4.2.1  Obligations   This subcomponent contains, for each entity type, any applicable   provisions regarding the entity's obligations to other entities.   Such provisions may include:      * CA and/or RA obligations:         *  Notification of issuance of a certificate to the            subscriber who is the subject of the certificate being            issued;         *  Notification of issuance of a certificate to others            than the subject of the certificate;         *  Notification of revocation or suspension of a            certificate to the subscriber whose certificate is being            revoked or suspended; and         *  Notification of revocation or suspension of a            certificate to others than the subject whose certificate            is being revoked or suspended.      * Subscriber obligations:         *  Accuracy of representations in certificate application;         *  Protection of the entity's private key;         *  Restrictions on private key and certificate use; and         *  Notification upon private key compromise.      * Relying party obligations:         *  Purposes for which certificate is used;         *  Digital signature verification responsibilities;         *  Revocation and suspension checking responsibilities;            and         *  Acknowledgment of applicable liability caps and            warranties.      * Repository obligations         *  Timely publication of certificates and revocation            informationChokhani & Ford              Informational                     [Page 15]

RFC 2527                          PKIX                        March 19994.2.2  Liability   This subcomponent contains, for each entity type, any applicable   provisions regarding apportionment of liability, such as:      * Warranties and limitations on warranties;      * Kinds of damages covered (e.g., indirect, special,        consequential, incidental, punitive, liquidated damages,        negligence and fraud) and disclaimers;      * Loss limitations (caps) per certificate or per transaction; and      * Other exclusions (e.g., Acts of God, other party        responsibilities).4.2.3  Financial Responsibility   This subcomponent contains, for CAs, repository, and RAs, any   applicable provisions regarding financial responsibilities, such as:      * Indemnification of CA and/or RA by relying parties;      * Fiduciary relationships (or lack thereof) between the various        entities; and      * Administrative processes (e.g., accounting, audit).4.2.4  Interpretation and Enforcement   This subcomponent contains any applicable provisions regarding   interpretation and enforcement of the certificate policy or CPS,   addressing such topics as:      * Governing law;      * Severability of provisions, survival, merger, and notice; and      * Dispute resolution procedures.4.2.5  Fees   This subcomponent contains any applicable provisions regarding fees   charged by CAs, repositories, or RAs, such as:      * Certificate issuance or renewal fees;      * Certificate access fee;Chokhani & Ford              Informational                     [Page 16]

RFC 2527                          PKIX                        March 1999      * Revocation or status information access fee;      * Fees for other services such as policy information; and      * Refund policy.4.2.6  Publication and Repositories   This subcomponent contains any applicable provisions regarding:      * A CA's obligations to publish information regarding its        practices, its certificates, and the current status of such        certificates;      * Frequency of publication;      * Access control on published information objects including        certificate policy definitions, CPS, certificates, certificate        status, and CRLs; and      * Requirements pertaining to the use of repositories operated by        CAs or by other independent parties.4.2.7  Compliance Audit   This subcomponent addresses the following:      * Frequency of compliance audit for each entity;      * Identity/qualifictions of the auditor;      * Auditor's relationship to the entity being audited; (30)      * List of topics covered under the compliance audit; (31)      * Actions taken as a result of a deficiency found during        compliance audit; (32)      * Compliance audit results: who they are shared with (e.g.,        subject CA, RA, and/or end entities), who provides them (e.g.,        entity being audited or auditor), how they are communicated.Chokhani & Ford              Informational                     [Page 17]

RFC 2527                          PKIX                        March 19994.2.8  Confidentiality Policy   This subcomponent addresses the following:      * Types of information that must be kept confidential by CA or RA;      * Types of information that are not considered confidential;      * Who is entitled to be informed of reasons for revocation and        suspension of certificates;      * Policy on release of information to law enforcement officials;      * Information that can be revealed as part of civil discovery;      * Conditions upon which CA or RA may disclose upon owner's        request; and      * Any other circumstances under which confidential information may        be disclosed.4.2.9  Intellectual Property Rights   This subcomponent addresses ownership rights of certificates,   practice/policy specifications, names, and keys.4.3  IDENTIFICATION AND AUTHENTICATION   This component describes the procedures used to authenticate a   certificate applicant to a CA or RA prior to certificate issuance.   It also describes how parties requesting rekey or revocation are   authenticated.  This component also addresses naming practices,   including name ownership recognition and name dispute resolution.   This component has the following subcomponents:      * Initial Registration;      * Routine Rekey;      * Rekey After Revocation; and      * Revocation Request.Chokhani & Ford              Informational                     [Page 18]

RFC 2527                          PKIX                        March 19994.3.1  Initial Registration   This subcomponent includes the following elements regarding   identification and authentication procedures during entity   registration or certificate issuance:      * Types of names assigned to the subject (7);      * Whether names have to be meaningful or not (8);      * Rules for interpreting various name forms;      * Whether names have to be unique;      * How name claim disputes are resolved;      * Recognition, authentication, and role of trademarks;      * If and how the subject must prove possession of the companion        private key for the public key being registered (9);      * Authentication requirements for organizational identity of        subject (CA, RA, or end entity) (10);      * Authentication requirements for a person acting on behalf of a        subject (CA, RA, or end entity) (11), including:         * Number of pieces of identification required;         * How a CA or RA validates the pieces of identification           provided;         * If the individual must present personally to the           authenticating CA or RA;         * How an individual as an organizational person is           authenticated (12).4.3.2 Routine Rekey   This subcomponent describes the identification and authentication   procedures for routine rekey for each subject type (CA, RA, and end   entity). (13)4.3.3 Rekey After Revocation -- No Key Compromise   This subcomponent describes the identification and authentication   procedures for rekey for each subject type (CA, RA, and end entity)   after the subject certificate has been revoked.  (14)Chokhani & Ford              Informational                     [Page 19]

