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[General] Pass Guaranteed Quiz Cyber AB - CMMC-CCP - Updated Valid Dumps Certified CMMC Pr

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【General】 Pass Guaranteed Quiz Cyber AB - CMMC-CCP - Updated Valid Dumps Certified CMMC Pr

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Cyber AB Certified CMMC Professional (CCP) Exam Sample Questions (Q146-Q151):NEW QUESTION # 146
An assessor is in Phase 3 of the CMMC Assessment Process. The assessor has delivered the final findings, submitted the assessment results package, and provided feedback to the C3PAO and CMMC-AB. What must the assessor still do?
  • A. Determine level recommendation
  • B. Archive all assessment artifacts
  • C. Determine final practice pass/fail results
  • D. Archive or dispose of any assessment artifacts
Answer: D
Explanation:
In Phase 3 (Post-Assessment), the assessor's responsibility is to archive or dispose of assessment artifacts according to the C3PAO's policies and retention requirements. By this point, final findings and results have already been delivered, so the only remaining step is ensuring proper handling of assessment materials.
Supporting Extracts from Official Content:
* CAP v2.0, Post-Assessment Activities (§3.17): "The assessor must archive or dispose of any assessment artifacts in accordance with the C3PAO's retention and destruction policy." Why Option D is Correct:
* Determining practice pass/fail results and level recommendations occurs earlier in Phases 2 and 3.
* The final step left for the assessor is the proper archiving or destruction of artifacts.
References (Official CMMC v2.0 Content):
* CMMC Assessment Process (CAP) v2.0, Phase 3: Post-Assessment (§3.17).

NEW QUESTION # 147
Which code or clause requires that a contractor is meeting the basic safeguarding requirements for FCI during a Level 1 Self-Assessment?
  • A. 22CFR 120-130
  • B. DFARS 252.204-7011
  • C. FAR 52.204-21
  • D. DFARS 252.204-7021
Answer: C
Explanation:
1. Understanding Basic Safeguarding Requirements for FCI in CMMC Level 1
* Federal Contract Information (FCI) is defined as information provided by or generated for the government under a contract that isnot intended for public release.
* CMMCLevel 1is designed to ensurebasic safeguardingof FCI, aligning with15 security requirementsfound inFAR 52.204-21 (Basic Safeguarding of Covered Contractor Information Systems).
* Contractors handlingonly FCImust meetCMMC Level 1, which alignsdirectlywith the safeguarding requirements set inFAR 52.204-21.
2. FAR 52.204-21 and Its Role in CMMC Level 1 Compliance
* FAR 52.204-21establishes the baseline cybersecurity controls that contractors must implement to protectFCI.
* The15 basic safeguarding requirementsinclude:
* Limiting information accessto authorized users.
* Identifying and authenticating usersbefore allowing system access.
* Protecting transmitted FCIfrom unauthorized disclosure.
* Monitoring and controlling connectionsto external systems.
* Applying boundary protectionand cybersecurity measures.
* Sanitizing mediabefore disposal.
* Updating security configurationsto reduce vulnerabilities.
* Providing physical securityprotections.
* Controlling physical accessto systems that process FCI.
* Enforcing multi-factor authentication (MFA) where applicable.
* Patching vulnerabilitiesin software and hardware.
* Limiting the use of removable media.
* Creating and retaining system audit logs.
* Performing risk-based security assessments.
* Developing an incident response plan.
These 15 practices form thefoundationof CMMCLevel 1 Self-Assessment, ensuring contractorsmeet minimum cybersecurity expectationsfor handling FCI.
3. Why the Other Options Are Incorrect
* B. 22 CFR 120-130:
* This refers toInternational Traffic in Arms Regulations (ITAR), which controls the export of defense-related articles and services,notFCI safeguarding requirements.
* C. DFARS 252.204-7011:
* This clause refers toalternative line item structuresand does not pertain to cybersecurity or safeguarding FCI.
* D. DFARS 252.204-7021:
* This clause enforcesCMMC requirementsbut doesnot definebasic safeguarding controls. It requires compliance with CMMC but does not specify the foundational requirements (which come fromFAR 52.204-21for Level 1).
4. Official CMMC 2.0 Reference & Study Guide Alignment
* TheCMMC 2.0 model documentationconfirms that Level 1 is focused on the15 practices from FAR
52.204-21.
* TheDoD's official CMMC Assessment Guidefor Level 1 explicitly states that meeting FAR 52.204-21 is therequirement for passing a Level 1 Self-Assessment.
* TheCMMC 2.0 Scoping Guideclarifies that contractors handling onlyFCIand seekingLevel 1 certificationmust implementonly FAR 52.204-21security controls.
Final Confirmation:The correct answer isA. FAR 52.204-21, as it directly governs the basic safeguarding ofFCIand is the foundational requirement for aLevel 1 Self-Assessmentin CMMC 2.0.

