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BEST CURRENT PRACTICE
Internet Engineering Task Force (IETF)                           S. KentRequest for Comments: 7382                                       D. KongBCP: 173                                                          K. SeoCategory: Best Current Practice                         BBN TechnologiesISSN: 2070-1721                                               April 2015Template for a Certification Practice Statement (CPS)for the Resource PKI (RPKI)Abstract   This document contains a template to be used for creating a   Certification Practice Statement (CPS) for an organization that is   part of the Resource Public Key Infrastructure (RPKI), e.g., a   resource allocation registry or an ISP.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/rfc7382.Copyright Notice   Copyright (c) 2015 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 must   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.Kent, et al.              Best Current Practice                 [Page 1]

RFC 7382                Template CPS for the RPKI             April 2015Table of Contents   Preface ............................................................81. Introduction ....................................................91.1. Overview ..................................................101.2. Document Name and Identification ..........................101.3. PKI Participants ..........................................111.3.1. Certification Authorities ..........................111.3.2. Registration Authorities ...........................111.3.3. Subscribers ........................................111.3.4. Relying Parties ....................................111.3.5. Other Participants .................................121.4. Certificate Usage .........................................121.4.1. Appropriate Certificate Uses .......................121.4.2. Prohibited Certificate Uses ........................121.5. Policy Administration .....................................121.5.1. Organization Administering the Document ............121.5.2. Contact Person .....................................121.5.3. Person Determining CPS Suitability for the Policy ..121.5.4. CPS Approval Procedures ............................131.6. Definitions and Acronyms ..................................132. Publication and Repository Responsibilities ....................142.1. Repositories ..............................................142.2. Publication of Certification Information ..................142.3. Time or Frequency of Publication ..........................142.4. Access Controls on Repositories ...........................153. Identification and Authentication ..............................153.1. Naming ....................................................153.1.1. Types of Names .....................................153.1.2. Need for Names to Be Meaningful ....................153.1.3. Anonymity or Pseudonymity of Subscribers ...........153.1.4. Rules for Interpreting Various Name Forms ..........153.1.5. Uniqueness of Names ................................16           3.1.6. Recognition, Authentication, and Role of                  Trademarks .........................................163.2. Initial Identity Validation ...............................163.2.1. Method to Prove Possession of Private Key ..........163.2.2. Authentication of Organization Identity ............163.2.3. Authentication of Individual Identity ..............173.2.4. Non-verified Subscriber Information ................173.2.5. Validation of Authority ............................173.2.6. Criteria for Interoperation ........................17Kent, et al.              Best Current Practice                 [Page 2]

RFC 7382                Template CPS for the RPKI             April 20153.3. Identification and Authentication for Re-key Requests .....18           3.3.1. Identification and Authentication for                  Routine Re-key .....................................18           3.3.2. Identification and Authentication for                  Re-key after Revocation ............................183.4. Identification and Authentication for Revocation Request ..184. Certificate Life Cycle Operational Requirements ................184.1. Certificate Application ...................................184.1.1. Who Can Submit a Certificate Application ...........184.1.2. Enrollment Process and Responsibilities ............194.2. Certificate Application Processing ........................19           4.2.1. Performing Identification and                  Authentication Functions ...........................194.2.2. Approval or Rejection of Certificate Applications ..194.2.3. Time to Process Certificate Applications ...........194.3. Certificate Issuance ......................................194.3.1. CA Actions during Certificate Issuance .............19           4.3.2. Notification to Subscriber by the CA of                  Issuance of Certificate ............................20           4.3.3. Notification of Certificate Issuance by the                  CA to Other Entities ...............................204.4. Certificate Acceptance ....................................204.4.1. Conduct Constituting Certificate Acceptance ........204.4.2. Publication of the Certificate by the CA ...........20           4.4.3. Notification of Certificate Issuance by the                  CA to Other Entities ...............................204.5. Key Pair and Certificate Usage ............................204.5.1. Subscriber Private Key and Certificate Usage .......204.5.2. Relying Party Public Key and Certificate Usage .....214.6. Certificate Renewal .......................................214.6.1. Circumstance for Certificate Renewal ...............214.6.2. Who May Request Renewal ............................214.6.3. Processing Certificate Renewal Requests ............22           4.6.4. Notification of New Certificate Issuance to                  Subscriber .........................................22           4.6.5. Conduct Constituting Acceptance of a                  Renewal Certificate ................................224.6.6. Publication of the Renewal Certificate by the CA ...22           4.6.7. Notification of Certificate Issuance by the                  CA to Other Entities ...............................224.7. Certificate Re-key ........................................224.7.1. Circumstance for Certificate Re-key ................224.7.2. Who May Request Certification of a New Public Key ..234.7.3. Processing Certificate Re-keying Requests ..........23           4.7.4. Notification of New Certificate Issuance to                  Subscriber .........................................23Kent, et al.              Best Current Practice                 [Page 3]

RFC 7382                Template CPS for the RPKI             April 2015           4.7.5. Conduct Constituting Acceptance of a                  Re-keyed Certificate ...............................234.7.6. Publication of the Re-keyed Certificate by the CA ..23           4.7.7. Notification of Certificate Issuance by the                  CA to Other Entities ...............................234.8. Certificate Modification ..................................234.8.1. Circumstance for Certificate Modification ..........234.8.2. Who May Request Certificate Modification ...........244.8.3. Processing Certificate Modification Requests .......24           4.8.4. Notification of Modified Certificate                  Issuance to Subscriber .............................24           4.8.5. Conduct Constituting Acceptance of Modified                  Certificate ........................................244.8.6. Publication of the Modified Certificate by the CA ..24           4.8.7. Notification of Certificate Issuance by the                  CA to Other Entities ...............................244.9. Certificate Revocation and Suspension .....................254.9.1. Circumstances for Revocation .......................254.9.2. Who Can Request Revocation .........................254.9.3. Procedure for Revocation Request ...................254.9.4. Revocation Request Grace Period ....................25           4.9.5. Time within Which CA Must Process the                  Revocation Request .................................25           4.9.6. Revocation Checking Requirement for Relying                  Parties ............................................254.9.7. CRL Issuance Frequency .............................264.9.8. Maximum Latency for CRLs ...........................264.10. Certificate Status Services ..............................265. Facility, Management, and Operational Controls .................265.1. Physical Controls .........................................265.1.1. Site Location and Construction .....................265.1.2. Physical Access ....................................265.1.3. Power and Air Conditioning .........................265.1.4. Water Exposures ....................................265.1.5. Fire Prevention and Protection .....................265.1.6. Media Storage ......................................265.1.7. Waste Disposal .....................................265.1.8. Off-Site Backup ....................................265.2. Procedural Controls .......................................275.2.1. Trusted Roles ......................................275.2.2. Number of Persons Required per Task ................275.2.3. Identification and Authentication for Each Role ....275.2.4. Roles Requiring Separation of Duties ...............27Kent, et al.              Best Current Practice                 [Page 4]

