Governance and Privacy Program - Senior Official Accountable for Implementing Privacy Program, v1.0

Defines conformance and assessment criteria for verifying that an organization appoints a Senior Agency Official for Privacy (SAOP)/Chief Privacy Officer (CPO) accountable for implementing an organization-wide governance and privacy program to ensure compliance with all applicable laws and regulations regarding the collection, use, maintenance, sharing, and disposal of personally identifiable information (PII) by programs and information systems.
If an assessment step references organization-defined elements (E.g. <organization-defined personnel or roles>, <organization-defined frequency>, etc.), corresponding citations/excerpts must be provided to confirm that the organization has established and documented these values and that they apply as referenced in the conformance criteria.

Similarly, if a "Selection" among multiple options (e.g. [Selection (one or more): as needed; ]) is specified, evidence must be provided to establish that the option(s) implemented by the organization have been defined and documented.

The assessment step shall not be marked as satisfied without this evidence.

Assessment Step

1
Governance and Privacy Program - Senior Official Accountable for Implementing Privacy Program (GovernanceandPrivacyProgram-SeniorOfficialAccountableforImplementingPrivacyProgram)
Does the organization appoint a Senior Agency Official for Privacy (SAOP)/Chief Privacy Officer (CPO) accountable for implementing an organization-wide governance and privacy program to ensure compliance with all applicable laws and regulations regarding the collection, use, maintenance, sharing, and disposal of personally identifiable information (PII) by programs and information systems?
Artifact
A1
Provide evidence (e.g. organizational policies, procedures, compliance/assessment reports, etc.) that support the assessor's response to this assessment step.
If conformance criteria reference organization-defined elements (e.g. <organization-defined personnel or roles>, <organization-defined frequency>, etc.), these values must be defined and documented by the organization.

Similarly, if the criteria specify a "Selection" among multiple options (e.g. [Selection (one or more): as needed; ]), the option(s) implemented by the organization must also be defined and documented.

Conformance Criteria (1)

C1
The organization appoints a Senior Agency Official for Privacy (SAOP)/Chief Privacy Officer (CPO) accountable for implementing an organization-wide governance and privacy program to ensure compliance with all applicable laws and regulations regarding the collection, use, maintenance, sharing, and disposal of personally identifiable information (PII) by programs and information systems.
Citation
SP800-53R4
Appendix J, AR-1 [a]