RFC 2527                          PKIX                        March 19994.3.4 Revocation Request   This subcomponent describes the identification and authentication   procedures for a revocation request by each subject type (CA, RA, and   end entity). (16)4.4 OPERATIONAL REQUIREMENTS   This component is used to specify requirements imposed upon issuing   CA, subject CAs, RAs, or end entities with respect to various   operational activities.   This component consists of the following subcomponents:      * Certificate Application;      * Certificate Issuance;      * Certificate Acceptance;      * Certificate Suspension and Revocation;      * Security Audit Procedures;      * Records Archival;      * Key Changeover;      * Compromise and Disaster Recovery; and      * CA Termination.   Within each subcomponent, separate consideration may need to be given   to issuing CA, repository, subject CAs, RAs, and end entities.4.4.1 Certificate Application   This subcomponent is used to state requirements regarding subject   enrollment and request for certificate issuance.4.4.2 Certificate Issuance   This subcomponent is used to state requirements regarding issuance of   a certificate and notification to the applicant of such issuance.Chokhani & Ford              Informational                     [Page 20]

RFC 2527                          PKIX                        March 19994.4.3 Certificate Acceptance   This subcomponent is used to state requirements regarding acceptance   of an issued certificate and for consequent publication of   certificates.4.4.4 Certificate Suspension and Revocation   This subcomponent addresses the following:      * Circumstances under which a certificate may be revoked;      * Who can request the revocation of the entity certificate;      * Procedures used for certificate revocation request;      * Revocation request grace period available to the subject;      * Circumstances under which a certificate may be suspended;      * Who can request the suspension of a certificate;      * Procedures to request certificate suspension;      * How long the suspension may last;      * If a CRL mechanism is used, the issuance frequency;      * Requirements on relying parties to check CRLs;      * On-line revocation/status checking availability;      * Requirements on relying parties to perform on-line        revocation/status checks;      * Other forms of revocation advertisements available; and      * Requirements on relying parties to check other forms of        revocation advertisements.      * Any variations on the above stipulations when the suspension or        revocation is the result of private key compromise (as opposed        to other reasons for suspension or revocation).Chokhani & Ford              Informational                     [Page 21]

RFC 2527                          PKIX                        March 19994.4.5  Security Audit Procedures   This subcomponent is used to describe event logging and audit   systems, implemented for the purpose of maintaining a secure   environment.  Elements include the following:      * Types of events recorded; (28)      * Frequency with which audit logs are processed or audited;      * Period for which audit logs are kept;      * Protection of audit logs:         - Who can view audit logs;         - Protection against modification of audit log; and         - Protection against deletion of audit log.      * Audit log back up procedures;      * Whether the audit log accumulation system is internal or        external to the entity;      * Whether the subject who caused an audit event to occur is        notified of the audit action; and      * Vulnerability assessments.4.4.6  Records Archival   This subcomponent is used to describe general records archival (or   records retention) policies, including the following:      * Types of events recorded; (29)      * Retention period for archive;      * Protection of archive:         - Who can view the archive;         - Protection against modification of archive; and         - Protection against deletion of archive.      * Archive backup procedures;      * Requirements for time-stamping of records;      * Whether the archive collection system is internal or external;Chokhani & Ford              Informational                     [Page 22]

RFC 2527                          PKIX                        March 1999        and      * Procedures to obtain and verify archive information.4.4.7  Key Changeover   This subcomponent describes the procedures to provide a new public   key to a CA's users.4.4.8  Compromise and Disaster Recovery   This subcomponent describes requirements relating to notification and   recovery procedures in the event of compromise or disaster.  Each of   the following circumstances may need to be addressed separately:      * The recovery procedures used if computing resources, software,        and/or data are corrupted or suspected to be corrupted.  These        procedures describe how a secure environment is reestablished,        which certificates are revoked, whether the entity key is        revoked, how the new entity public key is provided to the users,        and how the subjects are recertified.      * The recovery procedures used if the entity public key is        revoked.  These procedures describe how a secure environment is        reestablished, how the new entity public key is provided to the        users, and how the subjects are recertified.      * The recovery procedures used if the entity key is compromised.        These procedures describe how a secure environment is        reestablished, how the new entity public key is provided to the        users, and how the subjects are recertified.      * The CA's procedures for securing its facility during the period        of time following a natural or other disaster and before a        secure environment is reestablished either at the original site        or a remote hot-site.  For example, procedures to protect        against theft of sensitive materials from an earthquake-damaged        site.4.4.9 CA Termination   This subcomponent describes requirements relating to procedures for   termination and for termination notification of a CA or RA, including   the identity of the custodian of CA and RA archival records.Chokhani & Ford              Informational                     [Page 23]

