FCIC/CJNet compliance for Florida law enforcement agencies
Florida agencies accessing CJI answer to the FBI's CJIS Security Policy v6.0 and FDLE, the state's CJIS Systems Agency, which runs its own technical audit program under the FCIC/CJNet User Agreement. ComplianceLattice tracks the federal foundation both share.
A federal baseline, audited on a wider net
FDLE conducts technical audits every three years - and unlike states that limit their audit reach to criminal justice agencies, FDLE is dually authorized to audit any entity that receives state and national background check information, including noncriminal justice agencies (NCJAs). Florida runs a dedicated NCJA CSP compliance program specifically because that audit net is wider than most states'.
What the audit actually checks - access control, authentication, audit logging, incident response, and the rest of CJIS v6.0's 20 policy areas - is the same work every CJIS-connected agency in the country does. ComplianceLattice tracks that full federal baseline today, covering most of what an FDLE auditor reviews before you get to Florida-specific documentation.
If your agency shares background check results with any noncriminal justice entity - a licensing board, an employer verification program - that recipient is potentially in FDLE's audit scope too, not just your own department. If your agency is working through the FDLE FCIC/CJNet User Agreement requirements now, reach out - alpha tester feedback directly shapes what we build first.
- All 20 CJIS v6.0 policy areas, the federal baseline FDLE's audit program builds on
- Evidence vault with expiration tracking for background checks and training renewals
- Pre-built policy templates you can adapt for Florida-specific requirements
- One-click audit export for your FDLE or FBI assessor