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BEST CURRENT PRACTICE
Internet Engineering Task Force (IETF)                           S. KentRequest for Comments: 6484                                       D. KongBCP: 173                                                          K. SeoCategory: Best Current Practice                                 R. WatroISSN: 2070-1721                                         BBN Technologies                                                           February 2012Certificate Policy (CP) forthe Resource Public Key Infrastructure (RPKI)Abstract   This document describes the certificate policy for a Public Key   Infrastructure (PKI) used to support attestations about Internet   Number Resource (INR) holdings.  Each organization that distributes   IP addresses or Autonomous System (AS) numbers to an organization   will, in parallel, issue a (public key) certificate reflecting this   distribution.  These certificates will enable verification that the   resources indicated in the certificate have been distributed to the   holder of the associated private key and that this organization is   the current, unique holder of these resources.Status of This Memo   This memo documents an Internet Best Current Practice.   This document is a product of the Internet Engineering Task Force   (IETF).  It represents the consensus of the IETF community.  It has   received public review and has been approved for publication by the   Internet Engineering Steering Group (IESG).  Further information on   BCPs is available inSection 2 of RFC 5741.   Information about the current status of this document, any errata,   and how to provide feedback on it may be obtained athttp://www.rfc-editor.org/info/rfc6484.Copyright Notice   Copyright (c) 2012 IETF Trust and the persons identified as the   document authors.  All rights reserved.   This document is subject toBCP 78 and the IETF Trust's Legal   Provisions Relating to IETF Documents   (http://trustee.ietf.org/license-info) in effect on the date of   publication of this document.  Please review these documents   carefully, as they describe your rights and restrictions with respect   to this document.  Code Components extracted from this document mustKent, et al.              Best Current Practice                 [Page 1]

RFC 6484             Certificate Policy for the RPKI       February 2012   include Simplified BSD License text as described in Section 4.e of   the Trust Legal Provisions and are provided without warranty as   described in the Simplified BSD License.Table of Contents1. Introduction ....................................................61.1. Overview ...................................................71.2. Document Name and Identification ...........................71.3. PKI Participants ...........................................71.3.1. Certification Authorities ...........................81.3.2. Registration Authorities ............................81.3.3. Subscribers .........................................81.3.4. Relying Parties .....................................81.3.5. Other Participants ..................................81.4. Certificate Usage ..........................................91.4.1. Appropriate Certificate Uses ........................91.4.2. Prohibited Certificate Uses .........................91.5. Policy Administration ......................................91.5.1. Organization Administering the Document .............91.5.2. Contact Person ......................................91.5.4. CP Approval Procedures ..............................91.6. Definitions and Acronyms ..................................102. Publication and Repository Responsibilities ....................112.1. Repositories ..............................................112.2. Publication of Certification Information ..................112.3. Time or Frequency of Publication ..........................122.4. Access Controls on Repositories ...........................123. Identification and Authentication ..............................123.1. Naming ....................................................123.1.1. Types of Names .....................................123.1.2. Need for Names to Be Meaningful ....................123.1.3. Anonymity or Pseudonymity of Subscribers ...........133.1.4. Rules for Interpreting Various Name Forms ..........133.1.5. Uniqueness of Names ................................133.2. Initial Identity Validation ...............................133.2.1. Method to Prove Possession of the Private Key ......133.2.2. Authentication of Organization Identity ............133.2.3. Authentication of Individual Identity ..............143.2.4. Non-Verified Subscriber Information ................143.2.5. Validation of Authority ............................143.2.6. Criteria for Interoperation ........................143.3. Identification and Authentication for Re-Key Requests .....14           3.3.1. Identification and Authentication for                  Routine Re-Key .....................................14           3.3.2. Identification and Authentication for                  Re-Key after Revocation ............................153.4. Identification and Authentication for Revocation Request ..15Kent, et al.              Best Current Practice                 [Page 2]

RFC 6484             Certificate Policy for the RPKI       February 20124. Certificate Life-Cycle Operational Requirements ................164.1. Certificate Application ...................................164.1.1. Who Can Submit a Certificate Application ...........164.1.2. Enrollment Process and Responsibilities ............164.2. Certificate Application Processing ........................16           4.2.1. Performing Identification and                  Authentication Functions ...........................164.2.2. Approval or Rejection of Certificate Applications ..164.2.3. Time to Process Certificate Applications ...........174.3. Certificate Issuance ......................................174.3.1. CA Actions during Certificate Issuance .............17           4.3.2. Notification to Subscriber by the CA of                  Issuance of Certificate ............................174.4. Certificate Acceptance ....................................174.4.1. Conduct Constituting Certificate Acceptance ........174.4.2. Publication of the Certificate by the CA ...........17           4.4.3. Notification of Certificate Issuance by the                  CA to Other Entities ...............................174.5. Key Pair and Certificate Usage ............................184.5.1. Subscriber Private Key and Certificate Usage .......184.5.2. Relying Party Public Key and Certificate Usage .....184.6. Certificate Renewal .......................................184.6.1. Circumstance for Certificate Renewal ...............194.6.2. Who May Request Renewal ............................194.6.3. Processing Certificate Renewal Requests ............19           4.6.4. Notification of New Certificate Issuance to                  Subscriber .........................................19           4.6.5. Conduct Constituting Acceptance of a                  Renewal Certificate ................................194.6.6. Publication of the Renewal Certificate by the CA ...20           4.6.7. Notification of Certificate Issuance by the                  CA to Other Entities ...............................204.7. Certificate Re-Key ........................................204.7.1. Circumstance for Certificate Re-Key ................204.7.2. Who May Request Certification of a New Public Key ..204.7.3. Processing Certificate Re-Keying Requests ..........21           4.7.4. Notification of New Certificate Issuance to                  Subscriber .........................................21           4.7.5. Conduct Constituting Acceptance of a                  Re-Keyed Certificate ...............................214.7.6. Publication of the Re-Keyed Certificate by the CA ..21           4.7.7. Notification of Certificate Issuance by the                  CA to Other Entities ...............................214.8. Certificate Modification ..................................214.8.1. Circumstance for Certificate Modification ..........214.8.2. Who May Request Certificate Modification ...........214.8.3. Processing Certificate Modification Requests .......22Kent, et al.              Best Current Practice                 [Page 3]

RFC 6484             Certificate Policy for the RPKI       February 2012           4.8.4. Notification of New Certificate Issuance to                  Subscriber .........................................22           4.8.5. Conduct Constituting Acceptance of Modified                  Certificate ........................................224.8.6. Publication of the Modified Certificate by the CA ..22           4.8.7. Notification of Certificate Issuance by the                  CA to Other Entities ...............................224.9. Certificate Revocation and Suspension .....................224.9.1. Circumstances for Revocation .......................224.9.2. Who Can Request Revocation .........................224.9.3. Procedure for Revocation Request ...................234.9.4. Revocation Request Grace Period ....................23           4.9.5. Time within which CA Must Process the                  Revocation Request .................................23           4.9.6. Revocation Checking Requirement for Relying                  Parties ............................................234.9.7. CRL Issuance Frequency .............................234.9.8. Maximum Latency for CRLs ...........................234.10. Certificate Status Services ..............................245. Facility, Management, and Operational Controls .................245.1. Physical Controls .........................................245.1.1. Site Location and Construction .....................245.1.2. Physical Access ....................................245.1.3. Power and Air Conditioning .........................245.1.4. Water Exposures ....................................245.1.5. Fire Prevention and Protection .....................245.1.6. Media Storage ......................................245.1.7. Waste Disposal .....................................245.1.8. Off-Site Backup ....................................245.2. Procedural Controls .......................................245.2.1. Trusted Roles ......................................255.2.2. Number of Persons Required per Task ................255.2.3. Identification and Authentication for Each Role ....255.2.4. Roles Requiring Separation of Duties ...............255.3. Personnel Controls ........................................255.4. Audit Logging Procedures ..................................255.4.1. Types of Events Recorded ...........................255.4.2. Frequency of Processing Log ........................255.4.3. Retention Period for Audit Log .....................265.4.4. Protection of Audit Log ............................265.4.5. Audit Log Backup Procedures ........................265.4.8. Vulnerability Assessments ..........................265.6. Key Changeover ............................................265.7. CA or RA Termination ......................................266. Technical Security Controls ....................................266.1. Key Pair Generation and Installation ......................276.1.1. Key Pair Generation ................................276.1.2. Private Key Delivery to Subscriber .................27Kent, et al.              Best Current Practice                 [Page 4]