NEW QUESTION # 148
Which statement BEST describes a LTP?
  • A. May market itself as a CMMC-AB Licensed Provider for testing
  • B. Creates DoD-licensed training
  • C. Delivers training using some CMMC body of knowledge objectives
  • D. Instructs a curriculum approved by CMMC-AB
Answer: D
Explanation:
Understanding Licensed Training Providers (LTPs) in CMMCALicensed Training Provider (LTP)is an entity that is authorized by theCybersecurity Maturity Model Certification Accreditation Body (CMMC-AB) todeliver CMMC trainingbased on anapproved curriculum.
Provides CMMC-AB-approved training programsfor individuals seeking CMMC certifications.
Uses an official CMMC curriculumthat aligns with theCMMC Body of Knowledge (BoK)and other CMMC- AB guidance.
Prepares students for CMMC roles, such asCertified CMMC Assessors (CCA) and Certified CMMC Professionals (CCP).
Key Responsibilities of an LTP:
A). Creates DoD-licensed training # Incorrect
TheCMMC-AB, not the DoD, manages LTP licensing. LTPsdo not create new training contentbut mustfollow an approved curriculum.
B). Instructs a curriculum approved by CMMC-AB # Correct
LTPsteacha curriculum that has beenapproved by the CMMC-AB, ensuring consistency in CMMC training.
C). May market itself as a CMMC-AB Licensed Provider for testing # Incorrect LTPs provide training, not testing. Testing is handled byLicensed Partner Publishers (LPPs)and exam bodies.
D). Delivers training using some CMMC body of knowledge objectives # Incorrect LTPs mustfully adhereto theCMMC-AB-approved curriculum, not just "some" objectives.
Why is the Correct Answer "Instructs a curriculum approved by CMMC-AB" (B)?
CMMC-AB Licensed Training Provider (LTP) Program Guidelines
Defines LTPs as entities thatdeliver CMMC-AB-approved training programs.
CMMC Body of Knowledge (BoK)
Specifies that training must follow theCMMC-AB-approved curriculumto ensure standardization.
CMMC-AB Training & Certification Framework
Requires LTPs todeliver structured training that meets CMMC-AB guidelines.
CMMC 2.0 References Supporting This Answer
Final Answer #B. Instructs a curriculum approved by CMMC-AB

NEW QUESTION # 149
A Lead Assessor is presenting an assessment kickoff and opening briefing. What topic MUST be included?
  • A. Examination of the artifacts for sufficiency
  • B. Overview of the assessment process
  • C. Review of the OSC's SSP
  • D. Gathering evidence
Answer: B
Explanation:
What is Required in the CMMC Assessment Kickoff and Opening Briefing?Before starting aCMMC assessment, theLead Assessormust present anopening briefingto ensure that theOrganization Seeking Certification (OSC)understands the assessment process.
Step-by-Step Breakdown:#1. Overview of the Assessment Process
* The Lead Assessormust explain the CMMC assessment methodology, including:
* Theassessment objectives and scope
* How theassessment team will review security controls
* What to expectduring interviews, testing, and document review
* This ensurestransparency and alignmentbetween the assessors and the OSC.
#2. Why the Other Answer Choices Are Incorrect:
* (A) Gathering Evidence#
* Evidence collection is part of the assessment butnot the primary topic of the opening briefing.
* (B) Review of the OSC's SSP#
* While theSSP is a key document, reviewing it is part of the assessment,not the kickoff briefing.
* (D) Examination of the artifacts for sufficiency#
* Artifact review happens laterin the assessment process,not during the kickoff.
* TheCMMC Assessment Process Guidestates that theopening briefing must include an overview of the assessment process, ensuring the OSC understands the expectations and methodology.
Final Validation from CMMC Documentation:Thus, the correct answer is:
#C. Overview of the assessment process.

NEW QUESTION # 150
During an assessment, which phase of the process identifies conflicts of interest?
  • A. Analyze requirements.
  • B. Develop assessment plan.
  • C. Verify readiness to conduct assessment.
  • D. Generate final recommended assessment results.
Answer: D

NEW QUESTION # 151
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