- It was commented that in 800-63-A it does not list what would be fair evidence, such as credit card or other items that will constitute acceptable evidence. It was pointed out that we also should consider what the solution is capable of validating.
- TFPs should work on the list of acceptable evidence to comply with FICAM requirements.
- NIST commented that agencies should be doing the necessary to balance minimization of data. Definition of attributes is not NIST responsibility as FICAM may define those bundles. It was stressed that NIST role is to provide characteristics of acceptable types of evidence but not state them.
- FICAM clarified that they would not define those bundles; they will revise and evaluate the TFPs proposals on how and why certain artifacts will ensure compliance with 800-63-3.