SWIFT Customer Security Programme – mandatory specifications to protect your local SWIFT infrastructures

This post is also available in: German

The growing number of cyber-attacks, including those on the local infrastructures of SWIFT participants, has prompted SWIFT to create a security programme for its participants in order to fight together against cyber threats.

SWIFT published its Customer Security Programme in April 2017. It defines specific requirements to be met by all connected participants. The programme aims to improve the exchange of information within the SWIFT community, to ensure a high level of security for the local SWIFT infrastructure of participants, and to put in place an assurance framework to counter the ever growing number of cyber threats and strengthen the ability of SWIFT participants to combat cyber-attacks.

SWIFT Customer Security Programme

The programme calls upon all SWIFT participants to implement a control and assurance framework. The control framework consists of a set of 16 mandatory and 11 advisory security controls. The controls are based on existing SWIFT security guidelines, and are in line with good practice standards such as NIST, ISO/IEC 27002 and PCI-DSS. The mandatory controls establish a security baseline for the entire SWIFT community. SWIFT also recommends implementing the advisory controls to provide optimal protection for local SWIFT infrastructures.

Demands placed on SWIFT participants

The SWIFT Customer Security Programme will come into force on 1 January 2018. As well as applying to financial service providers, it is also valid for all companies that participate in the SWIFT network. Before the introduction of the programme, each SWIFT participant must conduct a self-assessment and notify SWIFT of its status regarding compliance with the controls (by the end of 2017). From 2018, all participants must confirm their compliance with controls on an annual basis. This confirmation can be provided via a self-assessment (self-attestation), internal audit (self-inspection) or external audit (third-party inspection). Participants are free to choose the type of confirmation they wish to submit. SWIFT will however also carry out regular spot checks of confirmations via internal or external audits for quality assurance purposes.

SWIFT participants must consider the following points in particular:

  • Should only the mandatory controls be implemented, or also the advisory ones?
  • How should the assurance framework be structured? Is self-assessment sufficient, or should an internal or external audit be conducted on a regular basis?
  • Should the status regarding compliance with controls be made public to other SWIFT participants?
  • How can it be ensured that controls continue to be adhered to in the future?

The support we offer you

SWIFT Readiness Assessment

We can help make sure you comply with the SWIFT requirements by 1 January 2018 by assessing your current status and highlighting any gaps.

SWIFT control support

We can provide support for the implementation of controls by means of a post-implementation review.

SWIFT compliance confirmation

We can assist you with your annual confirmation of compliance with SWIFT requirements.

Please feel free to contact our experts if you are interested in the topic.

More information

Contacts

Jens Probst
Director, Systems & Process
Assurance
+41 58 792 29 59
jens.probst@ch.pwc.com

Claudia Hösli
Senior Manager, Specialist Cyber Security
+41 58 792 14 85
claudia.hoesli@ch.pwc.com

Marco Schurtenberger
Senior Manager, Specialist Cyber Security
+41 58 792 22 33
marco.schurtenberger@ch.pwc.com

Published by

jensprobst

jensprobst

Jens Probst
PwC Director, Systems & Process Assurance
Birchstrasse 160
8050 Zurich
jens.probst@ch.pwc.com
+41 58 792 29 59

Jens Probst is a Director in our Systems- and Process Assurance Team with more than 15 years experience in Banking IT and Backoffice Processes, Regulation and Transformation.