If you’re a DoD contractor—or aiming to become one—you’ve probably heard a lot of buzz around 32 CFR Part 170, also known as the CMMC Program Rule. This rule is the backbone of the Cybersecurity Maturity Model Certification (CMMC) framework, and it’s designed to raise the cybersecurity bar across the entire Defense Industrial Base (DIB).
At its core, Part 170 puts into law how contractors must protect Federal Contract Information (FCI) and Controlled Unclassified Information (CUI). It ties directly to well-established standards like NIST SP 800-171 Rev 2 and selected controls from NIST SP 800-172.
While the rule technically went into effect in December 2024, it won’t fully bite until it appears in contract language through the complementary 48 CFR Part 204 regulation.
One of the clearest signals that the time to prepare is now comes from Lockheed Martin. As one of the DoD’s largest prime contractors, they’ve already begun enforcing CMMC standards in their supply chain:
Lockheed has started contacting suppliers whose self-assessments show gaps, making it clear: if you can’t demonstrate compliance, you risk losing business. And if Lockheed is already holding suppliers accountable, you can bet other primes will soon follow.
Waiting for CMMC to “officially” show up in contracts is a dangerous gamble. By the time it does, primes like Lockheed may already have passed you over for being unprepared. That’s why we’re here to help you get ahead of the curve:
CMMC isn’t a checkbox exercise—it’s quickly becoming a competitive differentiator. Prime contractors are already demanding proof of compliance, and the DoD is lining up the regulations to back them.
Don’t wait until it’s too late. Get compliant, stay compliant, and protect your share of DoD contracts.