RFC 2527                          PKIX                        March 19994.5 PHYSICAL, PROCEDURAL, AND PERSONNEL SECURITY CONTROLS   This component describes non-technical security controls (that is,   physical, procedural, and personnel controls) used by the issuing CA   to perform securely the functions of key generation, subject   authentication, certificate issuance, certificate revocation, audit,   and archival.   This component can also be used to define non-technical security   controls on repository, subject CAs, RAs, and end entities.  The non   technical security controls for the subject CAs, RAs, and end   entities could be the same, similar, or very different.   These non-technical security controls are critical to trusting the   certificates since lack of security may compromise CA operations   resulting, for example, in the creation of certificates or CRLs with   erroneous information or the compromise of the CA private key.   This component consists of three subcomponents:      * Physical Security Controls;      * Procedural Controls; and      * Personnel Security Controls.   Within each subcomponent, separate consideration will, in general,   need to be given to each entity type, that is, issuing CA,   repository, subject CAs, RAs, and end entities.4.5.1 Physical Security Controls   In this subcomponent, the physical controls on the facility housing   the entity systems are described.(21) Topics addressed may include:      * Site location and construction;      * Physical access;      * Power and air conditioning;      * Water exposures;      * Fire prevention and protection;      * Media storage;      * Waste disposal; andChokhani & Ford              Informational                     [Page 24]

RFC 2527                          PKIX                        March 1999      * Off-site backup.4.5.2 Procedural Controls   In this subcomponent, requirements for recognizing trusted roles are   described, together with the responsibilities for each role.(22)   For each task identified for each role, it should also be stated how   many individuals are required to perform the task (n out m rule).   Identification and authentication requirements for each role may also   be defined.4.5.3 Personnel Security Controls   This subcomponent addresses the following:      * Background checks and clearance procedures required for the        personnel filling the trusted roles; (23)      * Background checks and clearance procedures requirements for        other personnel, including janitorial staff; (24)      * Training requirements and training procedures for each role;      * Any retraining period and retraining procedures for each role;      * Frequency and sequence for job rotation among various roles;      * Sanctions against personnel for unauthorized actions,        unauthorized use of authority, and unauthorized use of entity        systems; (25)        * Controls on contracting personnel, including:         - Bonding requirements on contract personnel;         - Contractual requirements including indemnification  for           damages due to the actions of the contractor personnel;         - Audit and monitoring of contractor personnel; and         - Other controls on contracting personnel.      * Documentation to be supplied to personnel.4.6 TECHNICAL SECURITY CONTROLS   This component is used to define the security measures taken by the   issuing CA to protect its cryptographic keys and activation data   (e.g., PINs, passwords, or manually-held key shares).  This component   may also be used to impose constraints on repositories, subject CAsChokhani & Ford              Informational                     [Page 25]

RFC 2527                          PKIX                        March 1999   and end entities to protect their cryptographic keys and critical   security parameters.  Secure key management is critical to ensure   that all secret and private keys and activation data are protected   and used only by authorized personnel.   This component also describes other technical security controls used   by the issuing CA to perform securely the functions of key   generation, user authentication, certificate registration,   certificate revocation, audit, and archival.  Technical controls   include life-cycle security controls (including software development   environment security, trusted software development methodology) and   operational security controls.   This component can also be used to define other technical security   controls on repositories, subject CAs, RAs, and end entities.   This component has the following subcomponents:      * Key Pair Generation and Installation;      * Private Key Protection;      * Other Aspects of Key Pair Management;      * Activation Data;      * Computer Security Controls;      * Life-Cycle Security Controls;      * Network Security Controls; and      * Cryptographic Module Engineering Controls.4.6.1 Key Pair Generation and Installation   Key pair generation and installation need to be considered for the   issuing CA, repositories, subject CAs, RAs, and subject end entities.   For each of these types of entities, the following questions   potentially need to be answered:      1. Who generates the entity public, private key pair?      2. How is the private key provided securely to the entity?      3. How is the entity's public key provided securely to the         certificate issuer?Chokhani & Ford              Informational                     [Page 26]

RFC 2527                          PKIX                        March 1999      4. If the entity is a CA (issuing or subject) how is the entity's         public key provided securely to the users?      5. What are the key sizes?      6. Who generates the public key parameters?      7. Is the quality of the parameters checked during key generation?      8. Is the key generation performed in hardware or software?      9. For what purposes may the key be used, or for what purposes         should usage of the key be restricted (for X.509 certificates,         these purposes should map to the key usage flags in the Version         3, X.509 certificates)?4.6.2 Private Key Protection   Requirements for private key protection need to be considered for the   issuing CA, repositories, subject CAs, RAs, and subject end entities.   For each of these types of entity, the following questions   potentially need to be answered:      1. What standards, if any, are required for the module used to         generate the keys?  For example, are the keys certified by the         infrastructure required to be generated using modules complaint         with the US FIPS 140-1?  If so, what is the required FIPS 140-1         level of the module?      2. Is the private key under n out of m multi-person control?(18)         If yes, provide n and m (two person control is a special case         of n out of m, where n = m = 2)?      3. Is the private key escrowed?  (19) If so, who is the escrow         agent, what form is the key escrowed in (examples include         plaintext, encrypted, split key), and what are the security         controls on the escrow system?      4. Is the private key backed up?  If so, who is the backup agent,         what form is the key backed up in (examples include plaintext,         encrypted, split key), and what are the security controls on         the backup system?      5. Is the private key archived?  If so, who is the archival agent,         what form is the key archived in (examples include plaintext,         encrypted, split key), and what are the security controls on         the archival system?Chokhani & Ford              Informational                     [Page 27]

