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PKI Services for the Public Sector of the EU Member States. Dr. Dimitrios Lekkas Dept. of Products & Systems Design Engineering University of the Aegean dlek@aegean.gr Rhodes, 9/6/2003. Objectives of the study. To review the use of electronic signatures for e-government services.
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PKI Services for the Public Sector of the EU Member States Dr. Dimitrios Lekkas Dept. of Products & Systems Design Engineering University of the Aegean dlek@aegean.gr Rhodes, 9/6/2003
Objectives of the study • To review the use of electronic signatures for e-government services. • To identify the technologies employed for the exploitation of e-signatures. • To discuss legal issues referring to the use of e-signatures. • To discuss digital certificates managementin the public sector. • To provide a set of good-practices on the use of e-signatures in the public sector.
eEurope-2005The underlying strategic framework Based on two groups of actions: • Services - Applications - Content • Broadband Infrastructure - Security Action Plan around inter-linked lines: • Policy Measures • Good Practices • Benchmarking • Policies Coordination
eGovernment Services General key actions: • Broadband Connection • Interoperability • Interactive Public Services • Public Procurement • Public Internet Access Points • Culture and Tourism Key actions for security: • Cyber Security Task Force • Security Culture • Secure Communication between Public Services
Our methodology at a glance • 1. State-of-practice • Review of state-of-practice on e-signatures use. • 2. Legal issues • Review of legal and regulatory issues on e-signatures use. • 3. Standards • Review the standardization work on e-signatures. • 4. Case studies • Study lessons learnt from relevant situations. • 5. Survey • Identify and review relevant experiences from EU • …towards Good Practices
1. State-of-practice on Certification Services Topics: • Qualified Certificates (QC) • Requirements for issuing QC • Additional requirements for Public Sector
Qualified Certificates • Unique identification of CSP • Unique identification of the physical entity • Intended purpose • Signature verification data corresponding to subject • Period of validity • Identity code of the certificate • Electronic signature of the CSP • Usage limitations • Case-relevant extensions
Requirements for issuing QS • Demonstrate the appropriate reliability • Ensure appropriate directory/revocation services • Verify physical entity’s identity • Employ properly qualified personnel • Use trustworthy systems • Protect signature creation data • Keep records relevant to qualified certificates • Publish policies, practices, terms, and conditions • Maintain sufficient operation financial resources • Ensure physical security
Additional requirements for the Public Sector • Risk Analysis/Assessment • ISO 9000 certification • Personal data protection • Insurance • Repositories for storing signature verification data for long time
3. Standardization work • European initiatives and bodies: • ETSI: Europe's contribution to world-wide standardization • CEN/ISSS: Information Society Standardization System • ICTB/EESSI: European Electronic Signature Standardisation Initiative • International initiatives and bodies: • ISO & ITU: World-wide de jure standards • IETF: Widely accepted de facto Internet standards • W3C: Recommendations for structuring web documents • PKCS: Public Key Cryptography Standards • ANSI: The American perspective
Existing and emerging standards • Cryptography Cryptographic algorithms, Hash functions, Random number generators • Secure Hardware Smart cards, Tokens, Secure devices • Digital Certificates Formats, Distribution, Certificate Status Information (CSI) • Certification Services Digital signatures, Key management, Authorization, Time-stamping, Notary • General support ICT Security, Directory access, Database management, Repositories, Interoperability • Management IS management, Quality, Policy composition, Audit
4. PKI in third countries • Canada • A ‘Policy Management Authority’ exists • ‘External subscribers’ are allowed • Key management resembles with the EU Directive • USA • Federal PKI is fully functional • Federal Bridge CA assures interoperability • Various ‘assurance levels’ for certificates • Australia • ‘Government Public Key Authority’ exists as accreditation body • Various levels of certificates for individuals and non-individuals
5. Survey Means: Questionnaire on: • Existing e-services • Legal status of certificates • Use of certificates in the public sector • Requirements from CSP • Use of certificates for G2G and G2C transactions - Sent to the 15 Member States via CIRCA - All recipients responded - Results taken into account and refer to in the deliverable
Survey findings • All Member States have adopted Directive 1999/93/EC. • In 14 Member States there is at least 1 CSP offering qualified certificates (except Ireland). • In 13 Member States there is one authority responsible for the accreditation of CSP(except France and Ireland). • In 13 Member States there is one authority responsible for regulating, monitoring and auditing the operation of CSP(except Ireland and UK). • In 9 Member States the two aforementioned procedures are performed by the same entity/authority. • In 5 Member States certificates of types other rather than qualified/unqualified are used.
…survey findings • In 11 Member States CSP accreditation is voluntary for qualified certificates. • In 7 Member States certificates have been employed in G2G transactions (3 have plans for 2003 and 3 after 2003). • In all Member States the Public Sector obtains services from multiple CSP. • In 14 Member States there is no nation-wide RA, which registers civil servants (except of Belgium). • In 11 Member States each governmental organization may have or operate its own RA. • In 2 Member States (Finland and France) each sector or administration level has its own RA.