RFC 6484             Certificate Policy for the RPKI       February 20126.1.3. Public Key Delivery to Certificate Issuer ..........276.1.4. CA Public Key Delivery to Relying Parties ..........276.1.5. Key Sizes ..........................................27           6.1.6. Public Key Parameters Generation and                  Quality Checking ...................................28           6.1.7. Key Usage Purposes (as per X.509 v3 Key                  Usage Field) .......................................28      6.2. Private Key Protection and Cryptographic Module           Engineering Controls ......................................286.2.1. Cryptographic Module Standards and Controls ........286.2.2. Private Key (N out of M) Multi-Person Control ......286.2.3. Private Key Escrow .................................286.2.4. Private Key Backup .................................286.2.5. Private Key Archival ...............................28           6.2.6. Private Key Transfer into or from a                  Cryptographic Module ...............................296.2.7. Private Key Storage on Cryptographic Module ........296.2.8. Method of Activating a Private Key .................296.2.9. Method of Deactivating a Private Key ...............296.2.10. Method of Destroying a Private Key ................296.2.11. Cryptographic Module Rating .......................296.3. Other Aspects of Key Pair Management ......................296.3.1. Public Key Archival ................................29           6.3.2. Certificate Operational Periods and Key                  Pair Usage Periods .................................296.4. Activation Data ...........................................306.5. Computer Security Controls ................................306.6. Life-Cycle Technical Controls .............................306.6.1. System Development Controls ........................306.6.2. Security Management Controls .......................306.6.3. Life-Cycle Security Controls .......................306.7. Network Security Controls .................................306.8. Timestamping ..............................................307. Certificate and CRL Profiles ...................................318. Compliance Audit and Other Assessments .........................319. Other Business and Legal Matters ...............................319.12.  Amendments ..............................................319.12.1. Procedure for Amendment ...........................319.12.2. Notification Mechanism and Period .................319.12.3. Circumstances under Which OID Must Be Changed .....3210. Security Considerations .......................................3211. Acknowledgments ...............................................3312. References ....................................................3312.1. Normative References .....................................3312.2. Informative References ...................................33Kent, et al.              Best Current Practice                 [Page 5]

RFC 6484             Certificate Policy for the RPKI       February 20121.  Introduction   This document describes the certificate policy for a Public Key   Infrastructure (PKI) used to attest to Internet Number Resource (INR)   holdings (IP addresses or Autonomous System (AS) numbers).  An   organization that distributes INRs to another organization MAY, in   parallel, issue a (public key) certificate reflecting this   distribution.  These certificates will enable verification that the   resources indicated in the certificate have been distributed to the   holder of the associated private key and that this organization is   the current holder of these resources.   The most important and distinguishing aspect of the PKI for which   this policy was created is that it does not purport to identify an   INR holder via the subject name contained in the certificate issued   to that entity.  Rather, each certificate issued under this policy is   intended to enable an entity to assert, in a verifiable fashion, that   it is the current holder of an INR based on the current records of   the entity responsible for the resources in question.  Verification   of the assertion is based on two criteria: the ability of the entity   to digitally sign data that is verifiable using the public key   contained in the corresponding certificate, and validation of that   certificate in the context of this PKI.   This PKI is designed exclusively for use in support of validation of   claims related to current INR holdings.  This includes any   certificates issued in support of operation of this infrastructure,   e.g., for integrity or access control of the repository system   described inSection 2.4.  Such transitive uses of certificates also   are permitted under this policy.  Use of the certificates and   Certificate Revocation Lists (CRLs) managed under this PKI for any   other purpose is a violation of this CP, and relying parties (RPs)   SHOULD reject certificates presented for such uses.   Note: This document is based on the template specified inRFC 3647   [RFC3647], a product of the Internet Engineering Task Force (IETF)   stream.  In the interest of keeping the document as short as   reasonable, a number of sections contained in the template have been   omitted from this policy because they do not apply to this PKI.   However, we have retained the section numbering scheme employed inRFC 3647 to facilitate comparison with the outline inSection 6 of   RFC 3647.  Each of these omitted sections should be read as "No   stipulation" in Certificate Policy (CP) / Certification Practice   Statement (CPS) parlance.   The key words "MUST", "MUST NOT", "REQUIRED", "SHALL", "SHALL NOT",   "SHOULD", "SHOULD NOT", "RECOMMENDED", "MAY", and "OPTIONAL" in this   document are to be interpreted as described inRFC 2119 [RFC2119].Kent, et al.              Best Current Practice                 [Page 6]

RFC 6484             Certificate Policy for the RPKI       February 20121.1.  Overview   This PKI is designed to support validation of claims by current   holders of INRs, in accordance with the records of the organizations   that act as Certification Authorities (CAs) in this PKI.  The ability   to verify such claims is essential to ensuring the unambiguous   distribution of these resources [RFC6480].   The structure of the RPKI is congruent with the number resource   allocation framework of the Internet.  The IANA allocates number   resources to Regional Internet Registries (RIRs), to others, and for   special purposes [RFC5736].  The RIRs, in turn, manage the allocation   of number resources to end users, Internet Service Providers, and   others.   This PKI encompasses several types of certificates (see [RFC6487] for   more details):   o  CA certificates for each organization distributing INRs and for      INR holders   o  End-entity (EE) certificates for organizations to validate digital      signatures on RPKI signed objects1.2.  Document Name and Identification   The name of this document is "Certificate Policy (CP) for the   Resource PKI (RPKI)".   This policy has been assigned the following OID:   id-cp-ipAddr-asNumber OBJECT IDENTIFIER ::= { iso(1)                         identified-organization(3) dod(6) internet(1)                         security(5) mechanisms(5) pkix(7) cp(14) 2 }1.3.  PKI Participants   Note that in a PKI, the term "subscriber" refers to an individual or   organization that is a subject of a certificate issued by a CA.  The   term is used in this fashion throughout this document, without   qualification, and should not be confused with the networking use of   the term to refer to an individual or organization that receives   service from an ISP.  In such cases, the term "network subscriber"   will be used.  Also note that, for brevity, this document always   refers to PKI participants as organizations or entities, even though   some of them are individuals.Kent, et al.              Best Current Practice                 [Page 7]

