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Add Labels Enter labels to add to this page:
Tip:Looking for a label? Just start typing.// if there is javascript support, enable the [Edit] link that enables AJAX label adding/removing functionality         if (document.getElementById('editLabelsLink'))         {             document.getElementById('editLabelsLink').style.display = 'inline';         } | |The text of this document is taken from the InCommon  Federation's "Participant  Operations Practices"  document.
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{color:#996633}The University of Hawaii's responses to the  InCommon Federation's "Participant Operations Practices" are highlighted  in beige.{color}\\

Participation in the InCommon Federation ("Federation") enables a  federation participating organization ("Participant") to use Shibboleth  identity attribute sharing technologies to manage access to on-line  resources that can be made available to the InCommon community. One goal  of the Federation is to develop, over time, community standards for  such cooperating organizations to ensure that shared attribute  assertions are sufficiently robust and trustworthy to manage access to  important protected resources. As the community of trust evolves, the  Federation expects that participants eventually should be able to trust  each other's identity management systems and resource access management  systems as they trust their own.
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A fundamental expectation of Participants is that they provide  authoritative and accurate attribute assertions to other Participants,  and that Participants receiving an attribute assertion protect it and  respect privacy constraints placed on it by the Federation or the source  of that information. In furtherance of this goal, InCommon requires  that each Participant make available to other Participants certain basic  information about any identity management system, including the  identity attributes that are supported, or resource access management  system registered for use within the Federation.
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Two criteria for trustworthy attribute assertions by Identity  Providers are: (1) that the identity management system fall under the  purview of the organization's executive or business management, and (2)  the system for issuing end-user credentials (e.g., PKI certificates,  userids/passwords, Kerberos principals, etc.) specifically have in place  appropriate risk management measures (e.g., authentication and  authorization standards, security practices, risk assessment, change  management controls, audit trails, etc.).
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InCommon expects that Service Providers, who receive attribute  assertions from another Participant, respect the other Participant's  policies, rules, and standards regarding the protection and use of that  data. Furthermore, such information should be used only for the purposes  for which it was provided. InCommon strongly discourages the sharing of  that data with third parties, or aggregation of it for marketing  purposes without the explicit permission of the identity information  providing Participant.
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InCommon requires Participants to make available to all other  Participants answers to the questions below.
h2. 1.  Federation Participant Information


h3. 1.1  The InCommon Participant Operational Practices information below is  for:

InCommon Participant organization name
\\ {color:#996633}University of Hawaii{color}\\
The information below is accurate as of this date
\\ {color:#996633}May 28, 2010{color}

h3. 1.2  Identity Management and/or Privacy information

Additional information about the Participant's identity management  practices and/or privacy policy regarding personal information can be  found on-line at the following location(s).
\\ {color:#996633}UH Identity and Access Management Overview:{color}http://www.hawaii.edu/bwiki/x/mxs

h3. 1.3  Contact information

The following person or office can answer questions about the  Participant's identity management system or resource access management  policy or practice.\|\| \|\| Contact (1) \|\| Contact (2) \|\|
| Name | {color:#996633}Michael Hodges{color} | {color:#996633}Baron Fujimoto{color} |
| Title or role | {color:#996633}Middleware Functional  Lead and Project Manager{color} \\  {color:#996633}TI  System Services{color} | {color:#996633}Middleware Programmer{color}\\  {color:#996633}TI System Services{color} |
| Email address | {color:#996633}mhodges@hawaii.edu{color} | {color:#996633}baron@hawaii.edu{color} |
| Phone | {color:#996633}808-956-7195{color} | {color:#996633}808-956-9101{color} |
| FAX | {color:#996633}808-956-2412{color} | {color:#996633}808-956-2412{color} |

h2. 2.  Identity Provider Information

The most critical responsibility that an Identity Provider  Participant has to the Federation is to provide trustworthy and accurate  identity assertions.   It is important for a Service Provider to know  how your _electronic identity credentials_ are issued and how  reliable the information associated with a given credential (or person)  is.

h4. *{_}Community{_}*


h3. 2.1

If you are an Identity Provider, how do you define the set of people  who are eligible to receive an _electronic identity_?  If  exceptions to this definition are allowed, who must approve such an  exception?
\\ {color:#996633}The University of Hawaii employs various{color}{color:#996633}{_}Systems of Records{_}{color} {color:#996633}(e.g. human resources, student registrar, etc.) to  identify individuals associated with the University. The UH Identity and  Access Management (IAM) system integrates and manages this data in a  centralized Person Registry and provisions electronic identities for  students, faculty, staff, and other designated or sponsored affiliates  in good standing. Specifically authorized administrative personnel may  also designate individuals not otherwise explicitly identified by a  system of record as eligible for an electronic identity.{color}

