CUSOFIPO Infosec Clause Decomposition Workspace
This demo turns the Circular Única de Sofipos into an executable operating split for information security, system controls, electronic channels, outsourcing, continuity, and reporting-data integrity. The goal is to separate what Infosec owns from what Legal, Business, Risk, Finance, and Operations must validate.
Infosec owns
Security control library, IAM, encryption, logging, backup and recovery, vulnerability and vendor-security evidence.
Legal / Compliance owns
Applicability, regulatory interpretation, N/A decisions, regulator communication, and formal policy wording.
Business / Product owns
Product process, customer journey, electronic-channel design, operational evidence, and launch approvals.
Risk / Finance / Ops owns
Risk registers, reporting data, capital and finance assumptions, operational continuity, and customer-service evidence.
| Ref | Requirement Name | Source Lens | Primary Team | Supporting Teams | Work Scope | Status | Open |
|---|---|---|---|---|---|---|---|
| CUSO-SEC-001 | Internal control system control library and monitoring evidence |
Art. 52/79 lens; p.72/p.93 mention control interno, system support, and electronic channels. | Build the Infosec control library and map systems, processes, evidence frequency, and control owners. | Legal/Compliance confirms policy scope; Business validates process coverage. | Control matrix, owner RACI, policy version, monitoring records. | Mapped | Open |
| CUSO-SEC-002 | Segregation of duties and role boundaries organizational roles to system access |
p.72/p.74 relate to internal control, responsibilities, and information-system availability. | Define SoD rules, sensitive privileges, approvers, and conflict handling. | Business validates job roles; HR/Legal supports authorization evidence. | Role matrix, access approvals, SoD conflict list, exception approvals. | Mapped | Open |
| CUSO-SEC-003 | Corrective action register issue, remediation, retest, closure |
p.95 points to operation manuals, controls, and security or contingency programs. | Maintain security remediation register with source, risk rating, owner, and retest result. | Compliance confirms remediation governance; Business validates process impact. | Issue tracker, remediation plan, retest proof, closure approval. | Demo | Open |
| CUSO-SEC-004 | Confidentiality of authentication factors customer and internal-user authentication protection |
p.72/p.117 mention confidentiality in generation, storage, transmission, and reception of identification and authentication factors. | Design controls for MFA, passwords/NIP, keys, credential storage, and transmission protection. | Product confirms customer-authentication journey; Legal confirms user notices. | Authentication architecture, MFA report, key or credential-protection standard, testing records. | Mapped | Open |
| CUSO-SEC-005 | System authorization and access policies least privilege and privileged access |
p.72/p.117 mention system operation, authorization, access controls, and database/application integrity and confidentiality. | Operate IAM, PAM, access reviews, leaver revocation, and service-account controls. | Business confirms access need; HR supports joiner, mover, and leaver flow. | IAM policy, quarterly access review, PAM logs, leaver revocation records. | Mapped | Open |
| CUSO-SEC-006 | System documentation and pre-implementation testing SDLC, change, and test evidence |
p.95 says systems should be documented, updated, and tested before implementation. | Require security review, SAST/DAST, change approval, pre-release validation, and rollback plan. | Product/Engineering provides requirements, UAT, and release approval. | Change ticket, security-test report, UAT record, release approval. | Mapped | Open |
| CUSO-SEC-007 | Backup and recovery mechanisms recoverability and integrity |
p.95/p.117 mention backup and recovery mechanisms to ensure information integrity. | Define backup policy, retention, encryption, restore tests, and remediation for failures. | Ops/Business confirms RTO/RPO and critical-service scope. | Backup job report, restore test, RTO/RPO approval, failure remediation records. | Needs Evidence | Open |
| CUSO-SEC-008 | Electronic-media security and encryption sensitive data in transit, storage, and processing |
p.211 mentions security in transmission, storage, and processing, and encryption or encrypted channels for sensitive information and authentication factors. | Maintain TLS, data encryption, key management, truncation or masking, and key-access controls. | Product/Data confirms sensitive fields and business transmission paths. | TLS scan, cryptography standard, key inventory, data-flow map, masking rules. | Mapped | Open |
