The action that an organization that shares card holder information with a service provider must do when dealing with compliance with the Payment Card Industry-Data Security Standard (PCI-DSS) is to validate the service provider’s PCI-DSS compliance status on a regular basis. PCI-DSS is a set of security standards that applies to any organization that stores, processes, or transmits card holder data, such as credit or debit card information. PCI-DSS aims to protect the card holder data from unauthorized access, use, disclosure, or theft, and to ensure the security and integrity of the payment transactions. If an organization shares card holder data with a service provider, such as a payment processor, a hosting provider, or a cloud provider, the organization is still responsible for the security and compliance of the card holder data, and must ensure that the service provider also meets the PCI-DSS requirements. The organization must validate the service provider’s PCI-DSS compliance status on a regular basis, by obtaining and reviewing the service provider’s PCI-DSS assessment reports, such as the Self-Assessment Questionnaire (SAQ), the Report on Compliance (ROC), or the Attestation of Compliance (AOC). Performing a service provider PCI-DSS assessment on a yearly basis, validating that the service provider’s security policies are in alignment with those of the organization, and ensuring that the service provider updates and tests its Disaster Recovery Plan (DRP) on a yearly basis are not the actions that an organization that shares card holder information with a service provider must do when dealing with compliance with PCI-DSS, as they are not sufficient or relevant to verify the service provider’s PCI-DSS compliance status or to protect the card holder data. References: CISSP All-in-One Exam Guide, Eighth Edition, Chapter 1, Security and Risk Management, page 49. Official (ISC)2 CISSP CBK Reference, Fifth Edition, Chapter 1, Security and Risk Management, page 64.