RFC 6484             Certificate Policy for the RPKI       February 20121.3.1.  Certification Authorities   The organizations that distribute IP addresses and AS numbers (IANA,   RIRs, NIRs, ISPs) act as CAs in this PKI.   Organizations that do not distribute INRs but hold such resources   also act as CAs when they create EE certificates.1.3.2.  Registration Authorities   This PKI does not require establishment or use of a registration   authority (RA) function separate from the one provided inherently in   conjunction with the CA function.  The RA function MUST be provided   by the same entity operating as a CA, e.g., entities listed inSection 1.3.1.  An entity acting as a CA in this PKI already has a   formal relationship with each organization to which it distributes   INRs.  These entities (the CAs) already perform the RA function   implicitly since they already assume responsibility for distributing   INRs.1.3.3.  Subscribers   These are the organizations receiving distributions of INRs: RIRs,   NIRs, ISPs, and other organizations.   Note that any of these organizations may have received distributions   from more than one source over time.  This is true even for RIRs,   which participate in inter-registry exchanges of address space.  This   PKI accommodates such relationships.1.3.4.  Relying Parties   Entities or individuals that act in reliance on certificates or RPKI   signed objects issued under this PKI are relying parties.  Relying   parties may or may not be subscribers within this PKI.  (SeeSection1.6 for the definition of an RPKI signed object.)1.3.5.  Other Participants   Every organization that undertakes a role as a CA in this PKI is   responsible for populating the RPKI distributed repository system   with the certificates, CRLs, and RPKI signed objects that it issues.   The organization MAY operate its own publication point, or it MAY   outsource this function (see Sections2.1 and2.2).Kent, et al.              Best Current Practice                 [Page 8]

RFC 6484             Certificate Policy for the RPKI       February 20121.4.  Certificate Usage1.4.1.  Appropriate Certificate Uses   The certificates issued under this hierarchy are for authorization in   support of validation of claims of current holdings of INRs.   Additional uses of the certificates, consistent with the basic goal   cited above, also are permitted under this policy.  For example,   certificates may be issued in support of integrity and access control   for the repository system described inSection 2.4.  Such transitive   uses are permitted under this policy.1.4.2.  Prohibited Certificate Uses   Any uses other than those described inSection 1.4.1 are prohibited   under this policy.1.5.  Policy Administration1.5.1.  Organization Administering the Document   This CP is administered by   Internet Engineering Steering Group   c/o Internet Society   1775 Wiehle Avenue, Suite 201   Reston, VA 20190-5108   U.S.A.1.5.2.  Contact Person   The contact information is   EMail: iesg@ietf.org   Phone: +1-703-439-2120 (Internet Society)1.5.4.  CP Approval Procedures   If a replacement BCP is needed that updates or obsoletes the current   BCP, then the replacement BCP MUST be approved by the IESG following   the procedures of the IETF Standards Process as defined inRFC 2026   [RFC2026].Kent, et al.              Best Current Practice                 [Page 9]

RFC 6484             Certificate Policy for the RPKI       February 20121.6.  Definitions and Acronyms   CPS -  Certification Practice Statement.  A CPS is a document that          specifies the practices that a Certification Authority (CA)          employs in issuing certificates in this PKI.   Distribution of INRs - A process of distribution of the INRs along          the respective number hierarchy.  IANA distributes blocks of          IP addresses and AS numbers to the five Regional Internet          Registries (RIRs).  RIRs distribute smaller address blocks and          AS numbers to organizations within their service regions, who          in turn distribute IP addresses to their customers.   IANA - Internet Assigned Numbers Authority.  IANA is responsible for          global coordination of the IP addressing system and AS numbers          used for routing Internet traffic.  IANA distributes INRs to          Regional Internet Registries (RIRs).   INRs - Internet Number Resources.  INRs are number values for three          protocol parameter sets, namely:          o  IP version 4 addresses,          o  IP version 6 addresses, and          o  Identifiers used in Internet inter-domain routing,             currently Border Gateway Protocol-4 AS numbers.   ISP -  Internet Service Provider.  This is an organization managing          and providing Internet services to other organizations.   LIR -  Local Internet Registry.  In some regions, this term is used          to refer to what is called an ISP in other regions.   NIR -  National Internet Registry.  This is an organization that          manages the distribution of INRs for a portion of the          geopolitical area covered by a Regional Registry.  NIRs form          an optional second tier in the tree scheme used to manage          INRs.   RIR -  Regional Internet Registry.  This is an organization that          manages the distribution of INRs for a geopolitical area.Kent, et al.              Best Current Practice                [Page 10]

RFC 6484             Certificate Policy for the RPKI       February 2012   RPKI signed object - An RPKI signed object is a digitally signed data          object (other than a certificate or CRL) that is declared to          be such by a Standards Track RFC, and that can be validated          using certificates issued under this PKI.  The content and          format of these data constructs depend on the context in which          validation of claims of current holdings of INRs takes place.          Examples of these objects are repository manifests [RFC6486]          and Route Origin Authorizations (ROAs) [RFC6482].2.  Publication and Repository Responsibilities2.1.  Repositories   Certificates, CRLs, and RPKI signed objects (intended for public   consumption) MUST be made available for downloading by all relying   parties, to enable them to validate this data.  This motivates use of   a robust, distributed repository system.  Each CA MUST maintain a   publicly accessible online repository and publish all RPKI-signed   objects (intended for public consumption) via this repository in a   manner that conforms with "A Profile for Resource Certificate   Repository Structure" [RFC6481].  (This function MAY be outsourced,   as noted inSection 2.2 below.)  The collection of repositories forms   the RPKI distributed repository system.2.2.  Publication of Certification Information   Each CA MUST publish the certificates (intended for public   consumption) that it issues via the repository system.   Each CA MUST publish the CRLs (intended for public consumption) that   it issues via the repository system.   Each CA MUST publish its RPKI signed objects (intended for public   consumption) via the repository system.   Each CA that issues certificates to entities outside of its   administrative domain SHOULD create and publish a CPS that meets the   requirements set forth in this CP.  Publication means that the   entities to which the CA issues certificates MUST be able to acquire   a copy of the CPS, and MUST be able to ascertain when the CPS   changes.  (An organization that does not allocate or assign INRs does   not need to create or publish a CPS.)   An organization MAY choose to outsource publication of RPKI data --   certificates, CRLs, and other RPKI signed objects.   The CP will be published as an IETF-stream RFC and will be available   from the RFC repository.Kent, et al.              Best Current Practice                [Page 11]

RFC 6484             Certificate Policy for the RPKI       February 20122.3.  Time or Frequency of Publication   The CPS for each CA MUST specify the following information:   The period of time within which a certificate will be published after   the CA issues the certificate.   The period of time within which a CA will publish a CRL with an entry   for a revoked certificate after it revokes that certificate.   Expired and revoked certificates SHOULD be removed from the RPKI   repository system, upon expiration or revocation, respectively.   Also, please note that each CA MUST publish its CRL prior to the   nextUpdate value in the scheduled CRL previously issued by the CA.2.4.  Access Controls on Repositories   Each CA or repository operator MUST implement access controls to   prevent unauthorized persons from adding, modifying, or deleting   repository entries.  A CA or repository operator MUST NOT   intentionally use technical means of limiting read access to its CPS,   certificates, CRLs, or RPKI signed objects.  This data is intended to   be accessible to the public.3.  Identification and Authentication3.1.  Naming3.1.1.  Types of Names   The distinguished name for every CA and end-entity consists of a   single CommonName (CN) attribute with a value generated by the issuer   of the certificate.  Optionally, the serialNumber attribute MAY be   included along with the common name (to form a terminal relative   distinguished name set), to distinguish among successive instances of   certificates associated with the same entity.3.1.2.  Need for Names to Be Meaningful   The subject name in each certificate SHOULD NOT be "meaningful",   i.e., the name is not intended to convey the identity of the subject   to relying parties.  The rationale here is that certificates issued   under this PKI are used for authorization in support of applications   that make use of attestations of INR holdings.  They are not used to   identify subjects.Kent, et al.              Best Current Practice                [Page 12]