Special requirements a CSP should fulfill Member States Risk Analysis/Assessment 10 Security of CSP premises 11 Security of CSP equipment used for key generation 10 ISO 9000 certification 4 Compliance with personal data regulations 11 Appropriate skills of CSP staff 10 …survey findings • 8 Member States have in place specific provisions, in case a CSP ceases operation. • 11 Member States have in place specific provisions, in case a CSP uses its key in a way incompatible with the existing legislation
Interoperability requirements when more than one CSP is involved Value Added Services the Public Sector receives from CSP Member States Member States Interoperability of technology Timestamping 4 8 Notary Compatibility of the CPS 5 4 All CSP should first apply for voluntary accreditation Non-repudiation of receipt 6 4 …survey findings
…survey findings • In 6 Member States there exists (or is planned) a central repository, which provides each and every civil servant with a certificate. • In 5 Member States the role of the civil servant is associated with the certificate issuance. • In 4 of the above 5, when a civil servant is transferred to another post, its certificate is revoked or renewed. • In 10 Member States smart cards are used to keep signature-creation-data (e.g. a private key). • In 10 Member States audit records (logs) are kept. • In 9 of the above 10 CSP are responsible for keeping the audit logs.
Good-practices Working assumptions: • G2G and G2C transactions are included. • C2G transactions are not included. • Subject to additional sector-related requirements • Focus on authentication, non-repudiation, and integrity. • Compliance with EU Directive 99/93.
EU Directive 99/93: Article 3 Outline: • CSP operation • Accreditation and supervision • Certificate characteristics • Signature Creation Devices • Architectural issues • Information dissemination • Value-added Certification Services • Certification Practice Statement (CPS) • CSP cease of operation
CSP Operation • CSP operator • The government is generally considered as the owner of its Public Key Infrastructure. • The operator may be a governmental authority, or the operation may be outsourced to the private sector. • CSP’s cease of operation • Handling differs in Member States • Subject to prior interoperability established, certificates will be managed by another CSP, or • All issued certificates are revoked, or • Purely governmental-operated CSP (they never cease...)
Accreditation and Supervision • Voluntary Accreditation • Some Member States ask for compulsory accreditation • Generally desired for qualified certificates issuance • Accreditation is not a requirement for the issuance of unqualified certificates • Supervision • Establishment of national supervisory bodies in most Member States • Supervision, in most cases, is performed by Telecom Authorities • Diversification of supervision and accreditation roles is desired
Requirements for certificates • Certificate characteristics • Role-based certificates tend to have heavy administrative cost. • Both qualified and unqualified are needed, each for specific user domain. • An identity certificate is needed for every civil servant. The certificates can be either identity-based, only, or role-based. • Average certificate lifecycle: 1-3 years. • Public sector specific requirements • Signature lifetime is reported to be 30 years. • The signature lifetime should be (considerably) longer. • It is suggested that different keys are used for different functions (e.g. signature, authentication, encryption).
Signature creation issues • Key management • Key generation should be performed under the full control of the end-user (for non-repudiation purposes) • No key-recovery must be possible • Signature Creation Devices • Common agreement on the adoption of secure hardware tokens (e.g. smart cards) • Conformance with international standards is recommended.
Architectural issues • Number of Certification Authorities • Support for multiple CA in each country should be ensured • Web of trust scalability is recommended • Trust architectures • Mixed schemes may exist • Combination of per-sector local hierarchies, local RA, Bridge CA and Cross-certified CA should be ensured • Registration Authorities • Civil servants should be given a security token, according to a standard procedure • Multiple RA per region or user domain should exist • If a central identity repository exists, then national-wide RA should also exist
Information dissemination • Key distribution • By personal correspondence (private) and by publicly accessible repositories (public) • Specific provision for the self-signed CA certificates distribution • The maintenance of the Certification Trust Lists (CTL) should be done on a per-sector basis
Value-added Certification Services • Time-stamping • Confidentiality • Notary • Audit services • Non-repudiation of receipt • Long-lasting data repositories
Certification Practice Statement Conformance with IETF RFC-2527 is recommended. It should include, at least: • CA and RA obligations • Subscriber and relying party obligations • Addressing community • Certificate classes, formats, and profiles • Procedures description • Liabilities • Value-added services description • Interoperability issues • Information dissemination procedures
EU Directive 99/93: Article 8 • CSP should comply with data protection legislation • Dissemination of personal PKI information • Regulation of lawful access to personal data available to CSP • Data security measures specification • Data protection authorities should support public authorities to monitor the CSP privacy policies
Conclusion The result of our study is… an appropriately balanced good-practice guidance for the exploitation of Public Key Infrastructure by the Public Sector