Laptops and devices used to control test equipment have been identified by FERC as potential cyber security risks. They are now classified as transient cyber assets and must conform to security measures required by new NERC CIP regulations.
How will this change your testing program? And what do you need to do to be prepared before regulations go into effect next year?
Read our short white paper called What does NERC CIP mean for my testing program? We further discuss what you need to consider when developing a NERC complaint program.