| CUSO-SEC-009 | Technology and operational risk inputs Infosec risks feeding ERM |
p.72/p.90 relate to riesgo operativo and administración de riesgos. | Maintain technology risk register, risk assessments, control effectiveness, and security KRIs. | Risk owns ERM framework and risk acceptance. | Technology risk register, KRI dashboard, risk acceptance, committee minutes. | Mapped | Open |
| CUSO-SEC-010 | Fraud and system-event identification monitoring, alerting, investigation |
p.117 mentions identification and resolution of fraud and system events. | Operate security monitoring, fraud-linked alerts, incident severity, investigation records, and remediation closure. | Business/Ops owns customer handling; Legal decides regulatory notification. | Alert rules, SIEM/EDR records, fraud tickets, response reports. | Mapped | Open |
| CUSO-SEC-011 | Security KRIs and risk-limit monitoring inputs for risk committee |
p.90 points to risk policies, limits, and portfolio monitoring. | Define KRIs for patching, vulnerabilities, access anomalies, backup failures, and third-party security. | Risk approves thresholds and adds them to governance cadence. | KRI definition, monthly report, threshold breach handling, meeting minutes. | Demo | Open |
| CUSO-SEC-012 | Credit-system access and auditability credit files and decision systems |
p.74 mentions information systems supporting complete and timely credit/deposit status information. | Protect credit-system access, audit logs, data modification privileges, and sensitive-field access. | Credit Risk/Business confirms approval roles and business need. | RBAC matrix, audit logs, access review, sensitive-field inventory. | Mapped | Open |
| CUSO-SEC-013 | Automated authorization and rule-change control decision rules, models, and changes |
p.74 relates to automated information systems and authorization flow; exact article mapping needs SME review. | Apply change control, access control, and logging for approval rules, model parameters, and policy changes. | Risk/Business approves policy and model logic. | Rule-change ticket, approval record, test samples, rollback plan. | Demo | Open |
| CUSO-SEC-014 | Customer electronic-channel operation support app, web, service, and transaction journey |
p.72/p.117 mention electronic channels supporting operations and customer service. | Validate e-channel data flows, authentication, transaction integrity, logging, and anomaly monitoring. | Product/Ops confirms customer journey and exception-handling process. | Data-flow map, app-control test, log samples, exception-handling SOP. | Mapped | Open |
| CUSO-SEC-015 | Complete and timely information availability information available to regulator, federation, and authorized personnel |
p.74 mentions systems allowing complete and timely information for authorized personnel. | Define reporting-source access, data lineage, access audit, and reporting-system availability. | Reporting/Compliance owns filing and reporting assumptions. | Data lineage, reporting-system access, availability records, filing receipt. | Mapped | Open |
| CUSO-SEC-016 | Source-data integrity and confidentiality database, application, and reporting source tables |
p.72/p.117 mention database and application integrity and confidentiality. | Protect database access, change logs, direct-data-change approvals, backups, and reconciliations. | Finance/Risk confirms figures and reconciliation results. | DB access, change logs, data validation, reconciliation records. | Needs Evidence | Open |
| CUSO-SEC-017 | Regulatory filing evidence retention submission, receipt, version, approval |
CUSOFIPO has multiple reporting obligations; this item is a demo for filing evidence management. | Provide controls for filing-system accounts, submission logs, file integrity, and retention access. | Compliance/Finance owns submission content and regulator receipt. | Filing calendar, approval, submission-package hash, regulator receipt. | Demo | Open |
| CUSO-SEC-018 | Third-party monitoring policies vendor security review and ongoing monitoring |
p.217 mentions third-party or commissioner service policies, obligations, and monitoring. | Perform vendor security due diligence, tiering, contract security clauses, annual review, and issue tracking. | Legal owns contracts; Business owns service need and performance. | Vendor assessment, contract clauses, SLA, review record, remediation tracking. | Mapped | Open |
| CUSO-SEC-019 | Client-information confidentiality and security with third parties data sharing and processing protection |
p.217 mentions confidentiality and security of client information. | Define data classification, sharing approval, encryption, access logs, minimization, and deletion or return controls. | Legal/Privacy confirms contracts, consent, and privacy notice. | DPA, security clauses, data flow, access logs, deletion proof. | Mapped | Open |