RFC 2527                          PKIX                        March 1999      6. Who enters the private key in the cryptographic module?  In         what form (i.e., plaintext, encrypted, or split key)?  How is         the private key stored in the module (i.e., plaintext,         encrypted, or split key)?      7. Who can activate (use) the private key?  What actions must be         performed to activate the private key (e.g., login, power on,         supply PIN, insert token/key, automatic, etc.)?  Once the key         is activated, is the key active for an indefinite period,         active for one time, or active for a defined time period?      8. Who can deactivate the private key and how? Example of how         might include, logout, power off, remove token/key, automatic,         or time expiration.      9. Who can destroy the private key and how?  Examples of how might         include token surrender, token destruction, or key overwrite.4.6.3 Other Aspects of Key Pair Management   Other aspects of key management need to be considered for the issuing   CA, repositories, subject CAs, RAs, and subject end entities.  For   each of these types of entity, the following questions potentially   need to be answered:      1. Is the public key archived?  If so, who is the archival agent         and what are the security controls on the archival system?  The         archival system should provide integrity controls other than         digital signatures since: the archival period may be greater         than the cryptanalysis period for the key and the archive         requires tamper protection, which is not provided by digital         signatures.      2. What are the usage periods, or active lifetimes, for the public         and the private key respectively?4.6.4 Activation Data   Activation data refers to data values other than keys that are   required to operate cryptographic modules and that need to be   protected.  (20) Protection of activation data potentially needs to   be considered for the issuing CA, subject CAs, RAs, and end entities.   Such consideration potentially needs to address the entire life-cycle   of the activation data from generation through archival and   destruction.  For each of the entity types (issuing CA, repository,   subject CA, RA, and end entity) all of the questions listed in 4.6.1   through 4.6.3 potentially need to be answered with respect to   activation data rather than with respect to keys.Chokhani & Ford              Informational                     [Page 28]

RFC 2527                          PKIX                        March 19994.6.5 Computer Security Controls   This subcomponent is used to describe computer security controls such   as: use of the trusted computing base concept, discretionary access   control, labels, mandatory access controls, object reuse, audit,   identification and authentication, trusted path, security testing,   and penetration testing.  Product assurance may also be addressed.   A computer security rating for computer systems may be required.  The   rating could be based, for example, on the Trusted System Evaluation   Criteria (TCSEC), Canadian Trusted Products Evaluation Criteria,   European Information Technology Security Evaluation Criteria (ITSEC),   or the Common Criteria.  This subcomponent can also address   requirements for product evaluation analysis, testing, profiling,   product certification, and/or product accreditation related activity   undertaken.4.6.6 Life Cycle Security Controls   This subcomponent addresses system development controls and security   management controls.   System development controls include development environment security,   development personnel security, configuration management security   during product maintenance, software engineering practices, software   development methodology, modularity, layering, use of failsafe design   and implementation techniques (e.g., defensive programming) and   development facility security.   Security management controls include execution of tools and   procedures to ensure that the operational systems and networks adhere   to configured security.  These tools and procedures include checking   the integrity of the security software, firmware, and hardware to   ensure their correct operation.   This subcomponent can also address life-cycle security ratings based,   for example, on the Trusted Software Development Methodology (TSDM)   level IV and V, independent life-cycle security controls audit, and   the Software Engineering Institute's Capability Maturity Model (SEI-   CMM).4.6.7 Network Security Controls   This subcomponent addresses network security related controls,   including firewalls.Chokhani & Ford              Informational                     [Page 29]

RFC 2527                          PKIX                        March 19994.6.8 Cryptographic Module Engineering Controls (26)   This subcomponent addresses the following aspects of a cryptographic   module: identification of the cryptographic module boundary,   input/output, roles and services, finite state machine, physical   security, software security, operating system security, algorithm   compliance, electromagnetic compatibility, and self tests.   Requirements may be expressed through reference to a standard such as   U.S. FIPS 140-1. (27)4.7 CERTIFICATE AND CRL PROFILES   This component is used to specify the certificate format and, if CRLs   are used, the CRL format.  Assuming use of the X.509 certificate and   CRL formats, this includes information on profiles, versions, and   extensions used.   This component has two subcomponents:      * Certificate Profile; and      * CRL Profile.4.7.1 Certificate Profile   This subcomponent addresses such topics as the following (potentially   by reference to a separate profile definition, such as the PKIX Part   I profile):      * Version number(s) supported;      * Certificate extensions populated and their criticality;      * Cryptographic algorithm object identifiers;      * Name forms used for the CA, RA, and end entity names;      * Name constraints used and the name forms used in the  name        constraints;      * Applicable certificate policy Object Identifier(s);      * Usage of the policy constraints extension;      * Policy qualifiers syntax and semantics; and      * Processing semantics for the critical certificate policy        extension.Chokhani & Ford              Informational                     [Page 30]

