CYBER AB CMMC-CCP EXAM DUMPS ARE UPDATED ON A REGULAR BASIS

Cyber AB CMMC-CCP Exam Dumps are updated on a Regular Basis

Cyber AB CMMC-CCP Exam Dumps are updated on a Regular Basis

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Cyber AB Certified CMMC Professional (CCP) Exam Sample Questions (Q79-Q84):

NEW QUESTION # 79
Two network administrators are working together to determine a network configuration in preparation for CMMC. The administrators find that they disagree on a couple of small items. Which solution is the BEST way to ensure compliance with CMMC?

  • A. Go with the network administrator's ideas with the least stringent controls.
  • B. Go with the network administrator's ideas with the most stringent controls.
  • C. Consult the CMMC Assessment Guides and NIST SP 800-171.
  • D. Consult with the CEO of the company.

Answer: C

Explanation:
When preparing forCMMC compliance, organizations must ensure that theirnetwork configurations align with required cybersecurity controls. Ifnetwork administratorsdisagree on certain configurations, the mostobjective and accurateway to resolve the disagreement is by referencingofficial CMMC guidanceandNIST SP 800-171 requirements, which form the foundation of CMMC Level 2.
* CMMC Assessment Guides as the Primary Reference
* TheCMMC Assessment Guides (Level 1 & Level 2)provide clearinterpretationsof security practices.
* Theyexplain how each practice should be implemented and assessedduring certification.
* NIST SP 800-171 as the Compliance Baseline
* CMMC Level 2is based directly onNIST SP 800-171, which outlines the110 security controlsrequired for protectingControlled Unclassified Information (CUI).
* Network configurations must complywith NIST-defined security requirements, including:
* Access Control (AC) - Ensuring least privilege principles.
* Audit and Accountability (AU) - Logging and monitoring network activity.
* System and Communications Protection (SC) - Secure network design and encryption.
* Why the Other Answer Choices Are Incorrect:
* (A) Consult with the CEO of the company:
* ACEO is not necessarily a cybersecurity expertand may not be familiar with CMMC technical requirements.
* Technical compliance decisions should be based onCMMC and NISTframeworks, not executive opinions.
* (C) Go with the network administrator's ideas with the least stringent controls:
* Choosingless stringent controls increases security riskand could lead toCMMC non- compliance.
* (D) Go with the network administrator's ideas with the most stringent controls:
* While security is important,more stringent controlsmay introduceoperational inefficienciesorunnecessary coststhat are not required for compliance.
* The correct approach is to implement what is required by CMMC and NIST SP 800-171, no more and no less.
* TheCMMC Assessment GuidesandNIST SP 800-171 Rev. 2areofficial sourcesthat provide the most reliable guidance on compliance.
* CMMC Level 2 is entirely based on NIST SP 800-171, making it the definitive source for resolving security disagreements.
Step-by-Step Breakdown:Final Validation from CMMC Documentation:Thus, the correct answer is:
B: Consult the CMMC Assessment Guides and NIST SP 800-171.


NEW QUESTION # 80
Which entity requires that organizations handling FCI or CUI be assessed to determine a required Level of cybersecurity maturity?

