Ampyx Cyber Blog
The Intersection of Regulation & Resilience
Protocol Converters: The 2023 SAR Just Got Validated (Again)
The 2023 NERC SAR asked whether protocol converters belong inside CIP-002. A new disclosure of 22 CVEs in serial-to-Ethernet hardware, set against a decade of advisories across the category, settles the question. The categorization debate now has its empirical record, and asset owners have CIP-007 R2 and CIP-013 work to do that does not wait for the standard.
Monitoring Meets Mandate: Will the Next CIP-015 Standard Deliver on FERC’s Vision?
FERC approved CIP-015-1, but also ordered NERC to expand it. The new SAR outlines how INSM requirements will extend beyond the ESP to include EACMS and PACS systems. This post breaks down how the SAR aligns with FERC’s directive, what still needs attention, and why internal visibility is no longer optional.
NERC CIP-002 Standards Authorization Request - Project 2021-03
NERC’s CIP-002 Project 2021-03 (Phase 2) introduces key updates to improve clarity and consistency in identifying and classifying BES Cyber Systems. The revisions address long-standing ambiguities by clarifying functional entity roles, refining the treatment of communication protocol converters, revising Criterion 1.3 to establish objective criteria for high-impact control centers, and expanding Criterion 2.6 to include control centers operated by Generator Operators and Transmission Owners. These changes aim to eliminate gaps in protection, align risk-based categorizations across all entities, and support more consistent compliance with CIP standards.