RFC 7382                Template CPS for the RPKI             April 20155.3. Personnel Controls ........................................27           5.3.1. Qualifications, Experience, and Clearance                  Requirements .......................................275.3.2. Background Check Procedures ........................275.3.3. Training Requirements ..............................275.3.4. Retraining Frequency and Requirements ..............275.3.5. Job Rotation Frequency and Sequence ................275.3.6. Sanctions for Unauthorized Actions .................275.3.7. Independent Contractor Requirements ................275.3.8. Documentation Supplied to Personnel ................275.4. Audit Logging Procedures ..................................285.4.1. Types of Events Recorded ...........................285.4.2. Frequency of Processing Log ........................285.4.3. Retention Period for Audit Log .....................285.4.4. Protection of Audit Log ............................285.4.5. Audit Log Backup Procedures ........................28           5.4.6. Audit Collection System (Internal vs.                  External) [OMITTED] ................................295.4.7. Notification to Event-Causing Subject [OMITTED] ....295.4.8. Vulnerability Assessments ..........................295.5. Records Archival [OMITTED] ................................295.6. Key Changeover ............................................295.7. Compromise and Disaster Recovery ..........................295.8. CA or RA Termination ......................................296. Technical Security Controls ....................................296.1. Key Pair Generation and Installation ......................296.1.1. Key Pair Generation ................................296.1.2. Private Key Delivery to Subscriber .................306.1.3. Public Key Delivery to Certificate Issuer ..........306.1.4. CA Public Key Delivery to Relying Parties ..........306.1.5. Key Sizes ..........................................30           6.1.6. Public Key Parameter Generation and Quality                  Checking ...........................................30           6.1.7. Key Usage Purposes (as per X.509 v3 Key                  Usage Field) .......................................30      6.2. Private Key Protection and Cryptographic Module           Engineering Controls ......................................316.2.1. Cryptographic Module Standards and Controls ........316.2.2. Private Key (n out of m) Multi-Person Control ......316.2.3. Private Key Escrow .................................316.2.4. Private Key Backup .................................316.2.5. Private Key Archival ...............................31           6.2.6. Private Key Transfer into or from a                  Cryptographic Module ...............................316.2.7. Private Key Storage on Cryptographic Module ........316.2.8. Method of Activating Private Key ...................32Kent, et al.              Best Current Practice                 [Page 5]

RFC 7382                Template CPS for the RPKI             April 20156.2.9. Method of Deactivating Private Key .................326.2.10. Method of Destroying Private Key ..................326.2.11. Cryptographic Module Rating .......................326.3. Other Aspects of Key Pair Management ......................326.3.1. Public Key Archival ................................32           6.3.2. Certificate Operational Periods and Key                  Pair Usage Periods .................................326.4. Activation Data ...........................................326.4.1. Activation Data Generation and Installation ........326.4.2. Activation Data Protection .........................326.4.3. Other Aspects of Activation Data ...................336.5. Computer Security Controls ................................336.6. Life Cycle Technical Controls .............................336.6.1. System Development Controls ........................336.6.2. Security Management Controls .......................336.6.3. Life Cycle Security Controls .......................336.7. Network Security Controls .................................336.8. Time-Stamping .............................................337. Certificate and CRL Profiles ...................................338. Compliance Audit and Other Assessments .........................349. Other Business and Legal Matters ...............................349.1. Fees ......................................................349.1.1. Certificate Issuance or Renewal Fees ...............349.1.2. Certificate Access Fees [OMITTED] ..................34           9.1.3. Revocation or Status Information Access                  Fees [OMITTED] .....................................349.1.4. Fees for Other Services (if Applicable) ............349.1.5. Refund Policy ......................................349.2. Financial Responsibility ..................................349.2.1. Insurance Coverage .................................349.2.2. Other Assets .......................................349.2.3. Insurance or Warranty Coverage for End-Entities ....349.3. Confidentiality of Business Information ...................349.3.1. Scope of Confidential Information ..................34           9.3.2. Information Not within the Scope of                  Confidential Information ...........................34           9.3.3. Responsibility to Protect Confidential                  Information ........................................349.4. Privacy of Personal Information ...........................349.4.1. Privacy Plan .......................................349.4.2. Information Treated as Private .....................359.4.3. Information Not Deemed Private .....................359.4.4. Responsibility to Protect Private Information ......359.4.5. Notice and Consent to Use Private Information ......35           9.4.6. Disclosure Pursuant to Judicial or                  Administrative Process .............................359.4.7. Other Information Disclosure Circumstances .........35Kent, et al.              Best Current Practice                 [Page 6]

RFC 7382                Template CPS for the RPKI             April 20159.5. Intellectual Property Rights (if Applicable) ..............359.6. Representations and Warranties ............................359.6.1. CA Representations and Warranties ..................359.6.2. Subscriber Representations and Warranties ..........359.6.3. Relying Party Representations and Warranties .......359.7. Disclaimers of Warranties .................................359.8. Limitations of Liability ..................................359.9. Indemnities ...............................................359.10. Term and Termination .....................................359.10.1. Term ..............................................359.10.2. Termination .......................................359.10.3. Effect of Termination and Survival ................359.11. Individual Notices and Communications with Participants ..359.12. Amendments ...............................................359.12.1. Procedure for Amendment ...........................359.12.2. Notification Mechanism and Period .................359.13. Dispute Resolution Provisions ............................359.14. Governing Law ............................................359.15. Compliance with Applicable Law ...........................369.16. Miscellaneous Provisions .................................369.16.1. Entire Agreement ..................................369.16.2. Assignment ........................................369.16.3. Severability ......................................36           9.16.4. Enforcement (Attorneys' Fees and Waiver of                   Rights) ...........................................369.16.5. Force Majeure .....................................3610. Security Considerations .......................................3611. References ....................................................3711.1. Normative References .....................................3711.2. Informative References ...................................37   Acknowledgments ...................................................38   Authors' Addresses ................................................38Kent, et al.              Best Current Practice                 [Page 7]

RFC 7382                Template CPS for the RPKI             April 2015Preface   This RFC contains text intended for use as a template as designated   below by the markers <BEGIN TEMPLATE TEXT> and <END TEMPLATE TEXT>.   Such Template Text is subject to the provisions ofSection 9(b) of   the Trust Legal Provisions.   This document contains a template to be used for creating a   Certification Practice Statement (CPS) for an organization that is   part of the Resource Public Key Infrastructure (RPKI).  (Throughout   this document, the term "organization" is used broadly, e.g., the   entity in question might be a business unit of a larger   organization.)   There is no expectation that a CPS will be published as an RFC.  An   organization will publish the CPS in a manner appropriate for access   by the users of the RPKI, e.g., on the organization's web site.  As a   best current practice, organizations are expected to use this   template instead of creating one from scratch.  This template   contains both text that SHOULD appear in all Certification Practice   Statements and places for text specific to the organization in   question (indicated by <text in angle brackets>).   The user of this document should:   1. Extract the text between the <BEGIN TEMPLATE TEXT> and      <END TEMPLATE TEXT> delimiters.   2. Replace the instructions between the angle brackets with the      required information.   This document has been generated to complement the Certificate Policy   (CP) for the RPKI [RFC6484].  LikeRFC 6484, it is based on the   template specified inRFC 3647 [RFC3647].  A number of sections   contained in the template were omitted from this CPS because they did   not apply to this PKI.  However, we have retained the section   numbering scheme employed in that RFC to facilitate comparison with   the section numbering scheme employed in that RFC and inRFC 6484.   Conventions Used in This Document:   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 in [RFC2119].Kent, et al.              Best Current Practice                 [Page 8]