RFC 2527                          PKIX                        March 19994.7.2 CRL Profile   This subcomponent addresses such topics as the following (potentially   by reference to a separate profile definition, such as the PKIX Part   I profile):      * Version numbers supported for CRLs; and      * CRL and CRL entry extensions populated and their criticality.4.8 SPECIFICATION ADMINISTRATION   This component is used to specify how this particular certificate   policy definition or CPS will be maintained.   It contains the following subcomponents:      * Specification Change Procedures;      * Publication and Notification Procedures; and      * CPS Approval Procedures.4.8.1 Specification Change Procedures   It will occasionally be necessary to change certificate policies and   Certification Practice Statements.  Some of these changes will not   materially reduce the assurance that a certificate policy or its   implementation provides, and will be judged by the policy   administrator as not changing the acceptability of certificates   asserting the policy for the purposes for which they have been used.   Such changes to certificate policies and Certification Practice   Statements need not require a change in the certificate policy Object   Identifier or the CPS pointer (URL).  Other changes to a   specification will change the acceptability of certificates for   specific purposes, and these changes will require changes to the   certificate policy Object Identifier or CPS pointer (URL).   This subcomponent contains the following information:      * A list of specification components, subcomponents, and/or        elements thereof that can be changed without notification and        without changes to the certificate policy Object Identifier or        CPS pointer (URL).      * A list of specification components, subcomponents, and/or        elements thereof that may change following a notification period        without changing the certificate policy Object Identifier or CPSChokhani & Ford              Informational                     [Page 31]

RFC 2527                          PKIX                        March 1999        pointer (URL).  The procedures to be used to notify interested        parties (relying parties, certification authorities, etc.) of        the certificate policy or CPS changes are described.  The        description of notification procedures includes the notification        mechanism, notification period for comments, mechanism to        receive, review and incorporate the comments, mechanism for        final changes to the policy, and the period before final changes        become effective.      * A list of specification components, subcomponents, and/or        elements, changes to which require a change in certificate        policy Object Identifier or CPS pointer (URL)..4.8.2 Publication and Notification Procedures   This subcomponent contains the following elements:      * A list of components, subcomponents, and elements thereof that        exist but that are not made publicly available; (33)      * Descriptions of mechanisms used to distribute the certificate        policy definition or CPS, including access controls on such        distribution.4.8.3 CPS Approval Procedures   In a certificate policy definition, this subcomponent describes how   the compliance of a specific CPS with the certificate policy can be   determined.5. OUTLINE OF A SET OF PROVISIONS   This section contains a possible outline for a set of provisions,   intended to serve as a checklist or (with some further development) a   standard template for use by certificate policy or CPS writers.  Such   a common outline will facilitate:      (a) Comparison of two certificate policies during cross-          certification (for the purpose of equivalency mapping).      (b) Comparison of a CPS with a certificate policy definition to          ensure that the CPS faithfully implements the policy.      (c) Comparison of two CPSs.Chokhani & Ford              Informational                     [Page 32]

RFC 2527                          PKIX                        March 1999   1.   INTRODUCTION   1.1  Overview   1.2  Identification   1.3  Community and Applicability      1.3.1  Certification authorities      1.3.2  Registration authorities      1.3.3  End entities      1.3.4  Applicability   1.4  Contact Details      1.4.1  Specification administration organization      1.4.2  Contact person      1.4.3  Person determining CPS suitability for the policy   2.  GENERAL PROVISIONS   2.1  Obligations      2.1.1  CA obligations      2.1.2  RA obligations      2.1.3  Subscriber obligations      2.1.4  Relying party obligations      2.1.5  Repository obligations   2.2  Liability      2.2.1  CA liability      2.2.2  RA liability   2.3  Financial responsibility      2.3.1  Indemnification by relying parties      2.3.2  Fiduciary relationships      2.3.3  Administrative processes   2.4  Interpretation and Enforcement      2.4.1  Governing law      2.4.2  Severability, survival, merger, notice      2.4.3  Dispute resolution procedures   2.5  Fees      2.5.1  Certificate issuance or renewal fees      2.5.2  Certificate access feesChokhani & Ford              Informational                     [Page 33]

RFC 2527                          PKIX                        March 1999      2.5.3  Revocation or status information access fees      2.5.4  Fees for other services such as policy information      2.5.5  Refund policy   2.6  Publication and Repository      2.6.1  Publication of CA information      2.6.2  Frequency of publication      2.6.3  Access controls      2.6.4  Repositories   2.7  Compliance audit      2.7.1  Frequency of entity compliance audit      2.7.2  Identity/qualifications of auditor      2.7.3  Auditor's relationship to audited party      2.7.4  Topics covered by audit      2.7.5  Actions taken as a result of deficiency      2.7.6  Communication of results   2.8  Confidentiality      2.8.1  Types of information to be kept confidential      2.8.2  Types of information not considered confidential      2.8.3  Disclosure of certificate revocation/suspension information      2.8.4  Release to law enforcement officials      2.8.5  Release as part of civil discovery      2.8.6  Disclosure upon owner's request      2.8.7  Other information release circumstances   2.9  Intellectual Property Rights   3.   IDENTIFICATION AND AUTHENTICATION (34)   3.1  Initial Registration      3.1.1  Types of names      3.1.2  Need for names to be meaningful      3.1.3  Rules for interpreting various name forms      3.1.4  Uniqueness of names      3.1.5  Name claim dispute resolution procedure      3.1.6  Recognition, authentication and role of trademarks      3.1.7  Method to prove possession of private key      3.1.8  Authentication of organization identity      3.1.9  Authentication of individual identity   3.2  Routine Rekey   3.3  Rekey after RevocationChokhani & Ford              Informational                     [Page 34]

