NIST CSSPAB 6/4/93 Resolutions NIST Crypto Resolutions Computer System Security and Privacy Advisory Board June 4, 1993 Resolution #1 At Mr. Kammer's request we have conducted two days of hearings. The clear message of the majority of input was that there are serious concerns regarding the Key Escrow Initiative and the Board concurs with these concerns. Many of these issues are still to be fully understood and more time is needed to achieving that understanding. Accordingly, this Board resolves to have an additional meeting in July 1993 in order to more completely respond to Mr. Kammer's request and to fulfill its statutory obligations under P.L. 100-235. The Board recommends that the inter-agency review take note of our input collected, our preliminary finding, and adjust the timetable to allow for resolution of the significant issues and problems raised. Attached to this resolution is a preliminary distillation of the serious concerns and problems. Resolution #2 Key escrowing encryption technology represents a dramatic change in the nation's information infrastructure. The full implications of this encryption technique are not fully understood at this time. Therefore, the Board recommends that key escrowing encryption technology not be deployed beyond current implementations planned within the Executive Branch, until the significant public policy and technical issues inherent with this encryption technique are fully understood. [Attachment to Resolution #1]] - A convincing statement of the problem that Clipper attempts to solve has not been provided. - Export and important controls over cryptographic products must be reviewed. Based upon data compiled from U.S. and international vendors, current controls are negatively impacting U.S. competitiveness in the world market and are not inhibiting the foreign production and use of cryptography (DES and RSA) - The Clipper/Capstone proposal does not address the needs of the software industry, which is a critical and significant component of the National Information Infrastructure and the U.S. economy. - Additional DES encryption alternatives and key management alternatives should be considered since there is a significant installed base. - The individuals reviewing the Skipjack algorithm and key management system must be given an appropriate time period and environment in which to perform a thorough review. This review must address the escrow protocol and chip implementation as well as the algorithm itself. - Sufficient information must be provided on the proposed key escrow scheme to allow it to be fully understood by the general public. It does not appear to be clearly defined at this time and, since it is an integral part of the security of the system, it appears to require further development and consideration of alternatives to the key escrow scheme (e.g., three "escrow" entities, one of which is a non-government agency, and a software based solution). - The economic implications for the Clipper/Capstone proposal have not been examined. These costs go beyond the vendor cost of the chip and include such factors as customer installation, maintenance, administration, chip replacement, integration and interfacing, government escrow systems costs, etc. - Legal issues raised by the proposal must be reviewed. - Congress, as well as the Administration, should play a role in the conduct and approval of the results of the review. ======================================================= NIST Resolutions on Key Escow Issues and Clipper provided by CPSR Washington office 666 Pennsylvania Ave., SE Suite 303 Washington, DC 20003 rotenberg@washofc.cpsr.org =======================================================
participants (1)
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Dave Banisar