RFC 7382                Template CPS for the RPKI             April 2015<BEGIN TEMPLATE TEXT>   <Create a title page saying, e.g., "<Name of organization>   Certification Practice Statement for the Resource Public Key   Infrastructure (RPKI)" with date, author, etc.>   <Create a table of contents.>1.  Introduction   This document is the Certification Practice Statement (CPS) of <name   of organization>.  It describes the practices employed by the <name   of organization> Certification Authority (CA) in the Resource Public   Key Infrastructure (RPKI).  These practices are defined in accordance   with the requirements of the Certificate Policy (CP) [RFC6484] for   the RPKI.   The RPKI is designed to support validation of claims by current   holders of Internet Number Resources (INRs) (Section 1.6) in   accordance with the records of the organizations that act as CAs in   this PKI.  The ability to verify such claims is essential to ensuring   the unique, unambiguous distribution of these resources.   This PKI parallels the existing INR distribution hierarchy.  These   resources are distributed by the Internet Assigned Numbers Authority   (IANA) to the Regional Internet Registries (RIRs).  In some regions,   National Internet Registries (NIRs) form a tier of the hierarchy   below the RIRs for INR distribution.  Internet Service Providers   (ISPs) and network subscribers form additional tiers below   registries.   Conventions Used in This Document:   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 in [RFC2119].Kent, et al.              Best Current Practice                 [Page 9]

RFC 7382                Template CPS for the RPKI             April 20151.1.  Overview   This CPS describes:   o  Participants   o  Publication of the certificates and Certificate Revocation Lists      (CRLs)   o  How certificates are issued, managed, re-keyed, renewed, and      revoked   o  Facility management (physical security, personnel, audit, etc.)   o  Key management   o  Audit procedures   o  Business and legal issues   This PKI encompasses several types of certificates (see [RFC6480] for   more details):   o  CA certificates for each organization distributing INRs and for      each subscriber INR holder.   o  End-entity (EE) certificates for organizations to use to validate      digital signatures on RPKI-signed objects (see definition inSection 1.6).   o  In the future, the PKI also may include end-entity certificates in      support of access control for the repository system as described      inSection 2.4.1.2.  Document Name and Identification   The name of this document is "<Name of organization> Certification   Practice Statement for the Resource Public Key Infrastructure   (RPKI)".  <If this document is available via the Internet, the CA can   provide the URI for the CPS here.  It SHOULD be the same URI as the   URI that appears as a policy qualifier in the CA certificate for the   CA, if the CA elects to make use of that feature.>Kent, et al.              Best Current Practice                [Page 10]

RFC 7382                Template CPS for the RPKI             April 20151.3.  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.1.3.1.  Certification Authorities   <Describe the CAs that you will operate for the RPKI.  One approach   is to operate two CAs: one designated "offline" and the other   designated "production".  The offline CA is the top-level CA for the   <name of organization> portion of the RPKI.  It provides a secure   revocation and recovery capability in case the production CA is   compromised or becomes unavailable.  Thus, the offline CA issues   certificates only to instances of the production CA, and the CRLs it   issues are used to revoke only certificates issued to the production   CA.  The production CA is used to issue RPKI certificates to <name of   organization> members, to whom INRs have been distributed.>1.3.2.  Registration Authorities   <Describe how the Registration Authority (RA) function is handled for   the CA(s) that you operate.  The RPKI does not require establishment   or use of a separate Registration Authority in addition to 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 organizations   already perform the RA function implicitly, since they already assume   responsibility for distributing INRs.>1.3.3.  Subscribers   Organizations receiving INR allocations from this CA are subscribers   in the RPKI.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.   (SeeSection 1.6 for the definition of an RPKI-signed object.)Kent, et al.              Best Current Practice                [Page 11]

RFC 7382                Template CPS for the RPKI             April 20151.3.5.  Other Participants   <Specify one or more entities that operate a repository holding   certificates, CRLs, and other RPKI-signed objects issued by this   organization, and provide a URL for the repository.>1.4.  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, are also permitted underRFC 6484.   Some of the certificates that may be issued under this PKI could be   used to support operation of this infrastructure, e.g., access   control for the repository system as described inSection 2.4.  Such   uses also are permitted under the RPKI certificate policy.1.4.2.  Prohibited Certificate Uses   Any uses other than those described inSection 1.4.1 are prohibited.1.5.  Policy Administration1.5.1.  Organization Administering the Document   This CPS is administered by <name of organization>.  <Include the   mailing address, email address, and similar contact info here.>1.5.2.  Contact Person   <Insert organization contact info here.>1.5.3.  Person Determining CPS Suitability for the Policy   Not applicable.  Each organization issuing a certificate in this PKI   is attesting to the distribution of INRs to the holder of the private   key corresponding to the public key in the certificate.  The issuing   organizations are the same organizations as the ones that perform the   distribution; hence, they are authoritative with respect to the   accuracy of this binding.Kent, et al.              Best Current Practice                [Page 12]

RFC 7382                Template CPS for the RPKI             April 20151.5.4.  CPS Approval Procedures   Not applicable.  Each organization issuing a certificate in this PKI   is attesting to the distribution of INRs to the holder of the private   key corresponding to the public key in the certificate.  The issuing   organizations are the same organizations as the ones that perform the   distribution; hence, they are authoritative with respect to the   accuracy of this binding.1.6.  Definitions and Acronyms   BPKI   Business PKI.  A BPKI is an optional additional PKI used by an          organization to identify members to whom RPKI certificates can          be issued.  If a BPKI is employed by a CA, it may have its own          CP, separate from the RPKI CP.   CP     Certificate Policy.  A 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.  The CP for the RPKI is [RFC6484].   CPS    Certification Practice Statement.  A CPS is a document that          specifies the practices that a Certification Authority employs          in issuing certificates.   Distribution of INRs   A process of distribution of the INRs along          the respective number hierarchy.  IANA distributes blocks of          IP addresses and Autonomous System Numbers (ASNs) to the five          Regional Internet Registries (RIRs).  RIRs distribute smaller          address blocks and Autonomous System 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 Internet Protocol addressing          systems and ASNs used for routing Internet traffic.  IANA          distributes INRs to 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 ASNs.Kent, et al.              Best Current Practice                [Page 13]

RFC 7382                Template CPS for the RPKI             April 2015   ISP    Internet Service Provider.  An ISP is an organization managing          and selling Internet services to other organizations.   NIR    National Internet Registry.  An NIR is an organization that          manages the distribution of INRs for a portion of the          geopolitical area covered by a Regional Internet Registry.          NIRs form an optional second tier in the tree scheme used to          manage INR distribution.   RIR    Regional Internet Registry.  An RIR is an organization that          manages the distribution of INRs for a geopolitical area.   RPKI-signed object   An RPKI-signed object is a digitally signed data          object (other than a certificate or CRL) declared to be such          an object by a Standards Track RFC.  An RPKI-signed object 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   As per the CP, certificates, CRLs, and RPKI-signed objects MUST be   made available for downloading by all relying parties, to enable them   to validate this data.   The <name of organization> RPKI CA will publish certificates, CRLs,   and RPKI-signed objects via a repository that is accessible via   <insert IETF-designated protocol name here> at <insert URL here>.   This repository will conform to the structure described in [RFC6481].2.2.  Publication of Certification Information   <Name of organization> will publish certificates, CRLs, and   RPKI-signed objects issued by it to a repository that operates as   part of a worldwide distributed system of RPKI repositories.2.3.  Time or Frequency of Publication   <Describe here your procedures for publication (to the global   repository system) of the certificates, CRLs, and RPKI-signed objects   that you issue.  If you choose to outsource publication of PKI data,   you still need to provide this information for relying parties.  This   MUST include the period of time within which a certificate will beKent, et al.              Best Current Practice                [Page 14]

