A defined set of provider types owes a second, more specific registration on top of the Article 3(4) duty: DNS service providers, TLD name registries, domain name registration service providers, cloud computing, data centre and content delivery network providers, managed service and managed security service providers, and providers of online marketplaces, online search engines and social networking platforms. They had to submit to the competent authorities by 17 January 2025 the entity name, the relevant Annex I or II sector, subsector and entity type where applicable, the address of the main establishment and other Union legal establishments or of the designated representative, up to date contact details including email addresses and telephone numbers, the Member States where services are provided, and the entity's IP ranges. Changes must be notified without delay and in any event within three months. The single point of contact forwards everything except the IP ranges to ENISA, which maintains the registry.
NIS2 Directive Art.27.2 is one control. If you already hold one of the frameworks below, a reviewed crosswalk already says how much of NIS2 Directive your existing evidence covers. Hold DORA and 17 of 28 NIS2 Directive controls already carry evidence.
Each report names every control your existing framework evidences, every one it does not, the reasoning behind each claim, and the claims that were argued against and rejected. 0 were rejected on the DORA pair alone.
The graph holds this control, the 0 it maps to, and the evidence behind each claim, over MCP and REST.