RFC 2527                          PKIX                        March 1999   3.4  Revocation Request   4.  OPERATIONAL REQUIREMENTS (34)   4.1  Certificate Application   4.2  Certificate Issuance   4.3  Certificate Acceptance   4.4  Certificate Suspension and Revocation      4.4.1  Circumstances for revocation      4.4.2  Who can request revocation      4.4.3  Procedure for revocation request      4.4.4  Revocation request grace period      4.4.5  Circumstances for suspension      4.4.6  Who can request suspension      4.4.7  Procedure for suspension request      4.4.8  Limits on suspension period      4.4.9  CRL issuance frequency (if applicable)      4.4.10  CRL checking requirements      4.4.11  On-line revocation/status checking availability      4.4.12  On-line revocation checking requirements      4.4.13  Other forms of revocation advertisements available      4.4.14  Checking  requirements  for  other  forms  of  revocation              advertisements      4.4.15  Special requirements re key compromise   4.5  Security Audit Procedures      4.5.1  Types of event recorded      4.5.2  Frequency of processing log      4.5.3  Retention period for audit log      4.5.4  Protection of audit log      4.5.5  Audit log backup procedures      4.5.6  Audit collection system (internal vs external)      4.5.7  Notification to event-causing subject      4.5.8  Vulnerability assessments   4.6  Records Archival      4.6.1  Types of event recorded      4.6.2  Retention period for archive      4.6.3  Protection of archive      4.6.4  Archive backup procedures      4.6.5  Requirements for time-stamping of records      4.6.6  Archive collection system (internal or external)      4.6.7  Procedures to obtain and verify archive informationChokhani & Ford              Informational                     [Page 35]

RFC 2527                          PKIX                        March 1999   4.7  Key changeover   4.8  Compromise and Disaster Recovery      4.8.1 Computing resources, software, and/or data are corrupted      4.8.2 Entity public key is revoked      4.8.3 Entity key is compromised      4.8.4 Secure facility after a natural or other type of disaster   4.9  CA Termination   5.  PHYSICAL, PROCEDURAL, AND PERSONNEL SECURITY CONTROLS (34)   5.1  Physical Controls      5.1.1  Site location and construction      5.1.2  Physical access      5.1.3  Power and air conditioning      5.1.4  Water exposures      5.1.5  Fire prevention and protection      5.1.6  Media storage      5.1.7  Waste disposal      5.1.8  Off-site backup   5.2  Procedural Controls      5.2.1  Trusted roles      5.2.2  Number of persons required per task      5.2.3  Identification and authentication for each role   5.3  Personnel Controls      5.3.1  Background, qualifications, experience, and  clearance             requirements      5.3.2  Background check procedures      5.3.3  Training requirements      5.3.4  Retraining frequency and requirements      5.3.5  Job rotation frequency and sequence      5.3.6  Sanctions for unauthorized actions      5.3.7  Contracting personnel requirements      5.3.8  Documentation supplied to personnel   6.  TECHNICAL SECURITY CONTROLS (34)   6.1  Key Pair Generation and Installation      6.1.1  Key pair generation      6.1.2  Private key delivery to entity      6.1.3  Public key delivery to certificate issuer      6.1.4  CA public key delivery to users      6.1.5  Key sizes      6.1.6  Public key parameters generation      6.1.7  Parameter quality checkingChokhani & Ford              Informational                     [Page 36]

RFC 2527                          PKIX                        March 1999      6.1.8  Hardware/software key generation      6.1.9  Key usage purposes (as per X.509 v3 key usage field)   6.2  Private Key Protection      6.2.1  Standards for cryptographic module      6.2.2  Private key (n out of m) multi-person control      6.2.3  Private key escrow      6.2.4  Private key backup      6.2.5  Private key archival      6.2.6  Private key entry into cryptographic module      6.2.7  Method of activating private key      6.2.8  Method of deactivating private key      6.2.9  Method of destroying private key   6.3  Other Aspects of Key Pair Management      6.3.1  Public key archival      6.3.2  Usage periods for the public and private keys   6.4  Activation Data      6.4.1  Activation data generation and installation      6.4.2  Activation data protection      6.4.3  Other aspects of activation data   6.5  Computer Security Controls      6.5.1  Specific computer security technical requirements      6.5.2  Computer security rating   6.6  Life Cycle Technical Controls      6.6.1  System development controls      6.6.2  Security management controls      6.6.3  Life cycle security ratings   6.7  Network Security Controls   6.8  Cryptographic Module Engineering Controls   7.  CERTIFICATE AND CRL PROFILES   7.1  Certificate Profile      7.1.1  Version number(s)      7.1.2  Certificate extensions      7.1.3  Algorithm object identifiers      7.1.4  Name forms      7.1.5  Name constraints      7.1.6  Certificate policy Object Identifier      7.1.7  Usage of Policy Constraints extension      7.1.8  Policy qualifiers syntax and semanticsChokhani & Ford              Informational                     [Page 37]

RFC 2527                          PKIX                        March 1999      7.1.9  Processing  semantics  for  the critical certificate policy             extension   7.2  CRL Profile      7.2.1  Version number(s)      7.2.2  CRL and CRL entry extensions   8.  SPECIFICATION ADMINISTRATION   8.1  Specification change procedures   8.2  Publication and notification policies   8.3  CPS approval proceduresChokhani & Ford              Informational                     [Page 38]