RFC 7382                Template CPS for the RPKI             April 2015   published after the CA issues the certificate, and the period of time   within which a CA will publish a CRL with an entry for a revoked   certificate, after the CA revokes that certificate.>   The <name of organization> CA will publish its CRL prior to the   nextUpdate value in the scheduled CRL previously issued by the CA.2.4.  Access Controls on Repositories   <Describe the access controls used by the organization to ensure that   only authorized parties can modify repository data, and any controls   used to mitigate denial-of-service attacks against the repository.   If the organization offers repository services to its subscribers,   then describe here the protocol(s) that it supports for publishing   signed objects from subscribers.>3.  Identification and Authentication3.1.  Naming3.1.1.  Types of Names   The subject of each certificate issued by this organization is   identified by an X.500 Distinguished Name (DN).  The distinguished   name will consist of a single Common Name (CN) attribute with a value   generated by <name of organization>.  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", in   the conventional, human-readable sense.  The rationale here is that   these certificates are used for authorization in support of   applications that make use of attestations of INR holdings.  They are   not used to identify subjects.3.1.3.  Anonymity or Pseudonymity of Subscribers   Although Subject names in certificates issued by this organization   SHOULD 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   NoneKent, et al.              Best Current Practice                [Page 15]

RFC 7382                Template CPS for the RPKI             April 20153.1.5.  Uniqueness of Names   <Name of organization> certifies Subject names that are unique among   the certificates that it issues.  Although it is desirable that these   Subject names be unique throughout the PKI, to facilitate certificate   path discovery, such uniqueness is not required, nor is it enforced   through technical means.  <Name of organization> generates Subject   names to minimize the chances that two entities in the RPKI will be   assigned the same name.  Specifically, <insert Subject name   generation description here, or citeRFC 6487>.3.1.6.  Recognition, Authentication, and Role of Trademarks   Because the Subject names are not intended to be meaningful, <name of   organization> makes no provision either to recognize or to   authenticate trademarks, service marks, etc.3.2.  Initial Identity Validation3.2.1.  Method to Prove Possession of Private Key   <Describe the method whereby each subscriber will be required to   demonstrate proof-of-possession (PoP) of the private key   corresponding to the public key in the certificate, prior to   certificate issuance.>3.2.2.  Authentication of Organization Identity   Certificates issued under this PKI do not attest to the   organizational identity of subscribers.  However, certificates are   issued to subscribers in a fashion that preserves the accuracy of   distributions of INRs as represented in <name of organization>   records.   <Describe the procedures that will be used to ensure that each RPKI   certificate that is issued accurately reflects your records with   regard to the organization to which you have distributed (or   sub-distributed) the INRs identified in the certificate.  For   example, a BPKI certificate could be used to authenticate a   certificate request that serves as a link to the <name of   organization> subscriber database that maintains the INR distribution   records.  The certificate request could be matched against the   database record for the subscriber in question, and an RPKI   certificate would be issued only if the INRs requested were a subset   of those held by the subscriber.  The specific procedures employed   for this purpose should be commensurate with any you already employ   in the maintenance of INR distribution.>Kent, et al.              Best Current Practice                [Page 16]

RFC 7382                Template CPS for the RPKI             April 20153.2.3.  Authentication of Individual Identity   Certificates issued under this PKI do not attest to the individual   identity of a subscriber.  However, <name of organization> maintains   contact information for each subscriber in support of certificate   renewal, re-key, and revocation.   <Describe the procedures that are used to identify at least one   individual as a representative of each subscriber.  This is done in   support of issuance, renewal, and revocation of the certificate   issued to the organization.  For example, one might say "The <name of   organization> BPKI (seeSection 3.2.6) issues certificates that MUST   be used to identify individuals who represent <name of organization>   subscribers."  The procedures should be commensurate with those you   already employ in authenticating individuals as representatives for   INR holders.  Note that this authentication is solely for use by you   in dealing with the organizations to which you distribute (or   sub-distribute) INRs and thus MUST NOT be relied upon outside of this   CA/subscriber relationship.>3.2.4.  Non-verified Subscriber Information   No non-verified subscriber data is included in certificates issued   under this certificate policy except for Subject Information Access   (SIA) extensions [RFC6487].3.2.5.  Validation of Authority   <Describe the procedures used to verify that an individual claiming   to represent a subscriber is authorized to represent that subscriber   in this context.  For example, one could say "Only an individual to   whom a BPKI certificate (seeSection 3.2.6) has been issued may   request issuance of an RPKI certificate.  Each certificate issuance   request is verified using the BPKI."  The procedures should be   commensurate with those you already employ in authenticating   individuals as representatives of subscribers.>3.2.6.  Criteria for Interoperation   The RPKI is neither intended nor designed to interoperate with any   other PKI.  <If you operate a separate, additional PKI for business   purposes, e.g., a BPKI, then describe (or reference) how the BPKI is   used to authenticate subscribers and to enable them to manage their   resource distributions.>Kent, et al.              Best Current Practice                [Page 17]

RFC 7382                Template CPS for the RPKI             April 20153.3.  Identification and Authentication for Re-key Requests3.3.1.  Identification and Authentication for Routine Re-key   <Describe the conditions under which routine re-key is required and   the manner by which it is requested.  Describe the procedures that   are used to ensure that a subscriber requesting routine re-key is the   legitimate holder of the certificate to be re-keyed.  State the   approach for establishing PoP of the private key corresponding to the   new public key.  If you operate a BPKI, describe how that BPKI is   used to authenticate routine re-key requests.>3.3.2.  Identification and Authentication for Re-key after Revocation   <Describe the procedures used to ensure that an organization   requesting a re-key after revocation is the legitimate holder of the   INRs in the certificate being re-keyed.  This MUST also include the   method employed for verifying PoP of the private key corresponding to   the new public key.  If you operate a BPKI, describe how that BPKI is   used to authenticate re-key requests.  With respect to authentication   of the subscriber, the procedures should be commensurate with those   you already employ in the maintenance of INR distribution records.>3.4.  Identification and Authentication for Revocation Request   <Describe the procedures used by an RPKI subscriber to make a   revocation request.  Describe the manner by which it is ensured that   the subscriber requesting revocation is the subject of the   certificate (or an authorized representative thereof) to be revoked.   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.  These   procedures should be commensurate with those you already employ in   the maintenance of subscriber records.>4.  Certificate Life Cycle Operational Requirements4.1.  Certificate Application4.1.1.  Who Can Submit a Certificate Application   Any subscriber in good standing who holds INRs distributed by <name   of organization> may submit a certificate application to this CA.   (The exact meaning of "in good standing" is in accordance with the   policy of <name of organization>.)Kent, et al.              Best Current Practice                [Page 18]