RFC 6484             Certificate Policy for the RPKI       February 20123.1.3.  Anonymity or Pseudonymity of Subscribers   Although subject (and issuer) names need not be meaningful, and may   appear "random," anonymity is not a function of this PKI; thus, no   explicit support for this feature is provided.3.1.4.  Rules for Interpreting Various Name Forms   None.3.1.5.  Uniqueness of Names   There is no guarantee that subject names are globally unique in this   PKI.  Each CA certifies subject names that MUST be unique among the   certificates it issues.  Although it is desirable that these subject   names be unique throughout the PKI, name uniqueness within the RPKI   cannot be guaranteed.   However, subject names in certificates SHOULD be constructed in a way   that minimizes the chances that two entities in the RPKI will be   assigned the same name.  The RPKI Certificate Profile [RFC6487]   provides an example of how to generate (meaningless) subject names in   a way that minimizes the likelihood of collisions.3.2.  Initial Identity Validation3.2.1.  Method to Prove Possession of the Private Key   Each CA operating within the context of this PKI MUST require each   subject to demonstrate proof of possession (PoP) of the private key   corresponding to the public key in the certificate, prior to issuing   the certificate.  The means by which PoP is achieved is determined by   each CA and MUST be declared in the CPS of that CA.3.2.2.  Authentication of Organization Identity   Each CA operating within the context of this PKI MUST employ   procedures to ensure that each certificate it issues accurately   reflects its records with regard to the organization to which the CA   has distributed the INRs identified in the certificate.  The specific   procedures employed for this purpose MUST be described by the CPS for   each CA.  Relying parties can expect each CA to employ procedures   commensurate with those it already employs as a registry or ISP in   the management of the INRs.  This authentication is solely for use by   each CA in dealing with the organizations to which it distributes   INRs, and thus should not be relied upon outside of this   CA-subscriber relationship.Kent, et al.              Best Current Practice                [Page 13]

RFC 6484             Certificate Policy for the RPKI       February 20123.2.3.  Authentication of Individual Identity   Each CA operating within the context of this PKI MUST employ   procedures to identify at least one individual as a representative of   each organization that is an INR holder.  The specific means by which   each CA authenticates individuals as representatives for an   organization MUST be described by the CPS for each CA.  Relying   parties can expect each CA to employ procedures commensurate with   those it already employs as a registry or ISP in authenticating   individuals as representatives for INR holders.3.2.4.  Non-Verified Subscriber Information   A CA MUST NOT include any non-verified subscriber data in   certificates issued under this certificate policy except for Subject   Information Access (SIA) extensions.3.2.5.  Validation of Authority   Each CA operating within the context of this PKI MUST employ   procedures to verify that an individual claiming to represent an   organization to which a certificate is issued is authorized to   represent that organization in this context.  The procedures MUST be   described by the CPS for the CA.  Relying parties can expect each CA   to employ procedures commensurate with those it already employs as a   registry or ISP, in authenticating individuals as representatives for   INR holders.3.2.6.  Criteria for Interoperation   This PKI is neither intended nor designed to interoperate with any   other PKI.3.3.  Identification and Authentication for Re-Key Requests3.3.1.  Identification and Authentication for Routine Re-Key   Each CA operating within the context of this PKI MUST employ   procedures to ensure that an organization requesting a re-key is the   legitimate holder of the certificate to be re-keyed and the   associated INRs, and MUST require PoP of the private key   corresponding to the new public key.  The procedures employed for   these purposes MUST be described in the CPS for the CA.  With respect   to authentication of the holder of the INRs, relying parties can   expect each CA to employ procedures commensurate with those it   already employs as a registry or ISP, in the management of INRs.Kent, et al.              Best Current Practice                [Page 14]

RFC 6484             Certificate Policy for the RPKI       February 2012   Note: An issuer MAY choose to require periodic re-keying consistent   with contractual agreements with the recipient.  If so, this MUST be   described by the CPS for the CA.3.3.2.  Identification and Authentication for Re-Key after Revocation   Each CA operating within the context of this PKI MUST employ   procedures to ensure that an organization requesting a re-key after   revocation is the same entity to which the revoked certificate was   issued and is the legitimate holder of the associated INR.  The CA   MUST require PoP of the private key corresponding to the new public   key.  The specific procedures employed for these purposes MUST be   described by the CPS for the CA.  With respect to authentication of   the holder of the INRs, relying parties can expect each CA to employ   procedures commensurate with those it already employs as a registry   or ISP, in the management of INRs.  Note that there MAY be different   procedures for the case where the legitimate subject still possesses   the original private key as opposed to the case when it no longer has   access to that key.3.4.  Identification and Authentication for Revocation Request   Each CA operating within the context of this PKI MUST employ   procedures to ensure that:   o  an organization requesting revocation is the legitimate holder of      the certificate to be revoked.   o  each certificate it revokes accurately reflects its records with      regard to the organization to which the CA has distributed the      INRs identified in the certificate.   o  an individual claiming to represent an organization for which a      certificate is to be revoked is authorized to represent that      organization in this context.   The specific procedures employed for these purposes MUST be described   by the CPS for the CA.  Relying parties can expect each CA to employ   procedures commensurate with those it already employs as a registry   or ISP, in the management of INRs.Kent, et al.              Best Current Practice                [Page 15]

RFC 6484             Certificate Policy for the RPKI       February 20124.  Certificate Life-Cycle Operational Requirements4.1.  Certificate Application4.1.1.  Who Can Submit a Certificate Application   Any entity that distributes INRs SHOULD acquire a certificate.  This   includes Internet Registries and ISPs.  Additionally, entities that   hold INRs from an Internet Registry, or that are multi-homed, MAY   acquire a certificate under this PKI.  The (CA) certificates issued   to these entities MUST include one or both of the extensions defined   byRFC 3779 [RFC3779], "X.509 Extensions for IP Addresses and AS   Identifiers", as appropriate.   The application procedure MUST be described in the CPS for each CA.4.1.2.  Enrollment Process and Responsibilities   The enrollment process and procedures MUST be described by the CPS   for each CA.  An entity that desires one or more certificates should   contact the organization from which it receives its INRs.4.2.  Certificate Application Processing   CAs SHOULD make use of existing standards for certificate application   processing.Section 6 of the Resource Certificate Profile [RFC6487]   defines the standard certificate request formats that MUST be   supported.   Each CA MUST define via its CPS, the certificate request/response   standards that it employs.4.2.1.  Performing Identification and Authentication Functions   Existing practices employed by registries and ISPs to identify and   authenticate organizations that receive INRs form the basis for   issuance of certificates to these subscribers.  It is important to   note that the Resource PKI SHOULD NOT be used to authenticate the   identity of an organization, but rather to bind subscribers to the   INRs they hold.  Because identity is not being vouched for by this   PKI, certificate application procedures need not verify legal   organization names, etc.4.2.2.  Approval or Rejection of Certificate Applications   Certificate applications MUST be approved based on the normal   business practices of the entity operating the CA, based on the CA's   records of INR holders.  Each CA MUST follow the procedures specifiedKent, et al.              Best Current Practice                [Page 16]