RFC 2527                          PKIX                        March 19996.  ACKNOWLEDGMENTS   The development of this document was supported by the Government of   Canada's Policy Management Authority (PMA) Committee, the National   Security Agency, the National Institute of Standards and Technology   (NIST), and the American Bar Association Information Security   Committee Accreditation Technical Working Group. Special thanks are   due to Dave Fillingham, Jim Brandt, and Edmond Van Hees for their   inspiration, support, and valuable inputs.   The following individuals also deserve credit for their review and   input:      Teresa Acevedo, A&N Associates;      Michael Baum; VeriSign;      Sharon Boeyen, Entrust;      Bob Burger, McCarter & English;      Bill Burr, NIST;      Patrick Cain, BBN;      Michael Harrop, Government of Canada Treasury Board;      Rick Hornbeck, Digital Commerce Services;      Francois Marinier, Domus Software;      John Morris, CygnaCom Solutions;      Tim Moses, Entrust;      Noel Nazario, NIST;      John Nicolletos, A&N Associates;      Jean Petty, CygnaCom Solutions;      Denis Pinkas, Bull;      J.-F. Sauriol, Domus Software;      Robert Shirey, BBN;      Mark Silvern, VeriSign;      David Simonetti, Booz, Allen and Hamilton; and      Darryl Stal, Entrust.   Johnny Hsiung, and Chris Miller assisted in the preparation of the   manuscript.Chokhani & Ford              Informational                     [Page 39]

RFC 2527                          PKIX                        March 19997.  REFERENCES   [ABA1] American Bar Association, Digital Signature Guidelines: Legal          Infrastructure for Certification Authorities and Electronic          Commerce, 1995.   [BAU1] Michael. S. Baum, Federal Certification Authority Liability          and Policy, NIST-GCR- 94-654, June 1994.   [ISO1] ISO/IEC 9594-8/ITU-T Recommendation X.509, "Information          Technology - Open Systems Interconnection: The Directory:          Authentication Framework," 1997 edition. (Pending publication          of 1997 edition, use 1993 edition with the following amendment          applied: Final Text of Draft Amendment DAM 1 to ISO/IEC 9594-8          on Certificate Extensions, June 1996.)   [PEM1] Kent, S., "Privacy Enhancement for Internet Electronic Mail,          Part II: Certificate-Based Key Management",RFC 1422, February          1993.   [PKI1] Housley, R., Ford, W., Polk, W. and D. Solo, "Internet X.509          Public Key Infrastructure, Certificate and CRL Profile",RFC2459, January 1999.8.  AUTHORS' ADDRESSES   Santosh Chokhani   CygnaCom Solutions, Inc.   Suite 100 West   7927 Jones Branch Drive   McLean, VA 22102   Phone: (703) 848-0883   Fax: (703) 848-0960   EMail: chokhani@cygnacom.com   Warwick Ford   VeriSign, Inc.   301 Edgewater Place, Suite 210   Wakefield, MA 01880   Phone: (781) 245-6996 x225   Fax: (781) 245-6006   EMail: wford@verisign.comChokhani & Ford              Informational                     [Page 40]

RFC 2527                          PKIX                        March 1999NOTES   1 The ABA Digital Signature Guidelines can be purchased from the ABA.     Seehttp://www.abanet.com for ordering details.   2 Examples of types of entity for subject CAs are a subordinate     organization (e.g., branch or division), a federal government     agency, or a state or provincial government department.   3 This statement can have significant implications.  For example,     suppose a bank claims that it issues CA certificates to its     branches only.  Now, the user of a CA certificate issued by the     bank can assume that the subject CA in the certificate is a branch     of the bank   4 Examples of the types of subject RA entities are branch and     division of an organization.   5 Examples of types of subject end entities are bank customers,     telephone company subscribers, and employees of a government     department   6 This statement can have significant implications.  For example,     suppose Government CA claims that it issues certificates to     Government employees only.  Now, the user of a certificate issued     by the Government CA can assume that the subject of the certificate     is a Government employee.   7 Examples include X.500 distinguished name, Internet e-mail address,     and URL.   8 The term "meaningful" means that the name form has commonly     understood semantics to determine identity of the person and/or     organization.  Directory names andRFC 822 names may be more or     less meaningful.   9 Examples of proof include the issuing CA generating the key, or     requiring the subject to send an electronically signed request or     to sign a challenge.   10 Examples of organization identity authentication are: articles of      incorporation, duly signed corporate resolutions, company seal,      and notarized documents.   11 Examples of individual identity authentication are: biometrics      (thumb print, ten finger print, face, palm, and retina scan),      driver's license, passport, credit card, company badge, and      government badge.Chokhani & Ford              Informational                     [Page 41]

RFC 2527                          PKIX                        March 1999   12 Examples include duly signed authorization papers or corporate ID      badge.   13 The identification policy for routine rekey should be the same as      the one for initial registration since the same subject needs      rekeying.  The rekey authentication may be accomplished using the      techniques for initial I&A or using digitally signed requests.   14 This identification and authentication policy could be the same as      that for initial registration.   15 This policy could be the same as the one for initial registration.   16 The identification policy for Revocation request could be the same      as that for initial registration since the same subject      certificate needs to be revoked.  The authentication policy could      accept a Revocation request digitally signed by subject.  The      authentication information used during initial registration could      be acceptable for Revocation request. Other less stringent      authentication policy could be defined.   17 The identification policy for key compromise notification could be      the same as the one for initial registration since the same      subject certificate needs to be revoked.  The authentication      policy could accept a Revocation request digitally signed by      subject.  The authentication information used during initial      registration could be acceptable for key compromise notification.      Other less stringent authentication policy could be defined.   18 The n out of m rule allows a key to be split in m parts.  The m      parts may be given to m different individuals.  Any n parts out of      the m parts may be used to fully reconstitute the key, but having      any n- 1 parts provides one with no information about the key.   19 A key may be escrowed, backed up or archived.  Each of these      functions have different purpose.  Thus, a key may go through any      subset of these functions depending on the requirements.  The      purpose of escrow is to allow a third party (such as an      organization or government) to legally obtain the key without the      cooperation of the subject.  The purpose of back up is to allow      the subject to reconstitute the key in case of the destruction of      the key.  The purpose of archive is to provide for reuse of the      key in future, e.g., use the private key to decrypt a document.   20 An example of activation data is a PIN or passphrase.   21 Examples of physical access controls are: monitored facility ,      guarded facility, locked facility, access controlled using tokens,Chokhani & Ford              Informational                     [Page 42]