RFC 7382                Template CPS for the RPKI             April 20154.1.2.  Enrollment Process and Responsibilities   <Describe your enrollment process for issuing certificates both for   initial deployment of the PKI and as an ongoing process.  Note that   most of the certificates in this PKI are issued as part of your   normal business practices, as an adjunct to INR distribution, and   thus a separate application to request a certificate may not be   necessary.  If so, reference should be made to where these practices   are documented.>4.2.  Certificate Application Processing   <Describe the certificate request/response processing that you will   employ.  You should make use of existing standards for certificate   application processing (see [RFC6487]).>4.2.1.  Performing Identification and Authentication Functions   <Describe your practices for identification and authentication of   certificate applicants.  Often, existing practices employed by you to   identify and authenticate organizations can be used as the basis for   issuance of certificates to these subscribers.  Reference can be made   to documentation of such existing practices.>4.2.2.  Approval or Rejection of Certificate Applications   <Describe your practices for approval or rejection of applications,   and refer to documentation of existing business practices relevant to   this process.  Note that according to the CP, certificate   applications will be approved based on the normal business practices   of the entity operating the CA, based on the CA's records of   subscribers.  The CP also says that each CA will follow the procedure   specified 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.>4.2.3.  Time to Process Certificate Applications   <Specify here your expected time frame for processing certificate   applications.>4.3.  Certificate Issuance4.3.1.  CA Actions during Certificate Issuance   <Describe your procedures for issuance and publication of a   certificate.>Kent, et al.              Best Current Practice                [Page 19]

RFC 7382                Template CPS for the RPKI             April 20154.3.2.  Notification to Subscriber by the CA of Issuance of Certificate   <Name of organization> will notify the subscriber when the   certificate is published.  <Describe here your procedures for   notifying a subscriber when a certificate has been published.>4.3.3.  Notification of Certificate Issuance by the CA to Other Entities   <Describe here any other entities that will be notified when a   certificate is published.>4.4.  Certificate Acceptance4.4.1.  Conduct Constituting Certificate Acceptance   When a certificate is issued, the <name of organization> CA will   publish it to the repository and notify the subscriber.  <This may be   done without subscriber review and acceptance.  State your policy   with respect to subscriber certificate acceptance here.>4.4.2.  Publication of the Certificate by the CA   Certificates will be published at <insert repository URL here> once   issued, following the conduct described inSection 4.4.1.  This will   be done within <specify the time frame within which the certificate   will be placed in the repository and the subscriber will be   notified>.  <Describe any additional procedures with respect to   publication of the certificate here.>4.4.3.  Notification of Certificate Issuance by the CA to Other Entities   <Describe here any other entities that will be notified when a   certificate is published.>4.5.  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   The certificates issued by <name of organization> to subordinate INR   holders are CA certificates.  The private key associated with each of   these certificates is used to sign subordinate (CA or EE)   certificates and CRLs.Kent, et al.              Best Current Practice                [Page 20]

RFC 7382                Template CPS for the RPKI             April 20154.5.2.  Relying Party Public Key and Certificate Usage   The primary relying parties in this PKI are organizations that use   RPKI EE certificates to verify RPKI-signed objects.  Relying parties   are referred toSection 4.5.2 of [RFC6484] for additional guidance   with respect to acts of reliance on RPKI certificates.4.6.  Certificate Renewal4.6.1.  Circumstance for Certificate Renewal   As perRFC 6484, a certificate will be processed for renewal based on   its expiration date or a renewal request from the certificate   Subject.  The request may be implicit, a side effect of renewing a   resource holding agreement, or explicit.  If <name of organization>   initiates the renewal process based on the certificate expiration   date, then <name of organization> will notify the subscriber <insert   the period of advance warning, e.g., "2 weeks in advance of the   expiration date", or the general policy, e.g., "in conjunction with   notification of service expiration">.  The validity interval of the   new (renewed) certificate will overlap that of the previous   certificate by <insert length of overlap period, e.g., 1 week>, to   ensure uninterrupted coverage.   Certificate renewal will incorporate the same public key as the   previous certificate, unless the private key has been reported as   compromised (seeSection 4.9.1).  If a new key pair is being used,   the stipulations ofSection 4.7 will apply.4.6.2.  Who May Request Renewal   The subscriber or <name of organization> may initiate the renewal   process.  <For the case of the subscriber, describe the procedures   that will be used to ensure that the requester is the legitimate   holder of the INRs in the certificate being renewed.  This MUST also   include the method employed for verifying PoP of the private key   corresponding to the public key in the certificate being renewed or   the new public key if the public key is being changed.  With respect   to authentication of the subscriber, the procedures should be   commensurate with those you already employ in the maintenance of INR   distribution records.  If you operate a BPKI for this, describe how   that business-based PKI is used to authenticate renewal requests, and   refer toSection 3.2.6.>Kent, et al.              Best Current Practice                [Page 21]

RFC 7382                Template CPS for the RPKI             April 20154.6.3.  Processing Certificate Renewal Requests   <Describe your procedures for handling certificate renewal requests.   Describe how you verify that the requester is the subscriber or is   authorized by the subscriber, and that the certificate in question   has not been revoked.>4.6.4.  Notification of New Certificate Issuance to Subscriber   <Name of organization> will notify the subscriber when the   certificate is published.  <Describe your procedure for notification   of new certificate issuance to the subscriber.  This should be   consistent withSection 4.3.2.>4.6.5.  Conduct Constituting Acceptance of a Renewal Certificate   SeeSection 4.4.1.  <If you employ a different policy from that   specified inSection 4.4.1, describe it here.>4.6.6.  Publication of the Renewal Certificate by the CA   SeeSection 4.4.2.4.6.7.  Notification of Certificate Issuance by the CA to Other Entities   SeeSection 4.4.3.4.7.  Certificate Re-key4.7.1.  Circumstance for Certificate Re-key   As perRFC 6484, re-key of a certificate will 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   If a certificate is revoked to replace theRFC 3779 extensions, the   replacement certificate will incorporate the same public key, not a   new key.   If the re-key is based on a suspected compromise, then the previous   certificate will be revoked.Kent, et al.              Best Current Practice                [Page 22]