h3. 2.2

"Member of Community" is an assertion that might be offered to enable  access to resources made available to individuals who participate in  the primary mission of the university or organization.  For example,  this assertion might apply to anyone whose affiliation is "current  student, faculty, or staff."
\\
What subset of persons registered in your identity management system  would you identify as a "Member of Community" in Shibboleth identity  assertions to other InCommon Participants?
\\ {color:#996633}Students, faculty, staff, alumni, retirees, and  other designated or sponsored affiliates in good standing.{color}

h4. *{_}Electronic  Identity Credentials{_}*


h3. 2.3

Please describe in general terms the administrative process used to  establish an electronic identity that results in a record for that  person being created in your _electronic identity database_?   Please identify the office(s) of record for this purpose.  For example,  "Registrar's Office for students; HR for faculty and staff."
\\ {color:#996633}Offices of record: Human Resources for faculty  and staff, Student Registrar offices (one per campus) for students,  designated authorized administrative Department and Staff Offices  personnel for affiliates.{color}\\ {color:#996633}The University's IAM system generates and  assigns a permanent electronic identifier known as a{color} {color:#996633}{_}UH Number{_}{color} {color:#996633}to  persons when they are entered into a System of Record, or manually  entered into IAM by authorized administrative personnel known as Campus  Identity Representatives.  The the UH Number is a prerequisite for  obtaining a{color} {color:#996633}{_}UH Username{_}{color} {color:#996633}via self-service.  A UH Username (equivalent to a  userID or netID) may be used, along with a password, for authentication  to online services offered by the University.{color}

h3. 2.4

What technologies are used for your electronic identity credentials  (e.g., Kerberos, userID/password, PKI, ...) that are relevant to  Federation activities?  If more than one type of electronic credential  is issued, how is it determined who receives which type?  If multiple  credentials are linked, how is this managed (e.g., anyone with a  Kerberos credential also can acquire a PKI credential) and recorded?
\\ {color:#996633}A UH Username and password are used as  electronic identity credentials and are stored in an LDAP repository.   Passwords are only stored in an encrypted-hash format, never as  clear-text.{color}

h3. 2.5

If your electronic identity credentials require the use of a secret  password or PIN, and there are circumstances in which that secret would  be transmitted across a network without being protected by encryption  (i.e., "clear text passwords" are used when accessing campus services),  please identify who in your organization can discuss with any other  Participant concerns that this might raise for them:
\\ {color:#996633}No resources should be available via  unencrypted secret credentials. However, if there is a security concern,  the University's Information Technology Security Officer should be  contacted, (808) 956-2400.{color}

h3. 2.6

If you support a "single sign-on" (SSO) or similar campus-wide system  to allow a single user authentication action to serve multiple  applications, and you will make use of this to authenticate people for  InCommon Service Providers, please describe the key security aspects of  your SSO system including whether session timeouts are enforced by the  system, whether user-initiated session termination is supported, and how  use with "public access sites" is protected.
\\ {color:#996633}The University implements SSO via the JA-SIG  Central Authentication Server (CAS), which is branded as the UH Web  Login. The UH Web Login has an 8-hour session timeout and also uses  session cookies for the ticket granting ticket (TGT) cookie. The 8-hour  timeout expires any CAS session that is older than 8 hours. If a session  (determined via a user's TGT) is over 8 hours old, the credentials will  have to reentered for access to a SSO resource. The TGT cookie is  destroyed when the web browser is closed, thereby ending the CAS  session. The next time the person tries to access a SSO resource, CAS  will ask again for credentials.{color}

h3. 2.7

Are your primary _electronic identifiers_ for people, such as  "net ID," eduPersonPrincipalName, or eduPersonTargetedID considered to  be unique for all time to the individual to whom they are assigned?  If  not, what is your policy for re-assignment and is there a hiatus between  such reuse?
\\ {color:#996633}The University's primary electronic identifier  is the UH Number.  The UH Number is unique for each individual and  permanently assigned. {color}

h4. *{_}Electronic  Identity Database{_}*


h3. 2.8

How is information in your electronic identity database acquired and  updated?  Are specific offices designated by your administration to  perform this function?  Are individuals allowed to update their own  information on-line?
\\ {color:#996633}Authoritative user data is securely provided to  the IAM infrastructure by systems of record and updated as necessary to  maintain accuracy. In addition to the UH IAM staff, specific designated  administrative personnel and University IT Help Desk staff are  authorized and enabled to assist the University community with common  account administration issues. Individuals have the ability to update  some of the non-critical personal and service data associated with their  electronic identities.{color}

