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UMGC Policy X-1.20 UMGC Policy on聽Payment Card Industry-Data Security Standards (PCI-DSS) Compliance

  1. University of Maryland Global Campus
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  5. Info Governance, Security, & Technology Policies
  6. UMGC Policy on PCI-DSS Compliance

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        • Info Governance, Security, & Technology Policies
Policy CategoryPolicy OwnerVersion Effective DateReview CycleLast ReviewedPolicy Contact
X. Information Governance, Security & TechnologySVP, General Counsel, and Chief People OfficerDecember 2, 2025AnnualDecember 2, 2025Information Governance
  1. Purpose

    The purpose of this Policy is to establish information security standards for Payment Card Industry 鈥 Data Security Standards (鈥淧CI-DSS鈥) compliance relevant to University of Maryland Global Campus Information Technology Resources.

  2. Scope and Applicability

    This Policy applies to all University Information Systems and Information Technology Resources. All Users are responsible for adhering to this Policy.

  3. Definitions

    Defined terms are capitalized throughout this Policy and can be found in the Information Governance Glossary.

  4. Information Technology PCI-DSS Compliance

    All Users must adhere to the requirements of the Information Technology PCI-DSS Compliance Policy to ensure safe-handling of sensitive information related to credit/debit card transactions that are supported by any University Information Technology Resources.

    UMGC must comply with the complete PCI DSS requirements which can be referenced at the聽.

    1. Network security controls must be installed and maintained to protect cardholder data.
    2. Information System Stewards should apply secure configurations to all system components.
    3. Ensure that related security policies and operational procedures are documented, in use, and known to all affected parties.
    4. Cardholder data must be protected. Card holder data is defined as:
      1. Primary Account Number (PAN)
      2. Card Validation Code (CVV, CVV2, and CVC2)
      3. Credit Card Personal Identification Number (PIN)
      4. Any form of magnetic stripe data from the card (Track 1, Track 2).
    5. Cardholder data must be protected when stored or in transit over public (or untrusted) networks.
    6. Transmission of cardholder data across open, public networks must be encrypted.
    7. All Information Technology Resources must be protected against malware and anti-virus software, or programs must be regularly updated. System components within the cardholder data network must be part of an active vulnerability maintenance program. Vulnerability scans must be run at least quarterly and after any change in the network. Vulnerabilities must be addressed and rescans must be performed until passing scans are achieved. Quarterly external scans must be performed by an Approved Scanning Vendor (ASV).
    8. Information System Stewards should develop and maintain secure systems and applications.
    9. Cardholder data must be restricted on a need-to-know basis.
    10. Information System Stewards should identify and authenticate access to system components. A unique identification (ID) should be assigned to each person with access to critical systems or software.
    11. Information System Stewards should identify and restrict physical access to cardholder data.
    12. Information System Stewards should track and monitor all access to network resources and cardholder data.
    13. Information System Stewards should perform external and internal penetration testing at least annually to verify segmentation methods and security controls are operational and effective.
    14. Information System Stewards should maintain a policy that addresses information security for all personnel. Consistent policies and procedures are required to be practiced and followed at all times.
  5. Exceptions

    Exceptions to this policy should be submitted to Information Security for review and approval. If an exception is requested, a compensating control or safeguard should be documented and approved.

  6. Enforcement
    1. Any Employee, Contractor, or third-party performing duties on behalf of the University with knowledge of an alleged violation of this Policy shall notify Information Security as soon as practicable.
    2. Any Employee, Contractor, or other third-party performing duties on behalf of the University who violates this Policy may be denied access to Information Resources and may be subject to disciplinary action, up to and including termination of employment or contract or pursuit of legal action.
  7. Standards Referenced
    1. Most recent versions:
      1. USM IT Security Standards
      2. NIST SP 800-171 鈥淧rotecting Controlled Unclassified Information in Nonfederal Systems and Organizations鈥
      3. Cybersecurity Maturity Model Certification (CMMC)
  8. Related Policies and References
    1. UMGC Information Governance, Security, and Technology Policies
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3501 University Blvd. East,
Adelphi, MD 20783

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