10 CFR 73.54 PDF

protected area must be checked for proper authorization and visually searched § Protection of digital computer 10 CFR Ch. I (1–1–10 Edition ). industry voluntary cyber program (NEI ); 10 CFR , Cyber Security Rule; Implementation/Oversight of Interim Cyber Security Milestones. In the SRM, the Commission determined as a matter of policy that the NRC’s cyber security regulation (10 CFR ) should be interpreted to.

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Unlike most software providers, who maintain a rigid code base with brittle interfaces to third-party systems of record, DevonWay builds applications cfrr anticipate change. Reply with your comment Cancel reply Your email address will not be published. The proposed changes would codify a two-step graded reduction approach that recognizes that reductions in insurance amounts may be warranted commensurate with reductions in both the probability and consequences of an incident at a decommissioning reactor Foreign Ownership, Control, or Domination: You can see the requirements in C.

Your email address will not be published. Certain NRC decommissioning regulations, however, do not specifically account for this important difference between shutdown and operating plants.

Please contact customerservices lexology. This fact has prompted decommissioning licensees to request resource intensive regulatory exemptions and related license amendments. The proposed revisions are broad in scope insofar as they would amend language in multiple parts of NRC regulations, including 10 CFR Parts 20, 26, 50, 51, 52, 72, 73, and As noted in SECY, the proposed rule includes changes in three areas that would apply to operating reactor licensees: DevonWay has a track record of deploying systems into production at nuclear sites in just days, and is unique in its ability to apply change as cyber security rules continue to evolve.

USA May 24 The proposed rule, which is accompanied by a draft regulatory analysis and a draft environmental assessment, represents the latest step in a rulemaking process that the NRC staff commenced in Decemberwhen the Commission directed the staff to proceed with an integrated rulemaking on power reactor decommissioning in response to the increasing number of power reactors entering decommissioning. Your email address will not be published. This approach would provide four levels of emergency planning standards that coincide with significant milestones in decommissioning and which reflect the gradual reduction of the radiological risk during decommissioning: If you would like to learn how Lexology can drive your content marketing strategy forward, please email enquiries lexology.


Nuclear Industry Cyber Security Regulation 5.71

Given the above compliance responsibilities and the nuclear challenge articulated above, the following are the specific related challenges for NPPs today:.

We have collaborated with several of our respected customers to help ensure that CyberWay can be easily and quickly configured to meet the requirements of single-unit plants and fleets alike, even as the rules and regulations evolve.

However, from our perspective, the most important aspects of the proposed rule include changes to the following areas: Approach and implementation of information flow enforcement will be especially interesting:. However, this may not always be feasible.

CyberWay further establishes DevonWay’s leadership in assisting nuclear plants to standardize on practical compliance solutions for complex regulatory issues. Given the age of many 1 these nuclear related control systems this could be quite a challenge.

Cyber Security, NERC Compliance, and the Nuclear Plant Challenge

Finally, the NRC staff noted that it intends to publish four draft guidance documents for public comment in conjunction with the proposed rule. We will be attending the NEI Cyber Security Implementation Workshop in Baltimore on Januarywhere we will conduct software demonstrations and answer questions to help program managers assess their readiness for developing cyber security plans. The key sections is C: The proposed rule would provide an alternative, graded approach to the current 10 CFR Part 50 requirements for onsite and offsite radiological EP at power reactor sites.

This new product expands DevonWay’s commitment to supplying next-generation enterprise asset management solutions. Notably, cffrsix power reactors have permanently shut down, ctr, and entered decommissioning, and 12 additional reactor units are slated to do the same. Discussing the new offering, Robert W. Hats off to the drafting team though on a good effort and necessary document. Rather than add to that complexity with a typical enterprise-wide IT development project, plant CIOs are requesting that DevonWay configure an easy-to-use solution.


The proposed rule would provide that the cybersecurity requirements in 10 CFR My saved default Read later Folders shared with you. Cyber security Program Management Outline. Secondly, the Commission considered and, as appropriate, incorporated the 12 factors identified in the Energy Policy Act of To achieve reasonable compliance, each NPP must identify all of their critical digital assets CDA that, if compromised, could impact the performance of a security, safety, important to safety, or emergency preparedness SSEP system function.

For example, the final rule contains provisions related to multiple, coordinated groups cr attackers, suicide attacks and cyber threats. Comments There have been several developments in Cyber Security for Nuclear Power in the past few weeks. The proposed changes for decommissioning power reactors would allow for a graded approach and alternatives for physical security of the facility e. Accordingly, the principal purpose of the 7.354 rule is to increase regulatory efficiency by aligning decommissioning requirements with the reduction in radiological risk that occurs over time such that fewer plant-specific exemptions and license amendments are necessary while still adequately protecting public health and safety and maintaining security.

Given the importance of this rulemaking, xfr will continue to monitor related developments, including associated public meetings and public comments on the proposed rule and draft guidance documents. Share Facebook Twitter Linked In.