RFC 6484             Certificate Policy for the RPKI       February 2012   inSection 3.2.1 to verify that the requester holds the private key   corresponding to the public key that will be bound to the certificate   the CA issues to the requester.  The details of how certificate   applications are approved MUST be described in the CPS for the CA in   question.4.2.3.  Time to Process Certificate Applications   No stipulation.  As part of its CPS, each CA MUST declare its   expected time frame to process (approve, issue, and publish) a   certificate application.4.3.  Certificate Issuance4.3.1.  CA Actions during Certificate Issuance   If a CA determines that the request is acceptable, it MUST issue the   corresponding certificate and publish it in the RPKI distributed   repository system via publication of the certificate at the CA's   repository publication point.4.3.2.  Notification to Subscriber by the CA of Issuance of Certificate   The CA MUST notify the subscriber when the certificate is published.   The means by which a subscriber is notified MUST be defined by each   CA in its CPS.4.4.  Certificate Acceptance4.4.1.  Conduct Constituting Certificate Acceptance   Within the timeframe specified in its CPS, the CA MUST place the   certificate in the repository and notify the subscriber.  This MAY be   done without subscriber review and acceptance.  Each CA MUST state in   its CPS the procedures it follows for publishing of the certificate   and notification to the subscriber.4.4.2.  Publication of the Certificate by the CA   Certificates MUST be published in the RPKI distributed repository   system via publication of the certificate at the CA's repository   publication point as per the conduct described inSection 4.4.1.  The   procedures for publication MUST be defined by each CA in its CPS.4.4.3.  Notification of Certificate Issuance by the CA to Other Entities   The CPS of each CA MUST indicate whether any other entities will be   notified when a certificate is issued.Kent, et al.              Best Current Practice                [Page 17]

RFC 6484             Certificate Policy for the RPKI       February 20124.5.  Key Pair and Certificate Usage   A summary of the use model for the RPKI is provided below.4.5.1.  Subscriber Private Key and Certificate Usage   Each holder of an INR is eligible to request an X.509 [X.509] CA   certificate containing appropriateRFC 3779 extensions.  Holders of   CA resource certificates also MAY issue EE certificates to themselves   to enable verification of RPKI signed objects that they generate.4.5.2.  Relying Party Public Key and Certificate Usage   Reliance on a certificate must be reasonable under the circumstances.   If the circumstances indicate a need for additional assurances, the   relying party must obtain such assurances in order for such reliance   to be deemed reasonable.   Before any act of reliance, relying parties MUST independently (1)   verify that the certificate will be used for an appropriate purpose   that is not prohibited or otherwise restricted by this CP (seeSection 1.4), and (2) assess the status of the certificate and all   the certificates in the chain (terminating at a trust anchor (TA)   accepted by the RP) that issued the certificates relevant to the   certificate in question.  If any of the certificates in the   certificate chain have been revoked or have expired, the relying   party is solely responsible for determining whether reliance on a   digital signature to be verified by the certificate in question is   acceptable.  Any such reliance is made solely at the risk of the   relying party.   If a relying party determines that use of the certificate is   appropriate, the relying party must utilize appropriate software   and/or hardware to perform digital signature verification as a   condition of relying on the certificate.  Moreover, the relying party   MUST validate the certificate in a manner consistent with the RPKI   Certificate Profile [RFC6487], which specifies the extended   validation algorithm for RPKI certificates.4.6.  Certificate Renewal   This section describes the procedures for certificate renewal.   Certificate renewal is the issuance of a new certificate to replace   an old one prior to its expiration.  Only the validity dates and the   serial number (the field in the certificate, not the DN attribute)   are changed.  The public key and all other information remain the   same.Kent, et al.              Best Current Practice                [Page 18]

RFC 6484             Certificate Policy for the RPKI       February 20124.6.1.  Circumstance for Certificate Renewal   A certificate MUST be processed for renewal based on its expiration   date or a renewal request from the subscriber.  Prior to the   expiration of an existing subscriber's certificate, it is the   responsibility of the subscriber to renew the certificate to maintain   continuity of certificate usage.  If the issuing CA initiates the   renewal process based on the certificate expiration date, then that   CA MUST notify the holder in advance of the renewal process.  The   validity interval of the new (renewed) certificate SHOULD overlap   that of the previous certificate to ensure continuity of certificate   usage.  It is RECOMMENDED that the renewed certificate be issued and   published at least 1 week prior to the expiration of the certificate   it replaces.   Certificate renewal SHOULD incorporate the same public key as the   previous certificate, unless the private key has been reported as   compromised.  If a new key pair is being used, the stipulations ofSection 4.7 apply.4.6.2.  Who May Request Renewal   Only the certificate holder or the issuing CA may initiate the   renewal process.  The certificate holder MAY request an early   renewal, for example, if it expects to be unavailable to support the   renewal process during the normal expiration period.  An issuing CA   MAY initiate the renewal process based on the certificate expiration   date.4.6.3.  Processing Certificate Renewal Requests   Renewal procedures MUST ensure that the person or organization   seeking to renew a certificate is in fact the subscriber (or   authorized by the subscriber) of the certificate and the legitimate   holder of the INR associated with the renewed certificate.  Renewal   processing MUST verify that the certificate in question has not been   revoked.4.6.4.  Notification of New Certificate Issuance to Subscriber   No additional stipulations beyond those ofSection 4.3.2.4.6.5.  Conduct Constituting Acceptance of a Renewal Certificate   No additional stipulations beyond those ofSection 4.4.1.Kent, et al.              Best Current Practice                [Page 19]

RFC 6484             Certificate Policy for the RPKI       February 20124.6.6.  Publication of the Renewal Certificate by the CA   No additional stipulations beyond those ofSection 4.4.2.4.6.7.  Notification of Certificate Issuance by the CA to Other Entities   No additional stipulations beyond those ofSection 4.4.3.4.7.  Certificate Re-Key   This section describes the procedures for certificate re-key.   Certificate re-key is the issuance of a new certificate to replace an   old one because the key needs to be replaced.  Unlike with   certificate renewal, the public key is changed.4.7.1.  Circumstance for Certificate Re-Key   Re-key of a certificate SHOULD be performed only when required, based   on:   1. knowledge or suspicion of compromise or loss of the associated      private key, or   2. the expiration of the cryptographic lifetime of the associated key      pair   A CA re-key operation has dramatic consequences, requiring the   reissuance of all certificates issued by the re-keyed entity.  So it   should be performed only when necessary and in a way that preserves   the ability of relying parties to validate certificates whose   validation path includes the re-keyed entity.  CA key rollover MUST   follow the procedures defined in "CA Key Rollover in the RPKI"   [RFC6489].   Note that if a certificate is revoked to replace theRFC 3779   extensions, the replacement certificate MUST incorporate the same   public key rather than a new key.  This applies when one is adding   INRs (revocation not required) and when one is removing INRs   (revocation required (seeSection 4.8.1)).   If the re-key is based on a suspected compromise, then the previous   certificate MUST be revoked.4.7.2.  Who May Request Certification of a New Public Key   The holder of the certificate may request a re-key.  In addition, the   CA that issued the certificate MAY choose to initiate a re-key based   on a verified compromise report.Kent, et al.              Best Current Practice                [Page 20]

RFC 6484             Certificate Policy for the RPKI       February 20124.7.3.  Processing Certificate Re-Keying Requests   The re-key process follows the general procedures of certificate   generation as defined inSection 4.3.4.7.4.  Notification of New Certificate Issuance to Subscriber   No additional stipulations beyond those ofSection 4.3.2.4.7.5.  Conduct Constituting Acceptance of a Re-Keyed Certificate   No additional stipulations beyond those ofSection 4.4.1.4.7.6.  Publication of the Re-Keyed Certificate by the CA   No additional stipulations beyond those ofSection 4.4.2.4.7.7.  Notification of Certificate Issuance by the CA to Other Entities   No additional stipulations beyond those ofSection 4.4.3.4.8.  Certificate Modification4.8.1.  Circumstance for Certificate Modification   Modification of a certificate occurs to implement changes to selected   attribute values in a certificate.  In the context of the RPKI, the   only changes that are accommodated by certificate modification are   changes to the INR holdings described by theRFC 3779 extension(s)   and changes to the SIA extension.   When a certificate modification is approved, a new certificate is   issued.  If no INR holdings are removed from the certificate, the new   certificate MUST contain the same public key and the same expiration   date as the original certificate, but with the SIA extension and/or   the INR set expanded.  In this case, revocation of the previous   certificate is not required.   When previously distributed INRs are removed from a certificate, then   the old certificate MUST be revoked and a new certificate MUST be   issued, reflecting the changed INR holdings.  (The SIA extension in   the new certificate will be unchanged, unless the affected INR holder   supplies a new SIA value.)4.8.2.  Who May Request Certificate Modification   Either the certificate holder or the issuer may initiate the   certificate modification process.Kent, et al.              Best Current Practice                [Page 21]

