OLETS compliance for Oklahoma law enforcement agencies
Oklahoma agencies accessing CJI through OLETS - the Oklahoma Law Enforcement Telecommunications System, administered by DPS - answer to the FBI's CJIS Security Policy v6.0 and a second, OLETS-specific screening standard layered on top of it. ComplianceLattice tracks the federal foundation both share.
A federal baseline, plus a second screening standard
The FBI's CJIS Security Policy sets minimum screening requirements for anyone with unescorted access to unencrypted CJI. OLETS defines its own additional screening requirements on top of that federal minimum, and every OLETS User Account holder has to meet both standards before access is granted - not just the federal baseline. Oklahoma Statute 47 O.S. § 2-129 separately makes improper disclosure of information from the statewide network a specific statutory violation.
Underneath that dual screening requirement, the substance is the same work every CJIS-connected agency in the country does - access control, authentication, audit logging, incident response, and the rest of CJIS v6.0's 20 policy areas. ComplianceLattice tracks that full federal baseline today, covering most of the ground before you get to OLETS's own screening standard.
Because OLETS's screening requirements are defined separately from the federal minimum, satisfying one doesn't automatically confirm the other - worth verifying against OLETS's own current standard directly rather than assuming federal-level screening is sufficient. If your agency is working through OLETS requirements now, reach out - alpha tester feedback directly shapes what we build first.
- All 20 CJIS v6.0 policy areas, the federal baseline OLETS builds on
- Evidence vault with expiration tracking for background checks and training renewals
- Pre-built policy templates you can adapt for Oklahoma-specific requirements
- One-click audit export for your DPS or FBI assessor