![]() Sector initiatives that are underway to enhance the security and privacy of IoT devices.4 The agency is, in part, leveraging extensive public and private Second, the NISTIR captures stakeholders’ interest in continued engagement on so-calledĬybersecurity and privacy baselines for IoT devices.3 NIST is not reinventing the wheel, which is Organizations to determine which considerations and challenges apply to particular IoT equipment. What’s especially important, the NISTIR says that organizations should mitigate risks toĬonnected devices’ cybersecurity and privacy throughout their life cycles-but it empowers To leave IoT undefined.1 Each sector has its own types of IoT devices (e.g., specialized medicalĮquipment in the health care sector and smart automobile technologies in the transportation sector).Ĭonnected consumer devices are quickly proliferating (e.g., refrigerators, thermostats, and TVs).2 The substantial effort that you and your colleagues put into developing it, including meeting with theįirst, we agree with the National Institute of Standards and Technology’s (NIST’s) decision Chamber of Commerce generally supports the draft NISTIR 8228, Considerationsįor Managing Internet of Things (IoT) Cybersecurity and Privacy Risks (NISTIR). Internet of Things (IoT) Cybersecurity and Privacy Risks Subject: Draft NIST Interagency Report (NISTIR) 8228, Considerations for Managing National Institute of Standards and Technology Chamber Letter on FY24 Commerce, Justice, Science, and Related Agencies Appropriations LegislationĬybersecurity for the Internet of Things (IoT) Program
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