RFC 6484             Certificate Policy for the RPKI       February 20124.8.3.  Processing Certificate Modification Requests   The CA MUST determine that the requested modification is appropriate   and that the procedures for the issuance of a new certificate are   followed (seeSection 4.3).4.8.4.  Notification of New Certificate Issuance to Subscriber   No additional stipulations beyond those ofSection 4.3.2.4.8.5.  Conduct Constituting Acceptance of Modified Certificate   No additional stipulations beyond those ofSection 4.4.1.4.8.6.  Publication of the Modified Certificate by the CA   No additional stipulations beyond those ofSection 4.4.2.4.8.7.  Notification of Certificate Issuance by the CA to Other Entities   No additional stipulations beyond those ofSection 4.4.3.4.9.  Certificate Revocation and Suspension4.9.1.  Circumstances for Revocation   A certificate MUST be revoked (and published on a CRL) if there is   reason to believe that there has been a compromise of a subscriber's   private key.  A certificate also MAY be revoked to invalidate a data   object signed by the private key associated with that certificate.   Other circumstances that justify revocation of a certificate MAY be   specified in a CA's CPS.   Note:  If new INRs are being added to an organization's existing   distribution, the old certificate need not be revoked.  Instead, a   new certificate MAY be issued with both the old and the new resources   and the old key.  If INRs are being removed or if there has been a   key compromise, then the old certificate MUST be revoked (and a   re-key MUST be performed in the event of key compromise).4.9.2.  Who Can Request Revocation   This MUST be defined in the CPS of the organization that issued the   certificate.Kent, et al.              Best Current Practice                [Page 22]

RFC 6484             Certificate Policy for the RPKI       February 20124.9.3.  Procedure for Revocation Request   A subscriber MAY submit a request to the certificate issuer for a   revocation.  This request MUST identify the certificate to be revoked   and MUST be authenticated.  The procedures for making the request   MUST be described in the CPS for each CA.  The RPKI provisioning   document [RFC6492] describes a protocol that MAY be used to make   revocation requests.   A certificate issuer MUST notify the subscriber when revoking a   certificate.  The notification requirement is satisfied by CRL   publication.  The CPS for a CA MUST indicate the means by which the   CA will inform a subscriber of certificate revocation.4.9.4.  Revocation Request Grace Period   A subscriber SHOULD request revocation as soon as possible after the   need for revocation has been identified.  There is no specified grace   period for the subscriber in this process.4.9.5.  Time within which CA Must Process the Revocation Request   No stipulation.  Each CA SHOULD specify its expected revocation   processing time in its CPS.4.9.6.  Revocation Checking Requirement for Relying Parties   A relying party MUST acquire and check the most recent, scheduled CRL   from the issuer of the certificate, whenever the relying party   validates a certificate.4.9.7.  CRL Issuance Frequency   The CRL issuance frequency MUST be determined by each CA and stated   in its CPS.  Each CRL carries a nextScheduledUpdate value, and a new   CRL MUST be published at or before that time.  A CA MUST set the   nextUpdate value when it issues a CRL to signal when the next   scheduled CRL will be issued.4.9.8.  Maximum Latency for CRLs   The CPS for each CA MUST specify the maximum latency associated with   posting its CRL to the repository system.Kent, et al.              Best Current Practice                [Page 23]

RFC 6484             Certificate Policy for the RPKI       February 20124.10.  Certificate Status Services   This PKI does not make provision for use of the Online Certificate   Status Protocol (OCSP) [RFC2560] or Server-Based Certificate   Validation Protocol (SCVP) [RFC5055].  This is because it is   anticipated that the primary RPs (ISPs) will acquire and validate   certificates for all participating resource holders.  These protocols   are not designed for such large-scale, bulk certificate status   checking.  RPs MUST check for new CRLs at least daily.  It is   RECOMMENDED that RPs perform this check several times per day, but no   more than 8-12 times per day (to avoid excessive repository   accesses).5.  Facility, Management, and Operational Controls5.1.  Physical Controls   Each CA MUST maintain physical security controls for its operation   that are commensurate with those employed by the organization in the   management of INR distribution.  The physical controls employed for   CA operation MUST be specified in its CPS.  Possible topics to be   covered in the CPS are shown below.  (These sections are taken from   [RFC3647].)5.1.1.  Site Location and Construction5.1.2.  Physical Access5.1.3.  Power and Air Conditioning5.1.4.  Water Exposures5.1.5.  Fire Prevention and Protection5.1.6.  Media Storage5.1.7.  Waste Disposal5.1.8.  Off-Site Backup5.2.  Procedural Controls   Each CA MUST maintain procedural security controls that are   commensurate with those employed by the organization in the   management of INR distribution.  The procedural security controls   employed for CA operation MUST be specified in its CPS.  Possible   topics to be covered in the CPS are shown below.  (These sections are   taken from [RFC3647].)Kent, et al.              Best Current Practice                [Page 24]

RFC 6484             Certificate Policy for the RPKI       February 20125.2.1.  Trusted Roles5.2.2.  Number of Persons Required per Task5.2.3.  Identification and Authentication for Each Role5.2.4.  Roles Requiring Separation of Duties5.3.  Personnel Controls   Each CA MUST maintain personnel security controls that are   commensurate with those employed by the organization in the   management of INR distribution.  The details for each CA MUST be   specified in its CPS.5.4.  Audit Logging Procedures   Details of how a CA implements the audit logging described in   Sections5.4.1 to5.4.8 MUST be addressed in its CPS.5.4.1.  Types of Events Recorded   Audit records MUST be generated for the basic operations of the   certification authority computing equipment.  Audit records MUST   include the date, time, responsible user or process, and summary   content data relating to the event.  Auditable events include:   o  Access to CA computing equipment (e.g., logon, logout)   o  Messages received requesting CA actions  (e.g., certificate      requests, certificate revocation requests, compromise      notifications)   o  Certificate creation, modification, revocation, or renewal actions   o  Posting of any material to a repository   o  Any attempts to change or delete audit data   o  Key generation   o  Software and/or configuration updates to the CA   o  Clock adjustments5.4.2.  Frequency of Processing Log   Each CA MUST establish its own procedures for review of audit logs.Kent, et al.              Best Current Practice                [Page 25]

