FISMA Compliance:
Clarity & Expert
Guidance
FISMA Compliance:
Clarity & Expert Guidance
Federal agencies—and the vendors who support them—must demonstrate airtight security under the Federal Information Security Management Act. AutomataSECURE translates those NIST 800‑53 requirements into clear guidance so your team can meet every Office of Inspector General (OIG) and GAO audit with confidence
Our advisors have steered programs through annual FISMA assessments, A‑123 reviews, and Congressional scorecard scrutiny. We shoulder the policy work, risk categorization, and evidence preparation so your staff can stay focused on mission delivery.
Ready to move from uncertainty to a clean FISMA report? Let’s map the safest, most direct route to full compliance—without detours or surprises.
Why FISMA with AutomataSECURE?
FISMA Moderate and High demand a living inventory of controls, continuous risk analysis, and annual reporting that can withstand OMB, DHS, and congressional oversight. Many agencies scramble each fall to assemble documentation that should have been maintained year‑round.
AutomataSECURE embeds specialists who translate NIST 800‑53 language into actionable tasks aligned to your architecture and funding constraints. We lead risk categorization workshops, refine your System Security Plan, and craft POA&Ms auditors can trace from finding to remediation.
From kickoff through annual re‑assessment, you receive a dedicated advisor who briefs leadership, defends your posture to external auditors, and mentors internal staff on best practices. Compliance becomes a managed process rather than a last‑minute fire drill.
Preparation
We benchmark your current controls against applicable NIST 800‑53 Moderate or High baselines, review existing SSPs and policies, and produce a prioritized gap report. A tabletop risk workshop clarifies impact levels and ownership before any remediation work begins
Authorization
Next, our consultants draft or update every required artifact—SSP, Contingency Plan, Incident‑Response Plan, and POA&M—ensuring language aligns with both OMB Circular A‑130 and agency‑specific directives. We conduct stakeholder walk‑throughs so every section is accepted the first time.
ConMon
When audit season arrives, we manage communication with OIG and external assessors, prepare interview briefs, and sit beside your team during evidence reviews. After the report, we guide monthly POA&M closure meetings and keep leadership informed on progress toward next year’s assessment.