
Benjamin Beck
Articles
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Oct 22, 2024 |
mondaq.com | Ana Hadnes Bruder |Benjamin Beck
On 17 October 2024, the European Commission adopted the first Implementing Regulation under the Network and Information Security 2 Directive (EU) 2022/2555 (NIS2), focusing on digital infrastructures and services. The adoption of the Implementing Regulation coincides with the deadline for EU Member States to transpose the NIS2 Directive into national law, one day before NIS2 rules are set to take effect.
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Aug 7, 2024 |
mondaq.com | Ana Hadnes Bruder |Ulrich Worm |Benjamin Beck |Michelle Mayer
The Network and Information Security 2 Directive (EU) 2022/2555 ("NIS2") entered into force on 16 January 2023. NIS2 sets cyber rules for organizations whose services are considered essential or important for maintaining critical societal and economic activities, such as ensuring the flow of energy or financial transactions. As a Directive, NIS2 must be transposed into the national laws of the EU Member States before it can take direct effect.
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Mar 20, 2024 |
mondaq.com | Ana Hadnes Bruder |Benjamin Beck |Livia Crepaldi Wolf |Sarah Wilks
CYBERSECURITY NETWORK AND INFORMATION SECURITY 2 DIRECTIVE (NIS2) DIGITAL OPERATIONAL RESILIENCE ACT (DORA) DRAFT CYBER RESILIENCE ACT (CRA)* WHO WILL BE IN SCOPE? Operators of essential and important services across various sectors including energy, transport, banking, health, medical devices, chemicals and digital.
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Mar 13, 2024 |
lexology.com | Ana Hadnes Bruder |Ulrich Worm |Aymeric de Moncuit |Oliver Yaros |Mark A. Prinsley |Konstantin von Werder | +3 more
Find out more about Lexology or get in touch by visiting our About page. RegisterTo view this article you need a PDF viewer such as Adobe Reader. If you can't read this PDF, you can view its text here. Go back to the PDF.
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Mar 8, 2024 |
mondaq.com | Ana Hadnes Bruder |Ulrich Worm |Benjamin Beck |Livia Crepaldi Wolf
On February 13 2024, the European Data Protection Board ("EDPB") adopted an opinion on the concept of a data controller's main establishment under Article 4(16)(a) of the General Data Protection Regulation ("GDPR") and whether the one-stop-shop mechanism can be relied upon by organisations to communicate with just one European supervisory data protection authority ("SA") about GDPR compliance rather than multiple SAs in up to twenty-seven countries across the European Union.
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