RFC 6484             Certificate Policy for the RPKI       February 20125.4.3.  Retention Period for Audit Log   Each CA MUST establish its own polices for retention of audit logs.5.4.4.  Protection of Audit Log   The audit log SHOULD be protected based on current industry   standards.5.4.5.  Audit Log Backup Procedures   The audit log SHOULD be backed up based on current industry   standards.5.4.8.  Vulnerability Assessments   The RPKI subsystems of a registry or ISP SHOULD participate in any   vulnerability assessments that these organizations run as part of   their normal business practice.5.6.  Key Changeover   When a CA wishes to change keys, it MUST acquire a new certificate   containing its new public key.  See [RFC6489] for a description of   how key changeover is effected in the RPKI.5.7.  CA or RA Termination   In the RPKI, each subscriber acts as a CA for the specified INRs that   were distributed to that entity.  Procedures associated with the   termination of a CA MUST be described in the CPS for that CA.  These   procedures MUST include a provision to notify each entity that issued   a certificate to the organization that is operating the CA that is   terminating.   Since the RA function MUST be provided by the same entity operating   as the CA (seeSection 1.3.2), there are no separate stipulations for   RAs.6.  Technical Security Controls   The organizations that distribute INRs to network subscribers are   authoritative for these distributions.  This PKI is designed to   enable ISPs and network subscribers to demonstrate that they are the   holders of the INRs that have been distributed to them.  Accordingly,   the security controls used by CAs and subscribers for this PKI need   only to be as secure as those that apply to the procedures for   administering the distribution of INR data by the extantKent, et al.              Best Current Practice                [Page 26]

RFC 6484             Certificate Policy for the RPKI       February 2012   organizations.  Details of each CA's security controls MUST be   described in the CPS issued by the CA.6.1.  Key Pair Generation and Installation6.1.1.  Key Pair Generation   In most instances, public key pairs will be generated by the subject,   i.e., the organization receiving the distribution of INRs.  However,   some CAs MAY offer to generate key pairs on behalf of their subjects   at the request of the subjects, e.g., to accommodate subscribers who   do not have the ability to perform key generation in a secure   fashion.  (The CA has to check the quality of the keys only if it   generates them; seeSection 6.1.6.)  Since the keys used in this PKI   are not for non-repudiation purposes, generation of key pairs by CAs   does not inherently undermine the security of the PKI.  Each CA MUST   describe its key pair generation procedures in its CPS.6.1.2.  Private Key Delivery to Subscriber   If a CA provides key pair generation services for subscribers, its   CPS MUST describe the means by which private keys are delivered to   subscribers in a secure fashion.6.1.3.  Public Key Delivery to Certificate Issuer   When a public key is transferred to the issuing CA to be certified,   it MUST be delivered through a mechanism ensuring that the public key   has not been altered during transit and that the subscriber possesses   the private key corresponding to the transferred public key.6.1.4.  CA Public Key Delivery to Relying Parties   CA public keys for all entities (other than trust anchors) are   contained in certificates issued by other CAs.  These certificates   MUST be published in the RPKI distributed repository system.  Relying   parties download these certificates from the repositories.  Public   key values and associated data for (putative) trust anchors are   distributed out of band and accepted by relying parties on the basis   of locally defined criteria.6.1.5.  Key Sizes   The algorithms and key sizes used in the RPKI are specified in "A   Profile for Algorithms and Key Sizes for Use in the Resource Public   Key Infrastructure" [RFC6485].Kent, et al.              Best Current Practice                [Page 27]

RFC 6484             Certificate Policy for the RPKI       February 20126.1.6.  Public Key Parameters Generation and Quality Checking   The public key parameters used in the RPKI are specified in   [RFC6485].  Each subscriber is responsible for performing checks on   the quality of its key pair.  A CA is not responsible for performing   such checks for subscribers except in the case where the CA generates   the key pair on behalf of the subscriber.6.1.7.  Key Usage Purposes (as per X.509 v3 Key Usage Field)   The Key usage extension bit values used in the RPKI are specified in   RPKI Certificate Profile [RFC6487].6.2.  Private Key Protection and Cryptographic Module Engineering      Controls6.2.1.  Cryptographic Module Standards and Controls   The cryptographic module standards and controls employed by each CA   MUST be described in the CPS issued by that CA.6.2.2.  Private Key (N out of M) Multi-Person Control   CAs MAY employ multi-person controls to constrain access to their   private keys, but this is not a requirement for all CAs in the PKI.   The CPS for each CA MUST describe which, if any, multi-person   controls it employs.6.2.3.  Private Key Escrow   No private key escrow procedures are required for the RPKI.6.2.4.  Private Key Backup   Because of the adverse operational implications associated with the   loss of use of a CA private key in the PKI, each CA MUST employ a   secure means to back up its private keys.  The details of the   procedures for backing up a CA's private key MUST be described in the   CPS issued by the CA.6.2.5.  Private Key Archival   The details of the process and procedures used to archive the CA's   private key MUST be described in the CPS issued by the CA.Kent, et al.              Best Current Practice                [Page 28]

RFC 6484             Certificate Policy for the RPKI       February 20126.2.6.  Private Key Transfer into or from a Cryptographic Module   The details of the process and procedures used to transfer the CA's   private key into or from a cryptographic module MUST be described in   the CPS issued by the CA.6.2.7.  Private Key Storage on Cryptographic Module   The details of the process and procedures used to store the CA's   private key on a cryptographic module and protect it from   unauthorized use MUST be described in the CPS issued by the CA.6.2.8.  Method of Activating a Private Key   The details of the process and procedures used to activate the CA's   private key MUST be described in the CPS issued by the CA.6.2.9.  Method of Deactivating a Private Key   The details of the process and procedures used to deactivate the CA's   private key MUST be described in the CPS issued by the CA.6.2.10.  Method of Destroying a Private Key   The details of the process and procedures used to destroy the CA's   private key MUST be described in the CPS issued by the CA.6.2.11.  Cryptographic Module Rating   The security rating of the cryptographic module MUST be described in   the CPS issued by the CA.6.3.  Other Aspects of Key Pair Management6.3.1.  Public Key Archival   Because this PKI does not support non-repudiation, there is no need   to archive public keys.6.3.2.  Certificate Operational Periods and Key Pair Usage Periods   The INRs held by a CA may periodically change when it receives new   distributions.  To minimize disruption, the CA key pair MUST NOT   change when INRs are added to its certificate.   If ISP and network-subscriber certificates are tied to the duration   of service agreements, these certificates should have validity   periods commensurate with the duration of these agreements.  In anyKent, et al.              Best Current Practice                [Page 29]

RFC 6484             Certificate Policy for the RPKI       February 2012   case, the validity period for certificates MUST be chosen by the   issuing CA and described in its CPS.6.4.  Activation Data   Each CA MUST document in its CPS how it will generate, install, and   protect its activation data.6.5.  Computer Security Controls   Each CA MUST document the technical security requirements it employs   for CA computer operation in its CPS.6.6.  Life-Cycle Technical Controls6.6.1.  System Development Controls   The CPS for each CA MUST document any system development controls   required by that CA, if applicable.6.6.2.  Security Management Controls   The CPS for each CA MUST document the security controls applied to   the software and equipment used for this PKI.  These controls MUST be   commensurate with those used for the systems used by the CAs for   managing the INRs.6.6.3.  Life-Cycle Security Controls   The CPS for each CA MUST document how the equipment (hardware and   software) used for this PKI will be procured, installed, maintained,   and updated.  This MUST be done in a fashion commensurate with the   way in which equipment for the management and distribution of INRs is   handled.6.7.  Network Security Controls   The CPS for each CA MUST document the network security controls   employed for CA operation.  These MUST be commensurate with the   protection it employs for the computers used for managing   distribution of INRs.6.8.  Timestamping   The RPKI does not make use of timestamping.Kent, et al.              Best Current Practice                [Page 30]

