Dear colleagues, 

As noted in the recent RIPE Labs article on European Union (EU) engagement, the 
RIPE NCC has been working with representatives of the RIPE community to address 
the European Commission's proposed EU Directive on network and information 
security (NIS). This proposed Directive is currently under consideration by the 
European Parliament and is available online at: 
http://eeas.europa.eu/policies/eu-cyber-security/cybsec_directive_en.pdf

The aim of this Directive is "to ensure a high common level of network and 
information security (NIS) across the EU", specifically through the 
establishment of national Computer Emergency Response Teams (CERTs), improved 
information sharing between national authorities and required reporting on risk 
levels and security incidents by providers of "information society services". 

RIPE community members and RIPE NCC staff have identified several areas of 
concern with the current draft of the Directive, and these concerns form the 
basis of the draft response below.

We would like to invite feedback from this working group on whether there is 
support for the position(s) taken in the statement, whether there is support 
for the RIPE NCC engaging Members of the European Parliament on this issue, and 
any other thoughts. 

There will also be a discussion of this issue in the RIPE 67 Cooperation 
Working Group session, which takes place on Thursday, 17 October, 16:00-17:30 
local time (UTC+3). You can follow and contribute to this session either 
on-site in Athens or remotely at: 
https://ripe67.ripe.net/live/

Best regards,
Chris Buckridge
External Relations Officer, RIPE NCC

--------------------------

The RIPE NCC welcomes the European Commission's efforts in the area of network 
and information security (NIS), premised on the need for closer international 
cooperation to meet the global nature of network security issues. We also 
welcome the Directive's acknowledgement of the need for all stakeholder groups 
to participate in developing solutions to NIS challenges.
 
Drawing on discussions with members of the RIPE community and internally, the 
RIPE NCC would like to raise a general concern with the current draft. While 
the proposed Directive recognises the importance of "informal cooperation 
mechanisms", we believe that there is an important and formal role for 
multi-stakeholder mechanisms and processes in refining the implementation 
details of the Directive.
 
Recognition of such a role would be particularly useful in relation to the 
following specific aspects of the Directive:
 
1. Scope
The RIPE NCC believes that there is a need to clarify the scope of the 
Directive, particularly with regard to the following terms:
 
- "information society services which enable the provision of other information 
society services"
- "significant impact" (in relation to security incidents)
 
In line with the purpose and the legal basis of the Directive (i.e. ensuring 
the functioning of the Internal Market according to Article 26 of the Treaty on 
the Functioning of the European Union), we believe that the Directive should be 
clearly limited to organisations or security incidents that directly impact the 
Internal Market. Clear criteria should be developed via transparent, 
multi-stakeholder processes to identify those incidents or organisations 
covered by the Directive.
 
2. Establishment of security requirements
The Directive aims to establish security requirements for market operators and 
public administrations, and to this end it empowers the Commission to:
 
- Draw up a list of standards by means of implementing acts [1]
- Adopt delegated acts concerning the definition of circumstances in which 
public administrations and market operators are required to notify incidents
 
The Cybersecurity Strategy of the European Union notes the role of 
multi-stakeholder, bottom-up procedures in developing and maintaining security 
standards. We believe it would be appropriate that the specification of such 
standards and definitions in the context of this Directive should also be the 
outcome of such formal, multi-stakeholder processes. This would help to ensure 
the inclusion of input from all relevant stakeholders and the flexibility and 
responsiveness that is required in an online environment.
 
 
        [1] Definitions of "implementing acts" and "delegated acts": 
        
http://europa.eu/legislation_summaries/institutional_affairs/treaties/lisbon_treaty/ai0032_en.htm

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