RFC 7382                Template CPS for the RPKI             April 20154.7.2.  Who May Request Certification of a New Public Key   Only the holder of a certificate may request a re-key.  In addition,   <name of organization> may initiate a re-key based on a verified   compromise report.  <If the subscriber (certificate Subject) requests   the re-key, describe how authentication is effected, e.g., using the   <name of registry> BPKI.  Describe how a compromise report received   from other than a subscriber is verified.>4.7.3.  Processing Certificate Re-keying Requests   <Describe your process for handling re-keying requests.  As per the   RPKI CP, this should be consistent with the process described inSection 4.3, so reference can be made to that section.>4.7.4.  Notification of New Certificate Issuance to Subscriber   <Describe your policy for notifying the subscriber regarding   availability of the new re-keyed certificate.  This should be   consistent with the notification process for any new certificate   issuance (seeSection 4.3.2).>4.7.5.  Conduct Constituting Acceptance of a Re-keyed Certificate   When a re-keyed certificate is issued, the CA will publish it in the   repository and notify the subscriber.  SeeSection 4.4.1.4.7.6.  Publication of the Re-keyed Certificate by the CA   <Describe your policy regarding publication of the new certificate.   This should be consistent with the publication process for any new   certificate (seeSection 4.4.2).>4.7.7.  Notification of Certificate Issuance by the CA to Other Entities   SeeSection 4.4.3.4.8.  Certificate Modification4.8.1.  Circumstance for Certificate Modification   As perRFC 6484, modification of a certificate occurs to implement   changes to theRFC 3779 extension values or the SIA extension in a   certificate.  A subscriber can request a certificate modification   when this information in a currently valid certificate has changed,   as a result of changes in the INR holdings of the subscriber, or as a   result of change of the repository publication point data.Kent, et al.              Best Current Practice                [Page 23]

RFC 7382                Template CPS for the RPKI             April 2015   If a subscriber is to receive a distribution of INRs in addition to a   current distribution, and if the subscriber does not request that a   new certificate be issued containing only these additional INRs, then   this is accomplished through a certificate modification.  When a   certificate modification is approved, a new certificate is issued.   The new certificate will contain the same public key and the same   expiration date as the original certificate, but with the incidental   information corrected and/or the INR distribution expanded.  When   previously distributed INRs are to be removed from a certificate,   then the old certificate will be revoked and a new certificate   (reflecting the new distribution) issued.4.8.2.  Who May Request Certificate Modification   The subscriber or <name of organization> may initiate the certificate   modification process.  <For the case of the subscriber, state here   what steps will be taken to verify the identity and authorization of   the entity requesting the modification.>4.8.3.  Processing Certificate Modification Requests   <Describe your procedures for verification of the modification   request and procedures for the issuance of a new certificate.  These   should be consistent with the processes described in Sections4.2   and 4.3.1.>4.8.4.  Notification of Modified Certificate Issuance to Subscriber   <Describe your procedure for notifying the subscriber about the   issuance of a modified certificate.  This should be consistent   with the notification process for any new certificate (seeSection 4.3.2).>4.8.5.  Conduct Constituting Acceptance of Modified Certificate   When a modified certificate is issued, <name of organization> will   publish it to the repository and notify the subscriber.  SeeSection 4.4.1.4.8.6.  Publication of the Modified Certificate by the CA   <Describe your procedure for publication of a modified certificate.   This should be consistent with the publication process for any new   certificate (seeSection 4.4.2).>4.8.7.  Notification of Certificate Issuance by the CA to Other Entities   SeeSection 4.4.3.Kent, et al.              Best Current Practice                [Page 24]

RFC 7382                Template CPS for the RPKI             April 20154.9.  Certificate Revocation and Suspension4.9.1.  Circumstances for Revocation   As perRFC 6484, certificates can be revoked for several reasons.   Either <name of organization> or the subject may choose to end the   relationship expressed in the certificate, thus creating cause to   revoke the certificate.  If one or more of the INRs bound to the   public key in the certificate are no longer associated with the   subject, that too constitutes a basis for revocation.  A certificate   also may be revoked due to loss or compromise of the private key   corresponding to the public key in the certificate.  Finally, a   certificate may be revoked in order to invalidate data signed by the   private key associated with that certificate.4.9.2.  Who Can Request Revocation   The subscriber or <name of organization> may request a revocation.   <For the case of the subscriber, describe what steps will be taken to   verify the identity and authorization of the entity requesting the   revocation.>4.9.3.  Procedure for Revocation Request   <Describe your process for handling a certificate revocation request.   This should include:   o  Procedure to be used by the subscriber to request a revocation.   o  Procedure for notification of the subscriber when the revocation      is initiated by <name of organization>.>4.9.4.  Revocation Request Grace Period   A subscriber is required to request revocation as soon as possible   after the need for revocation has been identified.4.9.5.  Time within Which CA Must Process the Revocation Request   <Describe your policy on the time period within which you will   process a revocation request.>4.9.6.  Revocation Checking Requirement for Relying Parties   As perRFC 6484, a relying party is responsible for acquiring and   checking the most recent, scheduled CRL from the issuer of the   certificate, whenever the relying party validates a certificate.Kent, et al.              Best Current Practice                [Page 25]

RFC 7382                Template CPS for the RPKI             April 20154.9.7.  CRL Issuance Frequency   <State the CRL issuance frequency for the CRLs that you publish.>   Each CRL contains a nextUpdate value, and a new CRL will be published   at or before that time.  <Name of organization> will 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   A CRL will be published to the repository system within <state the   maximum latency> after generation.4.10.  Certificate Status Services   <Name of organization> does not support the Online Certificate Status   Protocol (OCSP) or the Server-Based Certificate Validation Protocol   (SCVP).  <Name of organization> issues CRLs.5.  Facility, Management, and Operational Controls5.1.  Physical Controls   <As perRFC 6484, describe the physical controls that you employ for   certificate management.  These should be commensurate with those used   in the management of INR distribution.>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 BackupKent, et al.              Best Current Practice                [Page 26]

RFC 7382                Template CPS for the RPKI             April 20155.2.  Procedural Controls   <As perRFC 6484, describe the procedural security controls that you   employ for certificate management.  These should be commensurate with   those used in the management of INR distribution.>5.2.1.  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   <As perRFC 6484, describe the personnel security controls that you   employ for individuals associated with certificate management.  These   should be commensurate with those used in the management of INR   distribution.>5.3.1.  Qualifications, Experience, and Clearance Requirements5.3.2.  Background Check Procedures5.3.3.  Training Requirements5.3.4.  Retraining Frequency and Requirements5.3.5.  Job Rotation Frequency and Sequence5.3.6.  Sanctions for Unauthorized Actions5.3.7.  Independent Contractor Requirements5.3.8.  Documentation Supplied to PersonnelKent, et al.              Best Current Practice                [Page 27]

RFC 7382                Template CPS for the RPKI             April 20155.4.  Audit Logging Procedures   <As per the CP, describe in the following sections the details of how   you implement audit logging.>5.4.1.  Types of Events Recorded   Audit records will be generated for the basic operations of the   Certification Authority computing equipment.  Audit records will   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 adjustments   <List here any additional types of events that will be audited.>5.4.2.  Frequency of Processing Log   <Describe your procedures for review of audit logs.>5.4.3.  Retention Period for Audit Log   <Describe your policies for retention of audit logs.>5.4.4.  Protection of Audit Log   <Describe your policies for protection of the audit logs.>5.4.5.  Audit Log Backup Procedures   <Describe your policies for backup of the audit logs.>Kent, et al.              Best Current Practice                [Page 28]

