On Tuesday, October 22, 2024, Pennsylvania State University (“Penn State”) reached a settlement with the Department of Justice (“DoJ”), agreeing to pay the US Government (“USG”) $1.25M for alleged cybersecurity compliance violations under the False Claims Act (“FCA”). This settlement follows a qui tam action filed by a whistleblower and former employee of Penn State’s Applied Research Laboratory. The settlement agreement provides some additional insight into the priorities of DoJ’s Civil Cyber Fraud Initiative (“CFI”) and the types of cybersecurity issues of interest to the Department. It also highlights the extent to which DoJ is focusing on the full range of cybersecurity compliance obligations that exist in a company’s contract in enforcement actions.
DoJ’s Civil Cyber-Fraud Initiative
On October 6, 2021, following a series of ransomware and other cyberattacks on government contractors and other public and private entities, DoJ announced the CFI. We covered the CFI as it was first announced in more detail here, and in a comprehensive separately published article here. As explained by Deputy Attorney General Lisa Monaco and other DoJ officials, DoJ is using the civil FCA to pursue government contractors and grantees that fail to comply with mandatory cyber incident reporting requirements and other regulatory or contractual cybersecurity requirements. Moreover, depending on the facts, DoJ Criminal likely will be interested in some of these cases.
About the Settlement
On October 5, 2022, a relator – the former chief information officer for Penn State’s Applied Research Laboratory – filed a qui tam action in the United States District Court of the Eastern District of Pennsylvania. The relator alleged in an amended complaint from 2023 that he discovered and raised non-compliance issues, which Penn State management did not address, and that Penn State falsified compliance documentation. On October 23, 2024, DoJ formally intervened and notified the court that it reached a settlement agreement with Penn State. The settlement agreement alleges that Penn State violated the FCA by failing to implement adequate safeguards and to meet cybersecurity requirements set forth under National Institute of Standards and Technology (“NIST”) Special Publication (“SP”) 800-171, “Protecting Controlled Unclassified Information in Nonfederal Information Systems and Organizations.” As set forth in the settlement agreement, these issues related to fifteen contracts and subcontracts involving the Department of Defense (“DoD”) and the National Aeronautics and Space Administration (“NASA”) between January 2018 and November 2023. Continue Reading Penn State Agrees to Pay $1.25M in Settlement for Cybersecurity Non-Compliance False Claims Act Allegations