Olga Popova, leading lawyer at Staffcop (Atom Safety is part of the SKB Kontur

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tanjimajuha20
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Olga Popova, leading lawyer at Staffcop (Atom Safety is part of the SKB Kontur

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nd application software, ALMI Partner LLC, believes that the FSTEC initiative not to move the deadline from January 1, 2025, to a later date, but instead to come to the aid of those companies that have not managed to bring their infrastructure into compliance with the presidential decrees, demonstrates the importance of the task and the need to strictly adhere to the stated deadlines: "The active position of FSTEC and its desire to help is very positive news bahrain whatsapp number databa se for the market. At the same time, it is interesting to see what specific measures FSTEC will implement as part of its assistance."

Group of Companies), believes that instead of shifting the deadlines for implementing decrees, approaches to inspections and sanctions should be reviewed: “It is advisable to introduce a more flexible assessment system that takes into account the efforts of companies to switch to domestic solutions.”

Olga Popova noted that the FSTEC initiative to provide assistance to companies that have not managed to comply with the decree deserves approval, clarifying that it is necessary to specify the types of assistance that the regulator is ready to provide, for example:

- partial or full compensation of costs for development or acquisition of domestic software;
- provision of consultations, recommendations and documentation on the selection and implementation of domestic software;
- free audit of company solutions for compliance with safety and import substitution requirements

Vasily Stepanenko, CEO of the cloud provider Nubes, believes that it is possible to replace the hardware on which the systems operate with similar hardware from the Ministry of Industry and Trade registry in the required timeframe, if funds are available: "There are servers, data storage systems, and network equipment classified as domestic. It is much more expensive than that imported by parallel import, but it is there. Potentially, domestic imposed protection tools can be applied in due time; they are also available with regulator certificates. I don't see any particular problems in refusing foreign security services, because DDoS attack protection services, WAF, etc. are available in the Russian Federation, and not just in CloudFlare. But replacing the main software of critical information infrastructure systems with domestic software seems like a really difficult task."
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