h3. 2.9

What information in this database is considered "public information"  and would be provided to any interested party?
\\ {color:#996633}No data is public information for students that  request confidentiality of their records under FERPA. If a student  elects to waive privacy protections provided by FERPA,{color} {color:#996633}{_}directory data{_}{color} {color:#996633}information  may be considered public information. A{color} {color:#996633}\[{color}{color:#996633}memorandum{color}\|http://manoa.hawaii.edu/records/pdf/FERPA_notice.pdf\] {color:}on FERPA and Confidentiality of Student Records has been  published and specifies the University's definition of student  directory information.{color}

h4. *{_}Uses  of Your Electronic Identity Credential System{_}*


h3. 2.10

Please identify typical classes of applications for which your  electronic identity credentials are used within your own organization.
\\ {color:#996633}Email; identity account management; web/portal  and collaborative learning applications; administrative systems  including financial, human resources, and student information systems;  software licensing and distribution; and wireless network access.{color}

h4. *{_}Attribute  Assertions{_}*

Attributes are the information data elements in an attribute  assertion you might make to another Federation participant concerning  the identity of a person in your identity management system.

h3. 2.11

Would you consider your attribute assertions to be reliable enough  to:
\\
\[{color:#996633}X{color}\] control access to on-line  information databases licensed to your organization?
\\
 \[{color:#996633} {color} \] be used to purchase goods or services  for your organization?
\\
 \[{color:#996633}X{color}\] enable access to personal information  such as student loan status?

h4. *{_}Privacy  Policy{_}*

Federation Participants must respect the legal and organizational  privacy constraints on attribute information provided by other  Participants and use it only for its intended purposes.

h3. 2.12

What restrictions do you place on the use of attribute information  that you might provide to other Federation participants?
\\ {color:#996633}Non-public information could be released only  under explicit agreements reviewed and approved by appropriate  University executive authority; such agreements would spell out  restrictions on use.{color}

h3. 2.13

What policies govern the use of attribute information that you might  release to other Federation participants?  For example, is some  information subject to FERPA or HIPAA restrictions?
\\ {color:#996633}All attributes subject to FERPA and HIPAA  restrictions are protected and require per-application approval by  appropriate University executive authority; such approvals would spell  out restrictions on use.{color}

h4. *{_}Service  Provider Information{_}*

Service Providers are trusted to ask for only the information  necessary to make an appropriate access control decision, and to not  misuse information provided to them by Identity Providers. Service  Providers must describe the basis on which access to resources is  managed and their practices with respect to attribute information they  receive from other Participants.

h3. 3.1

What attribute information about an individual do you require in  order to manage access to resources you make available to other  Participants? Describe separately for each resource ProviderID that you  have registered.
\\ {color:#996633}N/A, the University of does not currently have  any  Service Providers.{color}

h3. 3.2

What use do you make of attribute information that you receive in  addition to basic access control decisions? For example, do you  aggregate session access records or records of specific information  accessed based on attribute information, or make attribute information  available to partner organizations, etc.?
\\ {color:#996633}N/A, the University of does not currently have  any  Service Providers.{color}

h3. 3.3

What human and technical controls are in place on access to and use  of attribute information that might refer to only one specific person  (i.e., personally identifiable information)? For example, is this  information encrypted?
\\ {color:#996633}Attribute information is encrypted or only  accessible to the application administrator(s).{color}

h3. 3.4

Describe the human and technical controls that are in place on the  management of super-user and other privileged accounts that might have  the authority to grant access to personally identifiable information?
\\ {color:#996633}Only selected technical representatives of the  University have access to stored personal identity information. Access  is restricted by strong passwords, access control lists (ACLs) and  network firewalls.{color}

h3. 3.5

If personally identifiable information is compromised, what actions  do you take to notify potentially affected individuals?
\\ {color:#996633}UH Executive Policy{color} E2.214{color:#996633},  Security and Protection of Sensitive Information, specifies the  University's notice and reporting requirements that are in accordance  with Hawaii State law. Actions taken as a result of a security breach  involving sensitive personal information include timely notification of  the breach to the affected individuals and the Hawaii State Legislature.  The notification requirements specify multiple modes of communication  including traditional mail and phone communications as well as  electronic communications. Substitute modes of communications include  conspicuous post of the notice on the University's website and  notification to major statewide media.{color}

h4. *{_}Other  Information{_}*


h3. 4.1  Technical Standards, Versions and Interoperability

Identify the version of Internet2 Shibboleth code release that you  are using or, if not using the standard Shibboleth code, what version(s)  of the SAML and SOAP and any other relevant standards you have  implemented for this purpose.
\\ {color:#996633}Shibboleth Identity Provider 2.1.5{color}

h3. 4.2  Other Considerations

Are there any other considerations or information that you wish to  make known to other Federation participants with whom you might  interoperate? For example, are there concerns about the use of clear  text passwords or responsibilities in case of a security breach  involving identity information you may have provided?
\\ {color:#996633}N/A{color}Add  Comment \| \|
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