PS-07 External Personnel Securityps-7
Whether an AWS call fetches evidence for this control, and what to run. Its Rev5 baselines, the indicators that reach it and the FedRAMP guidance attached to it open below.
Nothing names itNo recipe names PS-07. 5 reach an indicator it shares, which is adjacency and not coverage — worth reading, not worth recording as evidence for this control.
Collect evidence (0)
Authored AWS and pipeline recipes whose output is evidence for PS-07. This mapping is this project’s opinion (AWS overlay v3.0.0, pipeline overlay v0.8.0), versioned separately from the dataset — the upstream FedRAMP rules name none of these tools.
No authored recipe names PS-07. The nearest authored work is below.
Requirements on third-party personnel live in contracts and in provider notifications of personnel changes, not in any AWS resource.
This project’s assessment (automation register v0.9.0, reviewed 2026-08-04), versioned separately from the dataset and from the evidence overlays. It is an opinion about the AWS surface on that date, and the surface moves.
The KSI that reaches it is KSI-SCR-MON — which is what asks for it. The evidence it asks for is written, not fetched. Browse /collect for the whole authored corpus.
Reaches the same indicator, not PS-07
These recipes prove a KSI that reaches it. None of them claims PS-07 — treat them as neighbours worth reading, not as coverage.
- Patch Manager compliance state plus Amazon Inspector scan status and coverage — proving flaws are being found continuously (Inspector enabled and actually covering your resources) and that the fixes landed (per-node missing/failed patch counts and the time of the last scan or install) via KSI-SCR-MONaws
- The advisories AWS itself has issued against this account — operational issues, scheduled changes and account notifications, each dated and scoped — together with the subscribers on the topic those alerts are published to and the confirmation state of each subscription, which is the difference between an address that was entered and an address that receives via KSI-SCR-MONaws
- Whether the tooling that examines acquired software is switched on and covering the estate, and what it found: Inspector's per-account enablement state for each scanned resource type, the registry-wide ECR scanning configuration (scan type and frequency, and the repository filters that decide which repositories it applies to), Inspector's own coverage statistics, and a CycloneDX 1.4 or SPDX 2.3 SBOM exported per monitored resource — the component-level inventory of what was actually acquired. via KSI-SCR-MONaws
- Whether Dependabot alerting is configured in this organization and which repositories it actually reaches, together with the alerts themselves — each carrying the advisory that raised it, the package, ecosystem and manifest path it was found in, the reason a human gave for closing it, and, for a remediated one, the date it was fixed. The first half is the population; the second half is what was found in it, and the second half means nothing without the first. via KSI-SCR-MONpipeline
- The organization's webhook configuration — which endpoints are subscribed to the supply-chain alert event, whether each is switched on, and where it points — together with the platform's own record of what it actually delivered to them and with what response code. Configuration says a path exists; the delivery log says the path carried something. via KSI-SCR-MONpipeline
What NIST requires of PS-07
The control statement from NIST 800-53 Rev5, verbatim. Square brackets are organization-defined parameters — yours to set, not FedRAMP's to dictate.
a. Establish personnel security requirements, including security roles and responsibilities for external providers; b. Require external providers to comply with personnel security policies and procedures established by the organization; c. Document personnel security requirements; d. Require external providers to notify [personnel or roles] of any personnel transfers or terminations of external personnel who possess organizational credentials and/or badges, or who have system privileges within [time period]; and e. Monitor provider compliance with personnel security requirements.
NIST SP 800-53 Rev5 catalog 5.2.0, from usnistgov/oscal-content at 78650f0. The FedRAMP dataset carries no control text; this is borrowed and pinned.
Rev5 baseline membership
Membership is the whole relationship — a baseline is a set of control ids. Class A carries no baseline at all. The Low/Moderate/High labels are an interpretation from control counts, not a dataset fact.
KSI indicators reaching this control (1)
Under 20x, these indicators are how this control is demonstrated — automated KSI evidence stands in for narrative control evidence.
FedRAMP guidance & parameters
Where you read the rule. Guidance names an FRR document, never a clause, so the links below offer the whole document and leave the reading to you.
- CSPs MUST clearly document any nationality requirements for any account type within its platform. If none exists, this must also be explicitly stated.
Pages exist for the 209 controls reached by at least one KSI. Baseline-only controls are the orphans on /coverage. Control titles and full text live in the NIST catalog, not this dataset.