RFC 2527                          PKIX                        March 1999      access controlled using biometrics, and access controlled through      an access list.   22 Examples of the roles include system administrator, system      security officer, and system auditor.  The duties of the system      administrator are to configure, generate, boot, and operate the      system.  The duties of the system security officer are to assign      accounts and privileges.  The duties of the system auditor are to      set up system audit profile, perform audit file management, and      audit review.   23 The background checks may include clearance level (e.g., none,      sensitive, confidential, secret, top secret, etc.) and the      clearance granting authority name.  In lieu of or in addition to a      defined clearance, the background checks may include types of      background information (e.g., name, place of birth, date of birth,      home address, previous residences, previous employment, and any      other information that may help determine trustworthiness).  The      description should also include which information was verified and      how.   24 For example, the certificate policy may impose personnel security      requirements on the network system administrator responsible for a      CA's network access.   25 Regardless of whether authorized persons are employees, practices      should be implemented to ensure that each authorized person is      held accountable for his/her actions.   26 A cryptographic module is hardware, software, or firmware or any      combination of them.   27 The compliance description should be specific and detailed.  For      example, for each FIPS 140-1 requirement, describe the level and      whether the level has been certified by an accredited laboratory.   28 Example of audit events are: request to create a certificate,      request to revoke a certificate, key compromise notification,      creation of a certificate, revocation of a certificate, issuance      of a certificate, issuance of a CRL, issuance of key compromise      CRL, establishment of trusted roles on the CA, actions of truste      personnel, changes to CA keys, etc.   29 Example of archive events are: request to create a certificate,      request to revoke a certificate, key compromise notification,      creation of a certificate, revocation of a certificate, issuance      of a certificate, issuance of a CRL, issuance of key compromise      CRL, and changes to CA keys.Chokhani & Ford              Informational                     [Page 43]

RFC 2527                          PKIX                        March 1999   30 A parent CA is an example of audit relationship.   31 Example of compliance audit topics: sample check on the various      I&A policies, comprehensive checks on key management policies,      comprehensive checks on system security controls, comprehensive      checks on operations policy, and comprehensive checks on      certificate profiles.   32 The examples include, temporary suspension of operations until      deficiencies are corrected, revocation of entity certificate,      change in personnel, invocation of liability policy, more frequent      compliance audit, etc.   33 An organization may choose not to make public some of its security      controls, clearance procedures, or some others elements due to      their sensitivity.   34 All or some of the following items may be different for the      various types of entities, i.e., CA, RA, and end entities.LIST OF ACRONYMS   ABA - American Bar Association   CA - Certification Authority   CPS - Certification Practice Statement   CRL - Certificate Revocation List   DAM - Draft Amendment   FIPS - Federal Information Processing Standard   I&A - Identification and Authentication   IEC - International Electrotechnical Commission   IETF - Internet Engineering Task Force   IP - Internet Protocol   ISO - International Organization for Standardization   ITU - International Telecommunications Union   NIST - National Institute of Standards and Technology   OID - Object Identifier   PIN - Personal Identification Number   PKI - Public Key Infrastructure   PKIX - Public Key Infrastructure (X.509) (IETF Working Group)   RA - Registration Authority   RFC - Request For Comment   URL - Uniform Resource Locator   US - United StatesChokhani & Ford              Informational                     [Page 44]

RFC 2527                          PKIX                        March 1999Full Copyright Statement   Copyright (C) The Internet Society (1999).  All Rights Reserved.   This document and translations of it may be copied and furnished to   others, and derivative works that comment on or otherwise explain it   or assist in its implementation may be prepared, copied, published   and distributed, in whole or in part, without restriction of any   kind, provided that the above copyright notice and this paragraph are   included on all such copies and derivative works.  However, this   document itself may not be modified in any way, such as by removing   the copyright notice or references to the Internet Society or other   Internet organizations, except as needed for the purpose of   developing Internet standards in which case the procedures for   copyrights defined in the Internet Standards process must be   followed, or as required to translate it into languages other than   English.   The limited permissions granted above are perpetual and will not be   revoked by the Internet Society or its successors or assigns.   This document and the information contained herein is provided on an   "AS IS" basis and THE INTERNET SOCIETY AND THE INTERNET ENGINEERING   TASK FORCE DISCLAIMS ALL WARRANTIES, EXPRESS OR IMPLIED, INCLUDING   BUT NOT LIMITED TO ANY WARRANTY THAT THE USE OF THE INFORMATION   HEREIN WILL NOT INFRINGE ANY RIGHTS OR ANY IMPLIED WARRANTIES OF   MERCHANTABILITY OR FITNESS FOR A PARTICULAR PURPOSE.Chokhani & Ford              Informational                     [Page 45]

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