Cyber AB Certified CMMC Professional (CCP) CMMC-CCP Dumps in PDF

Free Cyber AB CMMC-CCP Real Questions (page: 6)

SC.L2-3 13.14: Control and monitor the use of VoIP technologies is marked as NOT APPLICABLE for an OSC's assessment. How does this affect the assessment scope?

  1. Any existing telephone system is in scope even if it is not using VoIP technology.
  2. An error has been made and the Lead Assessor should be contacted to correct the error.
  3. VoIP technology is within scope, and it uses FlPS-validated encryption, so it does not need to be assessed.
  4. VoIP technology is not used within scope boundary, so no assessment procedures are specified for this practice.

Answer(s): D

Explanation:

Understanding SC.L2-3.13.14 ­ Control and Monitor the Use of VoIP Technologies

TheCMMC 2.0 Level 2requirementSC.L2-3.13.14comes fromNIST SP 800-171, Security Requirement 3.13.14, which mandates that organizations mustcontrol and monitor the use of VoIP (Voice over Internet Protocol) technologiesif used within their system boundary.

If a systemdoes not use VoIP technology, then this control isNot Applicable (N/A)because there is nothing to assess.

Why Option D is Correct

When a requirement is marked as Not Applicable (N/A), it means the OSC does not use the technology or process covered by that controlwithin its assessment boundary.

No assessment procedures are neededsince there is no VoIP system to evaluate.

Option A (Existing telephone system in scope)is incorrect becausetraditional (non-VoIP) telephone systems are not covered by SC.L2-3.13.14--only VoIP is within scope.

Option B (Error, contact the Lead Assessor)is incorrect because markingSC.L2-3.13.14 as N/A is valid if VoIP is not used. This is not an error.

Option C (VoIP in scope but using FIPS-validated encryption, so it doesn't need to be assessed)is incorrect becauseeven if VoIP uses FIPS-validated encryption, the control would still need to be assessed to ensure monitoring and usage control are in place.

Official CMMC Documentation Reference

CMMC 2.0 Level 2 Assessment Guide ­ SC.L2-3.13.14

NIST SP 800-171, Security Requirement 3.13.14

CMMC Scoping Guidance ­ Determining Not Applicable (N/A) Practices

Final Verification

IfVoIP is not used within the OSC's system boundary, the control does not require assessment, making Option D the correct answer.



A test or demonstration is being performed for the Assessment Team during an assessment.
Which environment MUST the OSC perform this test or demonstration?

  1. Client
  2. Production
  3. Development
  4. Demonstration

Answer(s): B

Explanation:

Understanding the Assessment Environment Requirement

During aCMMC Level 2 assessment, assessors requireobjective evidencethat security controls are implementedin the actual operating environmentwhereControlled Unclassified Information (CUI)is handled.

This means thattests or demonstrations must be conducted in the production environment, where the organization's real systems and security controls are in use.

Why Option B (Production) is Correct

Assessment teams need to validate security controls in the actual environment where they are applied, ensuring that security measures are in effect in thereal-world operating conditions.

Option A (Client)is incorrect because "Client" is not a defined assessment environment.

Option C (Development)is incorrect because testing in a development environmentdoes not accurately represent the production security posture.

Option D (Demonstration)is incorrect becausedemonstrations in a separate test environment do not provide valid evidence for CMMC assessments--actual security implementations must be verified in production.

Official CMMC Documentation Reference

CMMC Assessment Process (CAP) Guide ­ Section 3.5 (Assessment Methods)

NIST SP 800-171 Assessment Procedures(Verification must occur in the actual system where CUI resides.)

Final Verification

SinceCMMC assessments require security controls to be validated in the actual production environment, the correct answer isOption B: Production.



Which domain references the requirements needed to handle physical or digital assets containing CUI?

  1. Media Protection (MP)
  2. Physical Protection (PE)
  3. System and Information Integrity (SI)
  4. System and Communications Protection (SC)

Answer(s): A

Explanation:

Understanding the Media Protection (MP) Domain

TheMedia Protection (MP) domaininCMMC 2.0focuses on the security requirements needed to handlephysical or digital mediacontainingControlled Unclassified Information (CUI).

This domain includes controls for:

Protecting digital and physical mediathat store CUI.

Sanitizing and destroying mediabefore disposal or reuse.

Restricting access to CUI mediato authorized personnel only.

Why the Correct Answer is "A. Media Protection (MP)"?

TheMP domaindirectly addresses the requirements for handlingCUI media, includingencryption, access control, storage, and disposal.

CMMC 2.0Level 2aligns withNIST SP 800-171, which includesMP controlsfor managing media containing CUI.

Why Not the Other Options?

B . Physical Protection (PE)Incorrect

PEfocuses onphysical security(e.g., facility access, visitor logs, physical barriers),not the handling of CUI on media.

C . System and Information Integrity (SI)Incorrect

SIdeals withsystem monitoring, vulnerability management, and incident response, not media protection.

