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A Comprehensive Guide to PCI DSS Audit Procedures

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Compliance with the Payment Card Industry’s (PCI) Data Security Standards (DSS) requires annual reporting. This annual compliance reporting involves extensive PCI DSS audit procedures for organizations that handle the highest transaction volumes. The audit procedures are conducted during the completion of an on-site assessment known as a Report on Compliance (ROC).

 

PCI DSS Security Audit Procedures—Everything You Need to Know

Completing the PCI DSS audit procedures is an extensive process for any organization. ROCs involve verified, third-party testing of the framework’s complete implementation.

To prepare and complete an ROC, your organization needs to know:

Partnering with a PCI DSS compliance expert will provide your organization with the comprehensive advisory and assessment to complete an annual ROC—and simplify the complicated process.

 

Reporting Requirements—PCI Levels and Submitted Documentation

The first step of PCI DSS security audit procedures is to determine your organization’s compliance reporting requirements. Reporting requirements are primarily based on a merchant’s categorization amongst the four PCI Levels, which depends on annual transaction volumes.

 

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The Four PCI Levels and Their Reporting Requirements

Per Visa, the four PCI Levels and their associated reporting documentation (explained further below) are:

 

PCI DSS Reporting Documentation

PCI DSS compliance reporting documentation involves ROCs, AOCs, and SAQs:

 

PCI DSS Audit Procedures—The Relevant Parties

After determining if your organization is categorized as PCI Level 1, the next step of preparing for DSS audit procedures is understanding your associated reporting requirements.

Note that an ROC’s degree of assessment doesn’t apply to the organizations categorized as Levels 2 through 4.

The PCI DSS audits necessary for completing and submitting your ROC involves three parties:

 

PCI DSS Audit Preparation—Gap Assessments

ROCs will comprehensively evaluate your organization’s complete PCI DSS implementation. Therefore, audit preparation should involve a QSA-conducted gap assessment to determine which measures must be remediated to achieve compliance.

Gap assessments should be thought of as an ROC trial run; if the gap assessment results reveal necessary remediation, immediately progressing to an official ROC will only demonstrate PCI DSS noncompliance.

A QSA can readily perform PCI DSS gap assessments and advise on any remediation efforts your organization must perform. However, organizations should contact their QSA and plan to conduct these efforts a few months before expected ROC audit procedures to ensure timely compliance report submission.

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PCI DSS Remediation

Compliance remediation efforts for merchants require implementing processes and technologies to ensure adherence to the PCI DSS’ six Goals, 12 Requirements, 79 sub-requirements, and numerous sub-sub-requirements, as specified in the latest version (v3.2.1).

Please see RSI Security’s “Overview of Credit Card Industry Data Security Standards” for a list of the PCI DSS’ Goals, Requirements, and sub-requirements.

Section 6 of the ROC template provided on the SSC’s official website and available to all organizations via the Document Library offers a gap assessment and remediation roadmap. However, the full framework’s extensiveness—Requirement 1.1 collates a further seven sub-sub-requirements alone, and the template document amounts to 191 pages in total—renders self-conducted gap assessments especially challenging.

Partnering with a QSA will significantly simplify the task of identifying whether any specifications require remediation before official ROC assessments.

 

PCI DSS Audit Procedures—Undergoing ROC Assessment

PCI DSS audit procedures require on-site assessment—a critical differentiation between PCI Level 1’s ROC requirement and other Levels’ reporting. The AOCs required for Levels 2 and 3 may be completed remotely.

The PCI SSC describes a completed ROC as a “summary of evidence” that demonstrates DSS compliance. The ROC template contains:

In addition to the full PCI DSS and testing procedures, the ROC template outlines reporting instructions for informing an assessor’s responses within Section 6. These testing procedures, reporting instructions, and assessor responses comprise most of the official PCI DSS security audit procedures.

 

ROC Reporting Details—Assessor Responses

When a QSA assessor conducts the PCI DSS audit procedures, they will test and report their findings directly in the ROC template. The findings are reported via a combination of checkboxes and written-in answers. 

 

Summary of Assessment Findings—Checkboxes 

Assessors are provided with five checkboxes when answering whether a given PCI DSS specification (i.e., Requirement, sub-requirement, or sub-sub-requirement) has been implemented.

For example, Requirement 1.1.1 asks whether the assessed merchant had implemented a formal process for network connection approval and testing and firewall or router configuration changes.

When responding, assessors will check one of the following:

 

Reported Findings—Detailed Written Responses

Each ROC testing procedure must be answered with a detailed response in the space provided. Many of the findings will be reported with brief explanations of an assessed merchant’s Requirement implementation, including details such as the specific configurations reviewed and processes observed.

Other written responses may be “yes/no” answers, reference numbers, employee names or titles (if testing procedures require personnel interviews), or a list of reviewed and tested samples.

 

Third-Party Service Providers

Many merchants outsource some aspect of CHD collection, storage, processing, or transmission to third-party service providers. These service providers must also maintain and annually demonstrate PCI DSS compliance. However, PCI DSS audit procedures must still include a thorough review of whether an outsourced service achieves compliance.

The SSC clearly establishes that merchants’ assumption of their service providers’ PCI DSS compliance is insufficient—asserting throughout all official PCI documentation and guidance that merchants’ compliance is ultimately their responsibility. Due diligence is required to confirm whether partnered service providers have implemented the necessary controls and cyber- or physical security measures. Outsourcing does not absolve compliance culpability.

 

Detailed Written Response Example for Third-Party Service Providers

If a given PCI DSS Requirement is the responsibility of a service provider, the merchant’s assessor must still review the third party’s most recent AOC to validate their compliance.

The ROC template provides the following example as a written response for these scenarios:

“Assessor verified this is the responsibility of Service Provider X, as verified through review of x/y contract (document). Assessor reviewed the AOC for Service Provider X, dated MM/DD/YYYY, and confirmed the service provider was found to be PCI DSS compliant against PCI DSS v3.2 (or PCI DSS v3.2.1) for all applicable requirements, and that it covers the scope of services used by the assessed entity.”

 

PCI DSS Audit Procedures Version 4.0

The PCI DSS security audit procedures are currently being updated for version 4, with an expected release in Q1 of 2022. Once the version and all supporting and reporting documentation guidance have been published by the SSC, merchants will be provided 18 months to remediate any new compliance gaps.

Given the extensiveness of the PCI DSS framework, partnering with a QSA will help simplify the v4.0 remediation process.

 

QSAs—Mandatory (and Beneficial) for PCI DSS Audit Procedures

Organizations that must undergo the annual PCI DSS audit procedures specified in the ROC template are required by the SSC to partner with an approved QSA for assessment. Although QSA assessment is required, the expertise these partnerships provide substantially ameliorates PCI DSS compliance challenges.

As an SSC-approved QSA and PCI compliance expert, RSI Security will streamline the process—from preparatory gap assessments to submitting your final documentation. 

Contact RSI Security today to rethink your PCI DSS compliance.

 


Download Our PCI DSS Checklist

Assess where your organization currently stands with being PCI DSS compliant by completing this checklist. Upon filling out this brief form you will receive the checklist via email.

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