With NIS-2, the EU is making a further attempt to raise the level of cyber security in the EU. While Germany had already formulated national requirements for critical infrastructures with the IT Security Act in 2015 - and therefore before the first NIS Directive - implementation in other member states has progressed more slowly. The EU wants to avoid these divergences in further implementation. In particular, the scope of application will be defined much more specifically.
For the first time, a distinction is made between entities in the categories "essential" and "important", which are subsequently subject to different requirements in some cases. The distinction is primarily based on newly defined thresholds - details are set out in Art. 3 of the directive.
The sectors affected are listed in Annex 1. The sectors with high criticality include energy, transport, banks, financial market infrastructures and digital infrastructures. Public administration is also explicitly mentioned here. The category of other critical sectors includes postal and courier services, providers of digital services, as well as manufacturers of medical devices, machinery and vehicle construction. The scope of application of NIS-2 will therefore bring changes compared to the KRITIS sectors known in Germany and the IT Security Act.