RFC 7382                Template CPS for the RPKI             April 20155.4.6.  Audit Collection System (Internal vs. External) [OMITTED]5.4.7.  Notification to Event-Causing Subject [OMITTED]5.4.8.  Vulnerability Assessments   <Describe any vulnerability assessments that you will apply (or have   already applied) to the PKI subsystems.  This should include whether   such assessments have taken place and any procedures or plans to   perform or repeat/reassess vulnerabilities in the future.>5.5.  Records Archival [OMITTED]5.6.  Key Changeover   The <name of organization> CA certificate will contain a validity   period that is at least as long as that of any certificate being   issued under that certificate.  When <name of organization> CA   changes keys, it will follow the procedures described in [RFC6489].5.7.  Compromise and Disaster Recovery   <Describe your plans for dealing with CA key compromise and how you   plan to continue/restore operation of your RPKI CA in the event of a   disaster.>5.8.  CA or RA Termination   <Describe your policy for management of your CA's INR distributions   in case of its own termination.>6.  Technical Security Controls   This section describes the security controls used by <name of   organization>.6.1.  Key Pair Generation and Installation6.1.1.  Key Pair Generation   <Describe the procedures used to generate the CA key pair and, if   applicable, key pairs for subscribers.  In most instances, public-key   pairs will be generated by the subscriber, i.e., the organization   receiving the distribution of INRs.  However, your procedures may   include one for generating key pairs on behalf of your subscribers if   they so request.>Kent, et al.              Best Current Practice                [Page 29]

RFC 7382                Template CPS for the RPKI             April 20156.1.2.  Private Key Delivery to Subscriber   <If the procedures inSection 6.1.1 include providing key pair   generation services for subscribers, describe the means by which   private keys are delivered to subscribers in a secure fashion.   Otherwise, say this is not applicable.>6.1.3.  Public Key Delivery to Certificate Issuer   <Describe the procedures that will be used to deliver a subscriber's   public keys to the <name of organization> RPKI CA.  These procedures   MUST ensure that the public key has not been altered during transit   and that the subscriber possesses the private key corresponding to   the transferred public key.>  SeeRFC 6487 for details.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 and will be published   to the RPKI repository system.  Relying parties will download these   certificates from this system.  Public key values and associated data   for (putative) trust anchors will be distributed out of band and   accepted by relying parties on the basis of locally defined criteria,   e.g., embedded in path validation software that will be made   available to the Internet community.6.1.5.  Key Sizes   The key sizes used in this PKI are as specified in [RFC6485].6.1.6.  Public Key Parameter Generation and Quality Checking   The public key algorithms and parameters used in this PKI are as   specified in [RFC6485].   <If the procedures inSection 6.1.1 include subscriber key pair   generation, EITHER insert here text specifying that the subscriber is   responsible for performing checks on the quality of its key pair and   saying that <name of organization> is not responsible for performing   such checks for subscribers OR describe the procedures used by the CA   for checking the quality of these subscriber key pairs.>6.1.7.  Key Usage Purposes (as per X.509 v3 Key Usage Field)   The KeyUsage extension bit values employed in RPKI certificates are   specified in [RFC6487].Kent, et al.              Best Current Practice                [Page 30]

RFC 7382                Template CPS for the RPKI             April 20156.2.  Private Key Protection and Cryptographic Module Engineering      Controls6.2.1.  Cryptographic Module Standards and Controls   <Describe the standards and controls employed for the CA   cryptographic module, e.g., it was evaluated under FIPS 140-2/3, at   level 2 or 3.  See [FIPS] for details.>6.2.2.  Private Key (n out of m) Multi-Person Control   <If you choose to use multi-person controls to constrain access to   your CA's private keys, then insert the following text.  "There will   be private key <insert here n> out of <insert here m> multi-person   control.">6.2.3.  Private Key Escrow   <No private key escrow procedures are required for the RPKI, but if   the CA chooses to employ escrow, state so here.>6.2.4.  Private Key Backup   <Describe the procedures used for backing up your CA's private key.   The following aspects should be included.  (1) The copying should be   done under the same multi-party control as is used for controlling   the original private key.  (2) At least one copy should be kept at an   off-site location for disaster recovery purposes.>6.2.5.  Private Key Archival   See Sections6.2.3 and6.2.4.6.2.6.  Private Key Transfer into or from a Cryptographic Module   The private key for the <name of organization> production CA <if   appropriate, change "production CA" to "production and offline CAs">   will be generated by the cryptographic module specified inSection 6.2.1.  The private keys will never leave the module except   in encrypted form for backup and/or transfer to a new module.6.2.7.  Private Key Storage on Cryptographic Module   The private key for the <name of organization> production CA <if   appropriate, change "production CA" to "production and offline CAs">   will be stored in the cryptographic module.  It will be protected   from unauthorized use <say how here>.Kent, et al.              Best Current Practice                [Page 31]

RFC 7382                Template CPS for the RPKI             April 20156.2.8.  Method of Activating Private Key   <Describe the mechanisms and data used to activate your CA's private   key.>6.2.9.  Method of Deactivating Private Key   <Describe the process and procedure for private key deactivation   here.>6.2.10.  Method of Destroying Private Key   <Describe the method used for destroying your CA's private key, e.g.,   when it is superseded.  This will depend on the particular module.>6.2.11.  Cryptographic Module Rating   <Describe the rating of the cryptographic module used by the CA, if   applicable.>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.  If keys are not archived, say so.  If they   are, describe the archive processes and procedures.>6.3.2.  Certificate Operational Periods and Key Pair Usage Periods   The <name of organization> CA's key pair will have a validity   interval of <insert number of years>.  <These key pairs and   certificates should have reasonably long validity intervals, e.g.,   10 years, to minimize the disruption caused by key changeover.  Note   that the CA's key lifetime is under the control of its issuer, so the   CPS MUST reflect the key lifetime imposed by the issuer.>6.4.  Activation Data6.4.1.  Activation Data Generation and Installation   <Describe how activation data for your CA will be generated.>6.4.2.  Activation Data Protection   Activation data for the CA private key will be protected by <describe   your procedures here>.Kent, et al.              Best Current Practice                [Page 32]

RFC 7382                Template CPS for the RPKI             April 20156.4.3.  Other Aspects of Activation Data   <Add here any details you wish to provide with regard to the   activation data for your CA.  If there are none, say "None".>6.5.  Computer Security Controls   <Describe your security requirements for the computers used to   support this PKI, e.g., requirements for authenticated logins, audit   capabilities, etc.  These requirements should be commensurate with   those used for the computers used for managing distribution of INRs.>6.6.  Life Cycle Technical Controls6.6.1.  System Development Controls   <Describe any system development controls that apply to the PKI   systems, e.g., use of Trusted System Development Methodology (TSDM).>6.6.2.  Security Management Controls   <Describe the security management controls that will be used for the   RPKI software and equipment employed by the CA.  These security   measures should be commensurate with those used for the systems used   by the CAs for managing and distributing INRs.>6.6.3.  Life Cycle Security Controls   <Describe how the equipment (hardware and software) used for RPKI   functions will be procured, installed, maintained, and updated.  This   should 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   <Describe the network security controls that will be used for CA   operation.  These should be commensurate with the network security   controls employed for the computers used for managing distribution of   INRs.>6.8.  Time-Stamping   The RPKI does not make use of time-stamping.7.  Certificate and CRL Profiles   See [RFC6487].Kent, et al.              Best Current Practice                [Page 33]