D . System and Communications Protection (SC)Incorrect

SCcoversnetwork security, encryption, and secure communications, but does not specifically focus on media handling.

Relevant CMMC 2.0


Reference:

CMMC Level 2 Practice MP.3.125­ Protects CUI by ensuring proper handling ofmedia containing CUI.

NIST SP 800-171 (MP Family)­ Establishes security requirements for handlingdigital and physical mediacontaining CUI.

CMMC Scoping Guide (Nov 2021)­ ConfirmsMP controls apply to all media that store, process, or transmit CUI.

Final Justification:

SinceMedia Protection (MP) directly addresses the handling of assets containing CUI, the correct answer isA. Media Protection (MP).



When scoping the organizational system, the scope of applicability for the cybersecurity CUI practices applies to the components of:

  1. federal systems that process, store, or transmit CUI.
  2. nonfederal systems that process, store, or transmit CUI.
  3. federal systems that process, store, or transmit CUI. or that provide protection for the system components.
  4. nonfederal systems that process, store, or transmit CUI. or that provide protection for the system components.

Answer(s): D

Explanation:

Understanding Scoping in CMMC 2.0

TheCMMC 2.0 framework applies to nonfederal systemsthat process, store, or transmitCUI.

Scoping determineswhich system components must comply with CMMC practices.

If a systemprocesses, stores, or transmits CUI, orprovides security for those systems, itmust be included in the assessment scope.

Why the Correct Answer is "D. Nonfederal systems that process, store, or transmit CUI, or that provide protection for the system components"?

CMMC Applies to Contractors, Not Federal Systems

CMMC isdesigned for Department of Defense (DoD) contractors, notfederal systems.

Federal systems arealready governed by NIST SP 800-53and other regulations.

Scope Includes Systems That Process CUI AND Those That Protect Them

Systemsprocessing, storing, or transmitting CUIare in scope.

Systems thatprovide protection for CUI systems(e.g., firewalls, monitoring tools, security appliances) arealso in scope.

Why Not the Other Options?

A . Federal systems that process, store, or transmit CUI.Incorrect

CMMCdoes not apply to federal systems.

B . Nonfederal systems that process, store, or transmit CUI.Partially correct but incomplete

Itexcludes security systemsthat protect CUI assets, whichare also in scope.

C . Federal systems that process, store, or transmit CUI, or that provide protection for the system components.Incorrect

CMMConly applies to nonfederal systems.

Relevant CMMC 2.0


Reference:

CMMC Scoping Guide (Nov 2021)­ Confirms that CMMCapplies to nonfederal systemsprocessingCUI.

NIST SP 800-171 Rev. 2­ Specifies security requirements fornonfederal systemshandling CUI.

DFARS 252.204-7012­ Requires DoD contractors to implementNIST SP 800-171onnonfederal systemshandling CUI.

Final Justification:

SinceCMMC applies to nonfederal systems that process CUI or protect those systems, the correct answer isD. Nonfederal systems that process, store, or transmit CUI, or that provide protection for the system components.



An employee is the primary system administrator for an OSC. The employee will be a core part of the assessment, as they perform most of the duties in managing and maintaining the systems.
What would the employee be BEST categorized as?

  1. Analyzer
  2. Inspector
  3. Applicable staff
  4. Demonstration staff

Answer(s): C

Explanation:

In the context of a Cybersecurity Maturity Model Certification (CMMC) assessment, the roles and responsibilities of individuals involved are clearly delineated to ensure a structured and effective evaluation process. The term "applicable staff" refers to personnel within the Organization Seeking Certification (OSC) who possess specific knowledge or expertise pertinent to the assessment. These individuals are integral to the assessment process as they provide essential information, demonstrate the implementation of security practices, and facilitate the assessment team's understanding of the organization's cybersecurity posture.

In this scenario, the employee serving as the primary system administrator is responsible for managing and maintaining the organization's systems. Given their comprehensive understanding of the system configurations, security controls, and operational procedures, this individual is best categorized as "applicable staff." Their involvement is crucial during the assessment, as they can provide detailed insights, demonstrate compliance measures, and address technical inquiries from the assessment team.

The other options can be delineated as follows:

Analyzer:Typically refers to individuals who analyze data or security incidents, often as part of a security operations center. This role is not specifically defined within the CMMC assessment context.

Inspector:Generally denotes a person who examines or inspects systems and processes, possibly as part of an internal audit or compliance check. This term is not a standard designation within the CMMC assessment framework.

Demonstration staff:While this could imply personnel responsible for demonstrating systems or processes, it is not a recognized role within the CMMC assessment process.

Therefore, the primary system administrator, by virtue of their role and responsibilities, aligns with the "applicable staff" category, playing a pivotal role in facilitating a successful CMMC assessment.



Which resource contains authoritative data classifications of CUI?