  • A. CMMC-AB
  • B. CISA
  • C. NIST
  • D. DoD

Answer: D

Explanation:
* TheU.S. Department of Defense (DoD)is the entity thatrequiresorganizations handlingFederal Contract Information (FCI)orControlled Unclassified Information (CUI)to undergo an assessment to determine their required level ofcybersecurity maturityunderCMMC 2.0.
* This requirement stems from theDFARS 252.204-7021 clause, which mandates CMMC certification for contractors handling FCI or CUI.
Reference:
DoD CMMC 2.0 Program Overview
DFARS 252.204-7021 (CMMC Requirements)
Step 2: DoD's Cybersecurity Maturity LevelsTheDoD determinestherequired cybersecurity maturity levelfor a contract based on the sensitivity of the information involved:
CMMC Level 1- Required for organizations handlingFCI(Basic Cyber Hygiene).
CMMC Level 2- Required for organizations handlingCUI(Aligned with NIST SP 800-171).
CMMC Level 3- Required for organizations handlinghigh-value CUIand facingAdvanced Persistent Threats (APT)(Aligned with a subset ofNIST SP 800-172).
Reference:
CMMC 2.0 Model Documentation
NIST SP 800-171 & 800-172for security controls
Step 3: Why Other Answer Choices Are IncorrectB. CISA (Incorrect):
TheCybersecurity and Infrastructure Security Agency (CISA)is responsible fornational cybersecuritybut does not mandate CMMC assessments.
C: NIST (Incorrect):
TheNational Institute of Standards and Technology (NIST)provides the security framework (e.g.,NIST SP
800-171) but does not enforce CMMC compliance.
D: CMMC-AB (Incorrect):
TheCyber AB (formerly CMMC-AB)is responsible for accreditingC3PAOsand overseeing theCMMC ecosystem, but it does not determine which organizations require assessments.
Final Confirmation of Correct Answer:The DoD mandates CMMC compliance for organizations handling FCI or CUI.
CMMC requirements are enforced through DFARS clauses in DoD contracts.
Thus, the correct answer is:A. DoD


NEW QUESTION # 81
What is the primary intent of the verify evidence and record gaps activity?

  • A. Map test and demonstration responses to CMMC practices.
  • B. Determine the one-to-one relationship between a practice and an assessment object.
  • C. Identify and describe differences between what the Assessment Team required and the evidence collected.
  • D. Conduct interviews to test process implementation knowledge.

Answer: C

Explanation:
Understanding the "Verify Evidence and Record Gaps" Activity in a CMMC AssessmentDuring aCMMC Level 2 Assessment, theAssessment Teamfollows a structured methodology toverify evidenceand determine whether theOrganization Seeking Certification (OSC)has met all required practices. One of the key activities in this process is"Verify Evidence and Record Gaps", which ensures that the assessment findings accurately reflect any missing or inadequate compliance evidence.
Step-by-Step Breakdown:#1. Primary Intent: Identifying Gaps Between Required and Collected Evidence
* TheAssessment Teamcompares the evidence provided by the OSC against theCMMC practice requirements.
* If evidence ismissing, insufficient, or inconsistent, assessors mustdocument the gapand describe what is lacking.
* This ensures that compliance deficiencies are clearly identified, allowing the OSC to understand what must be corrected.
#2. How This Process Works in a CMMC Assessment
* Assessorsreview collected documentation, system configurations, policies, and interview responses.
* They verify that the evidencematches the expected implementationof a practice.
* If gaps exist, they arerecordedfor discussion and potential remediation before assessment completion.
#3. Why the Other Answer Choices Are Incorrect:
* (A) Map test and demonstration responses to CMMC practices.#
* Incorrect:While mapping evidence to CMMC practices is part of the assessment, theprimary intentof the "Verify Evidence and Record Gaps" step is toidentify deficiencies, not just mapping responses.
* (B) Conduct interviews to test process implementation knowledge.#
* Incorrect:Interviews are a method used during evidence collection, but they arenot the primary focusof the verification and gap analysis step.
* (C) Determine the one-to-one relationship between a practice and an assessment object.#
* Incorrect:The assessment teamreviews multiple sources of evidencefor each practice, and some practices require multiple assessment objects. The goal isnot a strict one-to-one mappingbut rathera holistic validation of compliance.
Final Validation from CMMC Documentation:TheCMMC Assessment Process Guidestates that"Verify Evidence and Record Gaps"is the step where assessorscompare expected evidence against what has been provided and document discrepancies. This ensurestransparent assessment findings and remediation planning.
Thus, the correct answer is:
D: Identify and describe differences between what the Assessment Team required and the evidence collected.


NEW QUESTION # 82
A Lead Assessor is planning an assessment and scheduling the test activities. Who MUST perform tests to obtain evidence?

  • A. OSC personnel who do not ordinarily perform that work to evaluate the accuracy of the written procedure(s)
  • B. OSC personnel who normally perform that work as the CCP observes
  • C. Military personnel and the CCP and/or Lead Assessor to test the adequacy of the written procedure(s)
  • D. Military personnel assigned to the contractor for that contract to ensure the confidentiality of the CUI

Answer: B


NEW QUESTION # 83
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?

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

Answer: B


NEW QUESTION # 84
......

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