Ampyx Cyber Blog

The Intersection of Regulation & Resilience

CIP-015-1 INSM: A Practical Playbook
Deep Dive Patrick Miller Deep Dive Patrick Miller

CIP-015-1 INSM: A Practical Playbook

NERC CIP-015 makes east-west visibility inside the ESP mandatory. This playbook shows how to stand up INSM the right way through risk-based data feeds, ICS-aware anomaly detection, evaluation tied to incident response, and defensible evidence on a timeline to 10/1/2028 and beyond. Avoid common pitfalls and design now for the likely CIP-015-2 expansion.

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FERC Quietly Closes The Books on RM20-12-000
Policy Pulse Patrick Miller Policy Pulse Patrick Miller

FERC Quietly Closes The Books on RM20-12-000

FERC has officially closed Docket RM20-12-000, ending a five-year inquiry into potential gaps in the CIP Reliability Standards. While the docket is withdrawn, the underlying concerns—data security, anomaly detection, and coordinated cyberattacks—are being addressed through recent standards like CIP-015-1 (INSM) and proposed updates to CIP-003.

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FERC Finalizes INSM Standard: CIP-015-1 and the New Visibility Mandate for the Grid
Policy Pulse Patrick Miller Policy Pulse Patrick Miller

FERC Finalizes INSM Standard: CIP-015-1 and the New Visibility Mandate for the Grid

On June 26, the Federal Energy Regulatory Commission issued Order No. 907, approving the new NERC Reliability Standard CIP-015-1: Cyber Security – Internal Network Security Monitoring (INSM). This marks a critical shift in how we approach cybersecurity within the Bulk Electric System. It also raises the bar significantly on what’s expected for visibility inside the network perimeter.

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FERC Proposes New Standards for INSM: Internal Network Security Monitoring (CIP-015-1)
Policy Pulse Patrick Miller Policy Pulse Patrick Miller

FERC Proposes New Standards for INSM: Internal Network Security Monitoring (CIP-015-1)

The Federal Energy Regulatory Commission (FERC) has issued a new Notice of Proposed Rulemaking (NOPR) under Docket No. RM24-7-000. This proposed rule seeks to approve NERC’s proposed Critical Infrastructure Protection (CIP) Reliability Standard CIP-015-1. The new standard focuses on Internal Network Security Monitoring (INSM) to detect and address cyber threats within the electronic security perimeter of the Bulk Electric System (BES).

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Embracing AI for the Electric Grid: Insights from NERC
Patrick Miller Patrick Miller

Embracing AI for the Electric Grid: Insights from NERC

In the rapidly evolving landscape of the electric sector, the integration of cutting-edge technologies is not just an option; it's a necessity. Among these, artificial intelligence (AI) stands out as a transformative force, offering unprecedented opportunities to enhance grid reliability, security, and efficiency. Recognizing this potential, the North American Electric Reliability Corporation (NERC) has provided insightful comments on how AI can be harnessed to address the challenges and opportunities within the electric grid.

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CIP-015: The Crucial Role of INSM in Strengthening Grid Security
INSM Patrick Miller INSM Patrick Miller

CIP-015: The Crucial Role of INSM in Strengthening Grid Security

introduction of CIP-015, a new regulation aimed at enhancing grid security by mandating Internal Network Security Monitoring (INSM) for high and medium impact Bulk Electric System (BES) Cyber Systems. This development, initiated by FERC Order No. 887, responds to the need for robust monitoring within trusted network zones to detect and mitigate potential cyber threats. CIP-015 emerges as a standalone standard after industry feedback suggested that INSM requirements did not align well with existing frameworks, shifting towards an objective-based rather than prescriptive approach.

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NERC's New INSM Regulation: Assessing Impact and Ambiguity
INSM Patrick Miller INSM Patrick Miller

NERC's New INSM Regulation: Assessing Impact and Ambiguity

The recent draft release of NERC's new CIP Standard for Internal Network Security Monitoring (INSM) sparks a conversation filled with anticipation and skepticism. With directives from FERC Order 887 echoing in its language, the draft attempts to navigate through the challenges of creating a new regulation to address situations where vendors or individuals with authorized access are considered secure and trustworthy but could still introduce a cybersecurity risk.

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