RFC 7382                Template CPS for the RPKI             April 20158.  Compliance Audit and Other Assessments   <List here any audit and other assessments used to ensure the   security of the administration of INRs.  These are sufficient for the   RPKI systems.  However, additional forms of security assessments are   a good idea and should be listed if performed.>9.  Other Business and Legal Matters   <The sections below are optional.  Fill them in as appropriate for   your organization.  The CP says that CAs should cover Sections9.1   to 9.11 and 9.13 to 9.16, although not every CA will choose to do so.   Note that the manner in which you manage your business and legal   matters for this PKI should be commensurate with the way in which you   manage business and legal matters for the distribution of INRs.>9.1.  Fees9.1.1.  Certificate Issuance or Renewal Fees9.1.2.  Certificate Access Fees [OMITTED]9.1.3.  Revocation or Status Information Access Fees [OMITTED]9.1.4.  Fees for Other Services (if Applicable)9.1.5.  Refund Policy9.2.  Financial Responsibility9.2.1.  Insurance Coverage9.2.2.  Other Assets9.2.3.  Insurance or Warranty Coverage for End-Entities9.3.  Confidentiality of Business Information9.3.1.  Scope of Confidential Information9.3.2.  Information Not within the Scope of Confidential Information9.3.3.  Responsibility to Protect Confidential Information9.4.  Privacy of Personal Information9.4.1.  Privacy PlanKent, et al.              Best Current Practice                [Page 34]

RFC 7382                Template CPS for the RPKI             April 20159.4.2.  Information Treated as Private9.4.3.  Information Not Deemed Private9.4.4.  Responsibility to Protect Private Information9.4.5.  Notice and Consent to Use Private Information9.4.6.  Disclosure Pursuant to Judicial or Administrative Process9.4.7.  Other Information Disclosure Circumstances9.5.  Intellectual Property Rights (if Applicable)9.6.  Representations and Warranties9.6.1.  CA Representations and Warranties9.6.2.  Subscriber Representations and Warranties9.6.3.  Relying Party Representations and Warranties9.7.  Disclaimers of Warranties9.8.  Limitations of Liability9.9.  Indemnities9.10.  Term and Termination9.10.1.  Term9.10.2.  Termination9.10.3.  Effect of Termination and Survival9.11.  Individual Notices and Communications with Participants9.12.  Amendments9.12.1.  Procedure for Amendment9.12.2.  Notification Mechanism and Period9.13.  Dispute Resolution Provisions9.14.  Governing LawKent, et al.              Best Current Practice                [Page 35]

RFC 7382                Template CPS for the RPKI             April 20159.15.  Compliance with Applicable Law9.16.  Miscellaneous Provisions9.16.1.  Entire Agreement9.16.2.  Assignment9.16.3.  Severability9.16.4.  Enforcement (Attorneys' Fees and Waiver of Rights)9.16.5.  Force Majeure<END TEMPLATE TEXT>10.  Security Considerations   The degree to which a relying party can trust the binding embodied in   a certificate depends on several factors.  These factors can include   o  the practices followed by the Certification Authority (CA) in      authenticating the subject   o  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)   o  the stated responsibilities and liability terms and conditions of      the CA (for example, warranties, disclaimers of warranties, and      limitations of liability)   This document provides a framework to address the technical,   procedural, personnel, and physical security aspects of Certification   Authorities, Registration Authorities, repositories, subscribers, and   relying party cryptographic modules, in order to ensure that the   certificate generation, publication, renewal, re-key, usage, and   revocation are done in a secure manner.  Specifically, the following   sections are oriented towards ensuring the secure operation of the   PKI entities such as CA, RA, repository, subscriber systems, and   relying party systems:Section 3 ("Identification and Authentication" (I&A))Section 4 ("Certificate Life Cycle Operational Requirements")Section 5 ("Facility, Management, and Operational Controls")Section 6 ("Technical Security Controls")Section 7 ("Certificate and CRL Profiles")Section 8 ("Compliance Audit and Other Assessments")Kent, et al.              Best Current Practice                [Page 36]

RFC 7382                Template CPS for the RPKI             April 201511.  References11.1.  Normative References   [RFC2119]  Bradner, S., "Key words for use in RFCs to Indicate              Requirement Levels",BCP 14,RFC 2119, March 1997,              <http://www.rfc-editor.org/info/rfc2119>.   [RFC6484]  Kent, S., Kong, D., Seo, K., and R. Watro, "Certificate              Policy (CP) for the Resource Public Key Infrastructure              (RPKI)",BCP 173,RFC 6484, February 2012,              <http://www.rfc-editor.org/info/rfc6484>.   [RFC6485]  Huston, G., "The Profile for Algorithms and Key Sizes for              Use in the Resource Public Key Infrastructure (RPKI)",RFC 6485, February 2012, <http://www.rfc-editor.org/info/rfc6485>.   [RFC6487]  Huston, G., Michaelson, G., and R. Loomans, "A Profile for              X.509 PKIX Resource Certificates",RFC 6487,              February 2012, <http://www.rfc-editor.org/info/rfc6487>.11.2.  Informative References   [FIPS]     Federal Information Processing Standards Publication 140-3              (FIPS-140-3), "Security Requirements for Cryptographic              Modules", Information Technology Laboratory, National              Institute of Standards and Technology, Work in Progress.   [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, <http://www.rfc-editor.org/info/rfc3647>.   [RFC6480]  Lepinski, M. and S. Kent, "An Infrastructure to Support              Secure Internet Routing",RFC 6480, February 2012,              <http://www.rfc-editor.org/info/rfc6480>.   [RFC6481]  Huston, G., Loomans, R., and G. Michaelson, "A Profile for              Resource Certificate Repository Structure",RFC 6481,              February 2012, <http://www.rfc-editor.org/info/rfc6481>.   [RFC6482]  Lepinski, M., Kent, S., and D. Kong, "A Profile for Route              Origin Authorizations (ROAs)",RFC 6482, February 2012,              <http://www.rfc-editor.org/info/rfc6482>.Kent, et al.              Best Current Practice                [Page 37]

RFC 7382                Template CPS for the RPKI             April 2015   [RFC6486]  Austein, R., Huston, G., Kent, S., and M. Lepinski,              "Manifests for the Resource Public Key Infrastructure              (RPKI)",RFC 6486, February 2012,              <http://www.rfc-editor.org/info/rfc6486>.   [RFC6489]  Huston, G., Michaelson, G., and S. Kent, "Certification              Authority (CA) Key Rollover in the Resource Public Key              Infrastructure (RPKI)",BCP 174,RFC 6489, February 2012,              <http://www.rfc-editor.org/info/rfc6489>.Acknowledgments   The authors would like to thank Matt Lepinski for help with the   formatting, Ron Watro for assistance with the editing, and other   members of the SIDR working group for reviewing this document.Authors' Addresses   Stephen Kent   BBN Technologies   10 Moulton Street   Cambridge, MA  02138   United States   Phone: +1 (617) 873-3988   EMail: skent@bbn.com   Derrick Kong   BBN Technologies   10 Moulton Street   Cambridge, MA  02138   United States   Phone: +1 (617) 873-1951   EMail: dkong@bbn.com   Karen Seo   BBN Technologies   10 Moulton Street   Cambridge, MA  02138   United States   Phone: +1 (617) 873-3152   EMail: kseo@bbn.comKent, et al.              Best Current Practice                [Page 38]

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