Day 1: PUBLIC PARTICIPATION OF THE “COMPUTER MISUSE AND CYBERCRIMES (CRITICAL INFORMATION INFRASTRUCTURE AND CYBERCRIMES MANAGEMENT) REGULATIONS, 2023.
Indeed there is need for more public awareness and advocacy.
Echoing Barrack sentiments, over-legislation might not be the best way to
go.
As a country, we need more emphasis on implementation of the already
existing regulations and laws.
To follow up and expound on the same…
Dear Listers,
What are some of your concerns, justifications and recommendations on how
governments can strike a balance between securing critical information
infrastructure and ensuring the privacy and civil liberties of their
citizens?
On Mon, 18 Sept 2023, 16:25 Faith Kisinga via KICTANet, <
[email protected]> wrote:
>
> Hi Linda,
> Thanks for providing this opportunity.
> Indeed there’s need to create awareness on what this framework aims to do,
> to avoid leaving the public feeling overwhelmed.
>
> These regulations are specifically aimed at the facilities, networks and
> systems, which if disrupted, would have a debilitating effect on national
> security, the economy, public health and safety. 16 critical infrastructure
> sectors are listed.
>
>
> On 18 Sep 2023, at 15:58, Barrack Otieno via KICTANet <
> [email protected]> wrote:
>
>
> Hi Linda,
>
> I tend to think we are over legislating. Having moderated a session during
> this years Communications Authority ICT Week, i learnt from GSMA that while
> the country has 98% Infrastruture Coverage, usage is a paltry 21%. The
> users account for 30% of the population and are mostly in urban centres. We
> need to pay attention so that we dont scare away the 70% based in rural
> areas who are mostly using feature phones. We should also have this in mind
> as we frame the laws so that we avoid a scenario where we respond to
> mosquito bites with a hammer.
>
> Best Regards
>
> On Mon, Sep 18, 2023 at 3:20 PM Linda Wairure via KICTANet <
> [email protected]> wrote:
>
>> Can you provide examples of robust sector-specific cybersecurity
>> regulations that have been successful ? …….What are the potential
>> drawbacks or challenges associated with trying to monitor all databases?
>>
>>
>> On Mon, 18 Sept 2023 at 04:54, Neema MASITSA <[email protected]>
>> wrote:
>>
>>> (l) Monitor all databases established for purposes of establishing
>>> their integrity and confidentiality for the attainment of the objectives of
>>> the Act and these Regulations.
>>>
>>> Question:
>>>
>>> Is this regulation realistic, and can it be effectively implemented?
>>>
>>> My opinion is rather than to attempt to monitor all databases, we can
>>> focus on risk-based and sector-specific approaches to cybersecurity.
>>>
>>> On Mon, Sep 18, 2023 at 10:12 AM Linda Wairure via KICTANet <
>>> [email protected]> wrote:
>>>
>>>> DAY 1: Monday 18/09/2023
>>>>
>>>> Dear Listers,
>>>>
>>>> Welcome to the inaugural day of our lively discussion and debate
>>>> centered around the *”Computer Misuse and Cybercrimes (Critical
>>>> Information Infrastructure and Cybercrimes Management) Regulations 2023,*”
>>>> put forth by the Cabinet Secretary for Interior and National
>>>> Administration. nc4.go.ke/cmca-2018-draft-regulations/
>>>>
>>>> We extend a warm invitation to all Stakeholders in the Digital Space to
>>>> actively engage in this conversation, as your insights are not just valued
>>>> but indispensable. Together, we aim to ensure that these regulations
>>>> are not only well-informed but also in perfect alignment with the swiftly
>>>> evolving realm of cyber security and digital technologies. Discover how
>>>> they will impact your organization and be part of the conversation that
>>>> will define the future of cyber security regulations. Your perspectives
>>>> will help us shape and submit a more comprehensive and effective framework.
>>>>
>>>> *We shall also have a twitter space on Thursday to disseminate/validate
>>>> the report before submitting it on Friday. *
>>>>
>>>>
>>>> *Feel free to share your insights, concerns, justifications and
>>>> recommendations to shape these regulations effectively.*
>>>>
>>>>
>>>> PART I – PRELIMINARY PROVISIONS
>>>>
>>>>
>>>> Objects of the Regulations
>>>>
>>>> *Section 3.*
>>>>
>>>> (a) Provide a framework to monitor, detect and respond to cyber
>>>> security threats in the cyberspace belonging to Kenya;
>>>>
>>>> (i) Promote coordination, collaboration, cooperation and shared
>>>> responsibility amongst stakeholders in the cybersecurity sector including
>>>> critical infrastructure protection
>>>>
>>>> (g) Approve the identification and designation of critical information
>>>> infrastructure *Question:*
>>>>
>>>> * Is this sufficient to allow each government related cyber unit to
>>>> operate efficiently without turf wars on who is more superior?*
>>>>
>>>>
>>>> (l) Monitor all databases established for purposes of establishing
>>>> their integrity and confidentiality for the attainment of the objectives of
>>>> the Act and these Regulations.
>>>>
>>>> Question:
>>>>
>>>> Is this regulation realistic and can this be effectively implemented?
>>>>
>>>> What are some of the data protection and privacy rights concerns that
>>>> may arise from this regulation?
>>>>
>>>> PART III – CYBERSECURITY OPERATIONS CENTRES
>>>>
>>>> Section 13
>>>>
>>>> 13. (2) The cybersecurity awareness programme under paragraph (1)
>>>> shall include the following topics—…..
>>>>
>>>> Question:
>>>>
>>>> Does this need to be this prescriptive? And what does this mean for
>>>> emerging areas? How about emerging cyber threats?
>>>>
>>>>
>>>> 13(3) The owner of critical information infrastructure shall in
>>>> consultation with the Committee, review the cybersecurity awareness
>>>> programme at least once every twelve months to ensure that the programme is
>>>> adequate and that it remains upto-date and relevant.
>>>>
>>>>
>>>> Question:
>>>>
>>>> Is this a role for NC4? Review curriculum on infrastructure t*hat it
>>>> does not own*. Any comments?
>>>>
>>>> :
>>>>
>>>> :
>>>>
>>>> :
>>>>
>>>> *What are your views, justifications and recommendations regarding the
>>>> following sections, and how do you interpret the regulations in question?*
>>>>
>>>>
>>>>