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WGU Managing Cloud Security (JY02) Sample Questions (Q107-Q112):

NEW QUESTION # 107
Which cloud infrastructure risk is the responsibility of the cloud provider?

Answer: B

Explanation:
Physical security is a cloud infrastructure risk that is the responsibility of the cloud provider. Managing Cloud principles explain that providers are responsible for securing data center facilities, including buildings, hardware, power systems, and environmental controls.
This includes access controls, surveillance, guards, and protection against physical threats such as theft, vandalism, and natural disasters. Customers do not have physical access to cloud data centers and therefore rely entirely on the provider to manage these risks.
Data security and application security are typically shared responsibilities, while security governance is largely the customer's responsibility. Therefore, physical security is the correct answer.


NEW QUESTION # 108
Which risk is unique to the public cloud?

Answer: D

Explanation:
Vendor lock-in is a risk most closely associated with the public cloud. Managing Cloud guidance explains that public cloud providers often use proprietary services, APIs, tools, and architectures that make migration to another provider difficult and costly.
Organizations may heavily invest in provider-specific technologies, which can limit flexibility and increase dependency. If pricing models change, services are discontinued, or availability issues arise, customers may face significant challenges in exiting the provider's ecosystem.
While regulatory noncompliance, malware, and personnel threats exist in all environments, vendor lock-in is especially prominent in public cloud adoption due to its scale and proprietary service offerings. Therefore, vendor lock-in is the correct answer.


NEW QUESTION # 109
Which U.S. standard is used by federal government agencies to manage enterprise risk?

Answer: B

Explanation:
Federal agencies in the U.S. rely onNIST SP 800-37, Risk Management Framework (RMF), to manage enterprise risk. RMF provides a structured process for categorizing systems, selecting controls, implementing safeguards, assessing effectiveness, authorizing operations, and continuous monitoring.
ISO 37500 deals with outsourcing governance, SSAE 18 governs service provider audits, and COSO is a corporate governance framework but not specific to federal agencies.
NIST RMF is integrated with the Federal Information Security Modernization Act (FISMA) requirements, ensuring agencies manage cybersecurity risks consistently. Its adoption is expanding beyond government into industries seeking comprehensive, repeatable risk management processes.


NEW QUESTION # 110
Which risk may be faced by users when using software resources in the platform as a service (PaaS) cloud model?

Answer: C

Explanation:
Information bleed is a risk associated with the Platform as a Service (PaaS) cloud model. Managing Cloud principles explain that PaaS environments are inherently multi-tenant, with multiple customers sharing the same underlying platform components such as runtimes, databases, and middleware.
If isolation controls are weak or misconfigured, data from one tenant may inadvertently become accessible to another. This unintended exposure is referred to as information bleed and represents a significant confidentiality risk in shared environments.
Guest escape is primarily related to virtualization at the infrastructure layer, software interoperability is a functional concern, and web application security applies across all service models. Therefore, information bleed is the most relevant PaaS-specific risk.


NEW QUESTION # 111
An organization is sharing personal information that is defined in its privacy policy with a trusted third party.
What else should the organization communicate to the trusted third party about the personal information?

Answer: C

Explanation:
When sharing personal data with a trusted third party, organizations must ensure that the recipient understands and adheres to theorganization's privacy policy and handling practices. This ensures consistent treatment of personal information across entities and aligns with consent provided by individuals.
Audit results and contractual notices are internal matters, while federal laws define obligations but do not substitute for organizational policies. By explicitly sharing policies and practices, organizations reinforce accountability and ensure compliance with privacy regulations such as GDPR, HIPAA, or CCPA.
This communication sets expectations for data use, retention, and disclosure. It also provides a defensible framework in case of regulatory inquiries, showing that due diligence was performed when transferring data to third parties.


NEW QUESTION # 112
......

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