| CUSO-SEC-020 | Subcontracting restrictions and approval vendor downstream suppliers |
p.217 mentions subcontracting restrictions. | Require critical vendors to disclose subcontractors and complete security approval and change notice. | Legal owns contract restrictions; Procurement maintains vendor master data. | Subcontractor register, approval record, contract clause, change notice. | Demo | Open |
| CUSO-SEC-021 | Third-party continuity and disaster contingency critical vendor service recovery |
p.217 mentions business continuity and disaster contingency. | Collect critical-vendor BCP/DR evidence, RTO/RPO, exercise results, and failure remediation. | Ops/Business confirms service dependency, fallback plan, and customer impact. | Vendor BCP attestation, DR test, dependency list, fallback plan. | Needs Evidence | Open |
| CUSO-SEC-022 | Service continuity and contingency plans critical-system BCP/DR |
p.117 mentions contingency plans for continuous services; p.95 mentions contingency and security programs. | Build BIA, BCP, DR, exercises, RTO/RPO validation, and recovery evidence. | Business/Ops confirms critical processes and acceptable downtime. | BIA, BCP, DR test, exercise report, improvement plan. | Mapped | Open |
| CUSO-SEC-023 | Fraud-prevention project evidence retention five-year retention signal |
p.93 mentions fraud-prevention project evidence retained at least five years. | Provide retention mechanism for fraud monitoring, rule changes, project delivery, and security validation evidence. | Fraud/Compliance confirms retention scope and use cases. | Project files, rule version, testing records, retention policy, access records. | Demo | Open |
| CUSO-SEC-024 | Incident handling and corrective closure incident, root cause, notification, remediation |
p.117/p.95 relate to fraud or system event identification and resolution, plus security and contingency programs. | Maintain incident-response process, severity model, root cause analysis, remediation retest, and lessons learned. | Legal/Compliance decides regulatory notification; Ops executes customer and business recovery. | Incident ticket, timeline, RCA report, notification decision, closure proof. | Mapped | Open |
Governance & Internal Control
- Infosec focus
- Convert regulatory language into control library, RACI, remediation register, and control frequency.
- Partner teams
- Legal/Compliance confirms policy wording; Business confirms process coverage.
- Evidence
- Control matrix, policy version, approvals, remediation closure records.
Information Security & Technology
- Infosec focus
- IAM, PAM, authentication factors, encryption, SDLC, backup and recovery, logging and monitoring.
- Partner teams
- Product/Engineering confirms system design, customer flow, and release plan.
- Evidence
- Architecture diagram, access review, TLS/encryption test, change ticket, restore test.
Risk Management
- Infosec focus
- Feed security risk, fraud events, vulnerabilities, and vendor risk into ERM.
- Partner teams
- Risk approves rating, thresholds, and acceptance flow.
- Evidence
- Risk register, KRIs, meeting minutes, risk-acceptance records.
Credit Process & System Controls
- Infosec focus
- Protect credit-system access, decision-rule changes, customer e-channels, and transaction logs.
- Partner teams
- Credit Risk/Business/Product confirms credit policy, approval roles, and customer journey.
- Evidence
- RBAC, decision-rule changes, test samples, exception-handling SOP.
Regulatory Reporting & Data Quality
- Infosec focus
- Protect reporting sources, database privileges, filing-system accounts, and file integrity.
- Partner teams
- Compliance/Finance/Risk confirms reporting assumptions, figures, and submission.
- Evidence
- Data lineage, reconciliation, filing receipts, access logs.
Third Party & Outsourcing
- Infosec focus
- Vendor due diligence, contract security clauses, client-data protection, subcontracting, and third-party BCP.
- Partner teams
- Legal/Procurement/Business confirms contracts, procurement, and service need.
- Evidence
- Vendor assessment, DPA, SLA, subcontractor register, DR attestation.
Continuity & Incident Response
- Infosec focus
- BIA, BCP/DR, incident response, fraud evidence retention, and remediation retesting.
- Partner teams
- Business/Ops/Legal confirms acceptable downtime, customer handling, and regulatory notification.
- Evidence
- BIA, exercise report, incident timeline, RCA, notification decision.
Future Extension
- Next step
- Backfill exact article numbers, short source excerpts, applicability decisions, and system evidence links for each demo item.
- AI assist
- Once RAG is ready, use it to locate clauses, match evidence, and flag expiry or gaps.