The Office for Digital Identities and Attributes (OfDIA) has published a pre-release of the latest iteration of the UK digital identity and attributes trust framework (Trust Framework) (gamma version). This is the fourth iteration of the Trust Framework, which was first published in 2021.
The gamma version is currently a pre-release, meaning it is not possible for service providers to achieve certification against the gamma version at this time. The beta version will continue to be the certification standard for now, but given that the requirements of the gamma version will not change between now and its final release, service providers should consider the requirements of the gamma version and begin taking steps to prepare to meet the rules which will be applicable once the gamma version comes into force.
The timeline for the gamma version going live is yet to be announced but will be dictated by the speed with which UKCAS is able to accredit conformity assessment bodies for assessing whether the provisions of the gamma version are being followed by organisations seeking certification. This means it is likely that the gamma version will go live this year.
Roles
The Trust Framework sets out a number of roles, each with a distinct set of rules that are applicable depending on the type of product or service the organisation seeking certification is providing. The gamma version has introduced two new roles which providers can now achieve certification against:
Entities fulfilling these roles will have to comply with their own specific rules (in particular Good Practice Guide 44 and Good Practice Guide 45 where applicable) and other rules which are applicable to all entities seeking certification.
As per the beta version, the roles are not mutually exclusive and entities whose product offering covers multiple roles will need to be certified against each role.
Trust
The gamma version has introduced many amendments to build public trust in digital identity:
Security
The gamma version contains more comprehensive security provisions (sections 12.4.1 and 12.4.2), including:
Providers must be aware that the rules set out in the Trust Framework are complementary to any industry specific rules and regulations which they may be subject to regarding fraud prevention, as well as any obligations under UK law.
Privacy
Additional requirements have been added into the gamma version regarding information security management systems:
The gamma version reiterates the importance of privacy and data protection at the heart of the Trust Framework. As per the beta version, high standards of data protection compliance are mandated, requiring providers to implement best industry practice on data protection. Further updates have also been introduced (section 12.7) including:
The Register
New provisions have been introduced (section 13) regarding the register of certified providers, designed to enhance the integrity of the register as the source of truth regarding trusted providers operating in the digital identity space. The business probity requirements (section 11.1) which have been introduced, including a requirement not to bring the Trust Framework into disrepute, aim to achieve a similar objective.
Schemes and supplementary codes
References to schemes set out in the beta version have been removed. Use case scenarios will be addressed via supplementary codes, prepared through stakeholder engagement (see section 4.4).
Part 2 of the Data (Use and Access) Bill (Data Bill), which has now reached the report stage in the House of Lords, sets out the legislative framework for digital verification services in the UK, including obligations for the Secretary of State to create a statutory trust framework which would be kept under annual review.
OfDIA has confirmed that it will be launching the next iteration of the Trust Framework following the passage of the Data Bill. As such, there is limited time until a statutory trust framework will be established. It is highly likely that the provisions of the statutory framework will be based upon the Trust Framework. This means that stakeholder engagement with OfDIA to refine the Trust Framework, to ensure it is fit for purpose and upholds consumer confidence without putting undue pressure and burdens on providers, is now more important than ever.