Collaborative Continuous Monitoring¶
The Collaborative Continuous Monitoring rules help agencies use shared, current authorization information from providers as part of each agency's own Information Security Continuous Monitoring strategy. These rules reduce unnecessary manual burden by encouraging automated monitoring and review while allowing each agency to make its own risk-based decisions about ongoing authorization.
Rule Sections
Ongoing Certification Reports¶
These rules for Ongoing Certification Reports apply to providers with any type of FedRAMP Certification.
Report Availability¶
CCM-OCR-AVL
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers MUST supply an Ongoing Certification Report to all necessary parties every 3 months, covering the entire period since the previous summary, in a consistent format that is human readable; this report MUST include high-level summaries of at least the following information:
- Changes to FedRAMP Certification Data
- Planned changes to FedRAMP Certification Data during at least the next 3 months
- Accepted vulnerabilities
- Transformative changes
- Updated recommendations or best practices for security, configuration, usage, or similar aspects of the cloud service offering
- A list of all agencies that are directly using the product
Terms: Accepted Vulnerability, All Necessary Parties, Certification Data, Cloud Service Offering, Ongoing Certification, Ongoing Certification Report (OCR), Transformative Change, Vulnerability
Next Report Date¶
CCM-OCR-NRD
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers MUST supply the target date for their next Ongoing Certification Report with other public FedRAMP Certification Data.
Terms: Certification Data, Ongoing Certification, Ongoing Certification Report (OCR)
Feedback Mechanism¶
CCM-OCR-FBM
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers MUST supply an asynchronous mechanism for all necessary parties to provide feedback or ask questions about each Ongoing Certification Report.
Note: This could be email by default but providers are encouraged to consider something more interactive as appropriate.
Terms: All Necessary Parties, Ongoing Certification, Ongoing Certification Report (OCR)
Anonymized Feedback Summary¶
CCM-OCR-AFS
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers MUST supply an anonymized and desensitized summary of the feedback, questions, and answers about each Ongoing Certification Report as an addendum to the Ongoing Certification Report.
Note: This is intended to encourage sharing of information and decrease the burden on the cloud service provider - providing this summary will reduce duplicate questions from agencies and ensure FedRAMP has access to this information. It is generally in the provider's interest to update this addendum frequently throughout the quarter.
Terms: Ongoing Certification, Ongoing Certification Report (OCR)
Limit Sensitive Information¶
CCM-OCR-LSI
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers MUST NOT irresponsibly disclose sensitive information in an Ongoing Certification Report that would likely have an adverse effect on the cloud service offering.
Terms: Cloud Service Offering, Likely, Ongoing Certification, Ongoing Certification Report (OCR)
Spread Out Reports¶
CCM-OCR-SOR
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers SHOULD establish a regular 3 month cycle for Ongoing Certification Reports that is spread out from the beginning, middle, or end of each quarter.
Note: This recommendation is intended to discourage hundreds of cloud service providers from releasing their Ongoing Certification Reports during the first or last week of each quarter because that is the easiest way for a single provider to track this deliverable; the result would overwhelm agencies with many cloud services. Widely used cloud service providers are encouraged to work with their customers to identify ideal timeframes for this cycle.
Terms: Ongoing Certification, Regularly
Responsible Public Sharing¶
CCM-OCR-RPS
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers MAY responsibly supply some or all of the information an Ongoing Certification Report to the public or other parties if the provider determines doing so will NOT likely have an adverse effect on the cloud service offering.
Terms: Cloud Service Offering, Likely, Ongoing Certification, Ongoing Certification Report (OCR), Responsibly
Quarterly Reviews¶
These rules for Quarterly Reviews apply to providers with any type of FedRAMP Certification.
Quarterly Review Meeting¶
CCM-QTR-MTG
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers of Class A offerings MAY host a synchronous Quarterly Review every 3 months, open to all necessary parties, to review aspects of the most recent Ongoing Certification Reports that the provider determines are of the most relevance to agencies.
Timeframe: 3 months
Providers of Class B offerings SHOULD host a synchronous Quarterly Review every 3 months, open to all necessary parties, to review aspects of the most recent Ongoing Certification Reports that the provider determines are of the most relevance to agencies.
Timeframe: 3 months
Providers of Class C offerings MUST host a synchronous Quarterly Review every 3 months, open to all necessary parties, to review aspects of the most recent Ongoing Certification Reports that the provider determines are of the most relevance to agencies.
Timeframe: 3 months
Providers of Class D offerings MUST host a synchronous Quarterly Review every 3 months, open to all necessary parties, to review aspects of the most recent Ongoing Certification Reports that the provider determines are of the most relevance to agencies.
Timeframe: 3 months
Terms: All Necessary Parties, Ongoing Certification, Quarterly Review
Meeting Registration Info¶
CCM-QTR-REG
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers MUST supply either a registration link or a downloadable calendar file with meeting information for Quarterly Reviews to all necessary parties.
Next Review Date¶
CCM-QTR-NRD
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers MUST publicly supply the target date for their next Quarterly Review with other public FedRAMP Certification Data.
Terms: Certification Data, Quarterly Review
No Irresponsible Disclosure¶
CCM-QTR-NID
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers MUST NOT irresponsibly disclose sensitive information in a Quarterly Review that would likely have an adverse effect on the cloud service offering.
Terms: Cloud Service Offering, Likely, Quarterly Review
Schedule Around Reports¶
CCM-QTR-SAR
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers SHOULD regularly schedule Quarterly Reviews to occur at least 3 business days after releasing an Ongoing Certification Report AND within 10 business days of such release.
Terms: Ongoing Certification, Ongoing Certification Report (OCR), Quarterly Review, Regularly
Additional Content¶
CCM-QTR-ACT
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers SHOULD supply additional information in Quarterly Reviews that the provider determines is of interest, use, or otherwise relevant to agencies.
Terms: Quarterly Review
Record/Transcribe Reviews¶
CCM-QTR-RTR
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers SHOULD record or transcribe Quarterly Reviews and supply them to all necessary parties.
Restrict Third Parties¶
CCM-QTR-RTP
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers SHOULD NOT invite third parties to attend Quarterly Reviews intended for agencies unless they have specific relevance.
Note: This is because agencies are less likely to actively participate in meetings with third parties; the cloud service provider's independent assessor should be considered relevant by default.
Terms: Likely, Quarterly Review
Share Recordings Responsibly¶
CCM-QTR-SRR
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers MAY responsibly supply recordings or transcriptions of Quarterly Reviews to the public or other parties ONLY if the provider removes all agency information (comments, questions, names, etc.) AND determines doing so will NOT likely have an adverse effect on the cloud service offering.
Terms: Cloud Service Offering, Likely, Quarterly Review, Responsibly
Share Content Responsibly¶
CCM-QTR-SCR
Changelog:
- 2026-05-04: Initial reset for the Consolidated Rules for 2026 Public Preview.
Providers MAY responsibly supply content prepared for a Quarterly Review to the public or other parties if the provider determines doing so will NOT likely have an adverse effect on the cloud service offering.
Terms: Cloud Service Offering, Likely, Quarterly Review, Responsibly