RFC 6484             Certificate Policy for the RPKI       February 20127.  Certificate and CRL Profiles   Please refer to the RPKI Certificate and CRL Profile [RFC6487].8.  Compliance Audit and Other Assessments   The certificate policy for a typical PKI defines the criteria against   which prospective CAs are evaluated and establishes requirements that   they must meet.  In this PKI, the CAs are already authoritative for   the management of INRs, and the PKI simply supports verification of   the distribution of these resources to network subscribers.   Accordingly, whatever audit and other assessments are already used to   ensure the security of the management of INRs is sufficient for this   PKI.  The CPS for each CA MUST describe what audits and other   assessments are used.9.  Other Business and Legal Matters   As noted throughout this certificate policy, the organizations   managing the distribution of INRs are authoritative in their roles as   managers of this data.  They MUST operate this PKI to allow the   holders of INRs to generate digitally signed data that attest to   these distributions.  Therefore, the manner in which the   organizations in question manage their business and legal matters for   this PKI MUST be commensurate with the way in which they already   manage business and legal matters in their existing roles.  Since   there is no single set of responses to this section that would apply   to all organizations, the topics listed in Sections4.9.1 to4.9.11   and 4.9.13 to 4.9.17 ofRFC 3647 SHOULD be covered in the CPS issued   by each CA, although not every CA may choose to address all of these   topics.  Please note that the topics in the above sections ofRFC3647 become sections9.1 to9.11 and9.13 to9.17 in the CPS.9.12.  Amendments9.12.1.  Procedure for Amendment   The procedure for amending this CP is via written notice from the   IESG in the form of a new (BCP) RFC that updates or obsoletes this   document.9.12.2.  Notification Mechanism and Period   Successive versions of the CP will be published with the following   statement:      This CP takes effect on MM/DD/YYYY.Kent, et al.              Best Current Practice                [Page 31]

RFC 6484             Certificate Policy for the RPKI       February 2012   MM/DD/YYYY MUST be a minimum of 6 months from the date of   publication.9.12.3.  Circumstances under Which OID Must Be Changed   If the IESG judges that changes to the CP do not materially reduce   the acceptability of certificates issued for RPKI purposes, there   will be no change to the CP OID.  If the IESG judges that changes to   the CP do materially change the acceptability of certificates for   RPKI purposes, then there MUST be a new CP OID.10.  Security Considerations   According to X.509, a certificate policy (CP) is "a named set of   rules that indicates the applicability of a certificate to a   particular community and/or class of applications with common   security requirements." A CP may be used by a relying party to help   in deciding whether a certificate and the binding therein are   sufficiently trustworthy and otherwise appropriate for a particular   application.  This document describes the CP for the Resource Public   Key Infrastructure (RPKI).  There are separate documents (CPSs) that   cover the factors that determine the degree to which a relying party   can trust the binding embodied in a certificate.  The degree to which   such a binding can be trusted depends on several factors, e.g., the   practices followed by the CA in authenticating the subject; the CA's   operating policy, procedures, and technical security controls,   including the scope of the subscriber's responsibilities (for   example, in protecting the private key), and the stated   responsibilities and liability terms and conditions of the CA (for   example, warranties, disclaimers of warranties, and limitations of   liability).   Since name uniqueness within the RPKI cannot be guaranteed, there is   a risk that two or more CAs in the RPKI will issue certificates and   CRLs under the same issuer name.  Path validation implementations   that conform to the resource certification path validation algorithm   (see [RFC6487]) verify that the same key was used to sign both the   target (the resource certificate) and the corresponding CRL.  So, a   name collision will not change the result.  Use of the basic X.509   path validation algorithm, which assumes name uniqueness, could   result in a revoked certificate being accepted as valid or a valid   certificate being rejected as revoked.  Relying parties must ensure   that the software they use to validate certificates issued under this   policy verifies that the same key was used to sign both the   certificate and the corresponding CRL, as specified in [RFC6487].Kent, et al.              Best Current Practice                [Page 32]

RFC 6484             Certificate Policy for the RPKI       February 201211.  Acknowledgments   The authors would like to thank Geoff Huston, Randy Bush, Andrei   Robachevsky, and other members of the RPKI community for reviewing   this document and Matt Lepinski for his help with the formatting.12.  References12.1.  Normative References   [RFC2119]   Bradner, S., "Key words for use in RFCs to Indicate               Requirement Levels",BCP 14,RFC 2119, March 1997.   [RFC2026]   Bradner, S., "The Internet Standards Process -- Revision               3",BCP 9,RFC 2026, October 1996.   [RFC3779]   Lynn, C., Kent, S., and K. Seo, "X.509 Extensions for IP               Addresses and AS Identifiers",RFC 3779, June 2004.   [RFC6481]   Huston, G., Loomans, R., and G. Michaelson, "A Profile               for Resource Certificate Repository Structure",RFC 6481,               February 2012.   [RFC6485]   Huston, G., "The Profile for Algorithms and Key Sizes for               Use in the Resource Public Key Infrastructure (RPKI)",RFC 6485, February 2012.   [RFC6487]   Huston, G., Michaelson, G., and R. Loomans, "A Profile               for X.509 PKIX Resource Certificates",RFC 6487, February               2012.   [RFC6489]   Huston, G., Michaelson, G., and S. Kent, "CA Key Rollover               in the RPKI",BCP 174,RFC 6489, February 2012.12.2.  Informative References   [RFC2560]   Myers, M., Ankney, R., Malpani, A., Galperin, S., and C.               Adams, "X.509 Internet Public Key Infrastructure Online               Certificate Status Protocol - OCSP",RFC 2560, June 1999.   [RFC3647]   Chokhani, S., Ford, W., Sabett, R., Merrill, C., and S.               Wu, "Internet X.509 Public Key Infrastructure Certificate               Policy and Certification Practices Framework",RFC 3647,               November 2003.   [RFC5055]   Freeman, T., Housley, R., Malpani, A., Cooper, D., and W.               Polk, "Server-Based Certificate Validation Protocol               (SCVP)",RFC 5055, December 2007.Kent, et al.              Best Current Practice                [Page 33]

RFC 6484             Certificate Policy for the RPKI       February 2012   [RFC5736]   Huston, G., Cotton, M., and L. Vegoda, "IANA IPv4 Special               Purpose Address Registry",RFC 5736, January 2010.   [RFC6480]   Lepinski, M. and S. Kent, "An Infrastructure to Support               Secure Internet Routing",RFC 6480, February 2012.   [RFC6482]   Lepinski, M., Kent, S., and D. Kong, "A Profile for Route               Origin Authorizations (ROAs)",RFC 6482, February 2012.   [RFC6486]   Austein, R., Huston, G., Kent, S., and M. Lepinski,               "Manifests for the Resource Public Key Infrastructure               (RPKI)",RFC 6486, February 2012.   [RFC6492]   Huston, G., Loomans, R., Ellacott, B., and R. Austein, "A               Protocol for Provisioning Resource Certificates",RFC6492, February 2012.   [X.509]     ITU-T Recommendation X.509 | ISO/IEC 9594-8, "Information               technology -- Open systems interconnection -- The               Directory: Public-key and attribute certificate               frameworks", November 2008.Kent, et al.              Best Current Practice                [Page 34]

RFC 6484             Certificate Policy for the RPKI       February 2012Authors' Addresses   Stephen Kent   BBN Technologies   10 Moulton Street   Cambridge MA 02138   USA   Phone: +1 617 873 3988   EMail: skent@bbn.com   Derrick Kong   BBN Technologies   Moulton Street   Cambridge MA 02138   USA   Phone: +1 617 873 1951   EMail: dkong@bbn.com   Karen Seo   BBN Technologies   10 Moulton Street   Cambridge MA 02138   USA   Phone: +1 617 873 3152   EMail: kseo@bbn.com   Ronald Watro   BBN Technologies   10 Moulton Street   Cambridge MA 02138   USA   Phone: +1 617 873 2551   EMail: rwatro@bbn.comKent, et al.              Best Current Practice                [Page 35]

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