I. INTRODUCTION
The Federal Financial Institutions Examination Council (FFIEC) has issued a Statement alerting financial institutions to the increasing frequency and severity of cyber-attacks involving extortion. The Statement describes steps financial institutions should take to respond to these attacks and highlights resources institutions can use to mitigate the risks posed by such attacks.
Cyber-attacks against financial institutions to extort payment in return for the release of sensitive information are increasing. Financial institutions should address this threat by conducting ongoing cybersecurity risk assessments and monitoring of controls and information systems. In addition, financial institutions should have effective business continuity plans to respond to this type of cyber-attack to ensure resiliency of operations.
Financial institutions are also encouraged to notify law enforcement and their primary regulator or regulators of a cyber-attack involving extortion.
II. BACKGROUND
Cyber criminals and activists use a variety of tactics, such as ransomware, denial of service (DoS), and theft of sensitive business and customer information to extort payment or other concessions from victims. In some cases, these attacks have caused significant impacts on businesses’ access to data and ability to provide services. Other businesses have incurred serious damage through the release of sensitive information.
The primary method of ransomware infection is through the use of deceptive e-mails or malicious Web sites that imitate legitimate organizations or communications. Ransomware typically encrypts the data on the target machine, making data inaccessible. The victim is then prompted to make a payment in order to release or unlock the files. In some cases where a payment has been made, there have been reports the files have not been decrypted after payment, or their computer has been infected with the ransomware again shortly after being decrypted. Businesses affected by ransomware can suffer more than inconvenience and monetary loss. If critical information is permanently lost, operations could be severely impacted
A DoS attack is an attempt by attackers to prevent legitimate users from accessing a service. This is generally accomplished by flooding a system with illegitimate requests. Extortionists often illustrate their capabilities by performing a small attack, such as shutting down a Web site for a period of time. This is followed by an e-mail to the victim requesting payment to prevent additional, larger attacks. If an attacker is successful in preventing customer or employee access to a resource or systems, the financial institution’s reputation could be affected, in addition to potentially incurring operational and recovery costs.
There have been recent incidents involving theft of sensitive business and consumer data by activists. After stealing the data, the activists demand that the business take a particular action or the data would be publicly released. Such a release of information could affect an institution’s reputation and have other serious consequences.
III. RISKS
Financial institutions face a variety of risks from cyber-attacks involving extortion, including liquidity, capital, operational, compliance and reputation risks, resulting from fraud, data loss, and disruption of customer service.
IV. RISK MITIGATION
Financial institutions should ensure that their risk management processes and business continuity planning address the risks from these types of cyber attacks, consistent with the risk management practices identified in previous FFIEC joint statements and the FFIEC Information Technology Examination Handbook, specifically the “Business Continuity Planning” and “Information Security” booklets. Related FFIEC joint statements are titled “Destructive Malware,” “Cyber Attacks Compromising Credentials,” and “Distributed Denial-of-Service (DDoS) Cyber-Attacks, Risk Mitigation, and Additional Resources.”
Consistent with FFIEC and member guidance, financial institutions should consider taking the following steps:
Institutions that are victims of cyber attacks involving extortion are encouraged to inform law enforcement authorities and notify their primary regulator(s). In the event that an attack results in unauthorized access to sensitive customer information, the institution has responsibility to notify its federal and state regulators in accordance with the Interagency Guidelines Establishing Information Security Standards implementing the Gramm–Leach–Bliley Act and applicable state laws. Additionally, institutions should determine if filing a Suspicious Activity Report (SAR) is required or appropriate, as in the case of an unauthorized electronic intrusion intended to damage, disable, or otherwise affect critical systems. In instances where filing is not required, institutions may file a SAR voluntarily to aid law enforcement in protecting the financial sector.