U-Space service providers are also in scope of EASA Part-IS. The NPA 2021-14 (AMC/GM for U-space regulation) also contains cyber security guidance especially for the risk assessment methodology. (see GM6 Article 3 (1) U-space airspace)
Is that already fully in line with Part-IS, or do we need to pay extra attention here ?
Thank you for pointing it out. We are well aware of that.
Please note that Part-IS is more advanced in the rulemaking process, where the NPA is the first step.
We are in the process to transfer all cybersecurity related material for organisations in the AMC/GM for Part-IS.
Hi Christoph, it should since this is taken from the EUROCAE WG72 ED-201A document that is closely looking at the reqs in PART-IS. Furthermore the security risk assessment is but a small part of the ISMS required by PART-IS.
Thank you for pointing it out. We are well aware of that.
Please note that Part-IS is more advanced in the rulemaking process, where the NPA is the first step.
We are in the process to transfer all cybersecurity related material for organisations in the AMC/GM for Part-IS.
Hi Christoph, it should since this is taken from the EUROCAE WG72 ED-201A document that is closely looking at the reqs in PART-IS. Furthermore the security risk assessment is but a small part of the ISMS required by PART-IS.
Thanks for your comments Gian Andrea and Kristof. I posted this since I found myself involved in this NPA
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