  1. NARA
  2. CMMC-AB
  3. DoD Contractors FAQ
  4. OSC's privacy policies

Answer(s): A

Explanation:

The National Archives and Records Administration (NARA) serves as the authoritative body overseeing the Controlled Unclassified Information (CUI) program within the United States federal government. NARA maintains the CUI Registry, which is the definitive resource for all categories, subcategories, and associated markings of CUI. This registry provides comprehensive guidance on the identification and handling of CUI, ensuring standardized practices across federal agencies and their contractors.

The other options are delineated as follows:

CMMC-AB:The Cybersecurity Maturity Model Certification Accreditation Body is responsible for overseeing the CMMC program but does not manage CUI classifications.

DoD Contractors FAQ:While it may offer guidance to Department of Defense contractors, it is not an authoritative source for CUI data classifications.

OSC's privacy policies:An Organization Seeking Certification's internal policies pertain to its own data handling practices and are not authoritative for CUI classifications.

Therefore, for authoritative information on CUI data classifications, the NARA's CUI Registry is the appropriate resource.



A C3PAO is near completion of a Level 2 Assessment for an OSC. The CMMC Findings Brief and CMMC Assessment Results documents have been developed. The Final Recommended Assessment Results are being generated.
When generating these results, what MUST be included?

  1. An updated Assessment Plan
  2. Recorded and final updated Daily Checkpoint
  3. Fully executed CMMC Assessment contract between the C3PAO and the OSC
  4. Review documentation for the CMMC Quality Assurance Professional (CQAP)

Answer(s): D

Explanation:

According to the CMMC Assessment Process (CAP), specifically within the Phase 4: Reporting Results requirements, a C3PAO must ensure that every assessment package undergoes a rigorous quality review before it is finalized and submitted to the Department of Defense (DoD).

The Role of the CQAP: The CMMC Quality Assurance Professional (CQAP) is a designated role within a C3PAO responsible for verifying that the assessment was conducted in accordance with the CAP and that the evidence collected (the "Artifacts") supports the findings (Met/Not Met).

Mandatory Inclusion: When generating the Final Recommended Assessment Results, the package is not considered complete or valid without the formal review documentation from the CQAP. This documentation serves as the "stamp of approval" that the internal Quality Management System (QMS) of the C3PAO has validated the assessment team's work.

Why other options are incorrect:

Option A: While the Assessment Plan is a required document during the planning phase, it is an input to the process, not a mandatory component of theFinal Resultsgeneration in the same way quality validation is.

Option B: Daily Checkpoints are administrative tools used during the "Conduct Assessment" phase to keep the OSC informed.
While they are part of the assessment record, they are not a mandatory technical component of the final results package.

Option C: The contract is a legal/business requirement handled during the "Plan and Prepare" phase; it is not included in the technical assessment results uploaded to the DoD.

Reference Documents:

CMMC Assessment Process (CAP) v1.0: Section 4.2 (Finalize Assessment Report) and Section 4.3 (C3PAO Quality Review).

C3PAO Authorization Requirements: Specifies the requirement for a Quality Assurance (QA) function to review all assessment outputs to ensure consistency and integrity across the ecosystem.



A company is about to conduct a press release. According to AC.L1-3.1.22: Control information posted or processed on publicly accessible systems, what is the MOST important factor to consider when addressing CMMC requirements?

  1. That the information is correct
  2. That the CEO approved the message
  3. That the company has to safeguard the release of FCI
  4. That so long as the information is only FCI, it can be released

Answer(s): C

Explanation:

Step 1: Understanding AC.L1-3.1.22

AC.L1-3.1.22states:"Control information posted or processed on publicly accessible systems."

This control requires organizations toensure that FCI (Federal Contract Information) is not publicly postedor made accessible in an uncontrolled manner.

FCI must beprotected from unauthorized disclosure, even if it is not classified or CUI.


Reference:

NIST SP 800-171, Requirement 3.1.22

CMMC Level 1 Practice AC.L1-3.1.22

Step 2: Why Safeguarding FCI is Critical in a Press Release

If the company releases apress statementthat includesFCI, it must ensure that the information is not inadvertently exposing sensitive contract-related data.

FCI includesinformation provided by or generated for theDoD under a contractthat isnot intended for public release.

Organizations mustimplement controlsto prevent unintentional exposure.

Step 3: Why Other Answer Choices Are Incorrect

A . That the information is correct (Incorrect):

While accuracy is important,CMMC requirements focus on protecting sensitive information, not just ensuring correctness.

B . That the CEO approved the message (Incorrect):

CEO approval does not satisfy CMMC compliance, as it does not address safeguarding FCI.

D . That so long as the information is only FCI, it can be released (Incorrect):

FCI must be protected and cannot be publicly disclosed unless specifically authorizedby the DoD.

Final Confirmation of correct answers:

The company must safeguard FCI and ensure that no unauthorized disclosures occur in a public press release.

Thus, the correct answer is: C . That the company has to safeguard the release of FCI



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