CMMC compliance for surveying / geospatial firms
CMMC Compliance for Surveying / Geospatial Firms
Surveying and geospatial firms supporting DoD projects handle topographic data, point clouds, and imagery that describe DoD real property. Almost all of it is CUI.
Schedule a free consultationWhy Surveying / Geospatial Firms Need CMMC Compliance
Surveying / Geospatial Firms sit inside the defense industrial base and regularly receive Controlled Unclassified Information from prime contractors and the Department of Defense. Every drawing, specification, statement of work, and technical data package tied to a DoD contract is almost always marked or flow-down treated as CUI under NIST SP 800-171 and DFARS 252.204-7012.
The challenge for surveying and geospatial firms firms is that CUI rarely stays in one place. It moves between email, file shares, cloud collaboration tools, project management platforms, engineering workstations, and field devices. Without a defined enclave and clear handling procedures, a single unsecured laptop or USB drive can break your compliance posture and create export-control exposure.
Primes like Lockheed Martin, Boeing, Northrop Grumman, Raytheon, and General Dynamics are already flowing CMMC Level 2 requirements down in subcontracts. A surveying and geospatial firms firm that cannot demonstrate a current SPRS score, an SSP, and a POA&M will lose eligibility to bid. Worse, a breach of CUI data can trigger both a DFARS 7012 reporting requirement and, for export-controlled data, an ITAR violation investigation.
We specialize in CMMC for surveying and geospatial firms firms. We know how to scope the CUI enclave so you are not rebuilding the whole business, how to implement controls without disrupting project delivery, and how to document everything in a way that will hold up to a C3PAO assessment.
Controlled Unclassified Information We Protect in Surveying / Geospatial Firms
Topographic & Boundary Surveys
Topographic and boundary surveys of DoD installations and federal property.
Point Clouds & 3D Scans
LiDAR and laser-scan point clouds of federal facilities.
Aerial & Drone Imagery
UAS imagery and orthomosaics of DoD installations.
GIS Data & Geodatabases
ArcGIS databases and layers containing federal property information.
Construction Staking Data
As-built and construction staking data for DoD projects.
Federal Contract Documents
USACE, NAVFAC, and AFCEC contract packages with DFARS flow-downs.
What CMMC services do we provide for surveying / geospatial firms?
End-to-end CMMC consulting, fixed-price. See how CMMC compliance works.
Gap assessment
A full review against all 110 NIST SP 800-171 controls, with a documented SPRS score and a clear picture of where your CUI lives.
Readiness assessment
A mock assessment that mirrors the official methodology, with objective evidence collection and interview coaching.
Policy and documentation
SSP, POA&M, incident response plan and the supporting policy set, written in plain English for how you operate.
Technical controls
Network segmentation, FIPS-validated encryption, MFA, audit logging, vulnerability management and endpoint hardening.
Managed compliance
Log review, vulnerability scanning, quarterly evidence refresh and annual SSP updates between assessments.
Assessment support
Scoping, scheduling, interview coaching and on-site support during your formal assessment.
Surveying / Geospatial Firms: CMMC questions
What CUI does a surveying and geospatial firms firm actually handle?
Almost every technical data package, drawing, specification, or work order a prime sends a surveying and geospatial firms firm can be CUI, including design files, specifications, and project documentation. Purchase orders that cite DFARS 252.204-7012 are a strong indicator that the work package contains CUI.
What CMMC level does a surveying and geospatial firms firm typically need?
Level 2 is standard for any surveying and geospatial firms firm handling CUI. Level 1 applies to firms that handle only FCI. Level 3 is rare unless you support a named DoD Priority Program.
Do I have to put every workstation and user on MFA?
NIST 800-171 is risk-based. We identify which systems actually handle CUI, scope them into a defined enclave, and apply the strictest controls (MFA, FIPS encryption, audit logging) at that boundary rather than across the entire business. This approach has been consistently accepted by the C3PAO community.
More engineering & architecture industries we serve
Schedule a free CMMC consultation
We will review your contracts and DFARS clauses with you at no cost and confirm the level you need.
When was the last time you ran a cyber risk assessment?
Tell us about your environment and your contracts. We will tell you where you stand and what to fix first.
