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This document includes the sector specific requirements for the provision of private security services in the energy sector that are additional to the requirements of EN 17483 1. It specifies service requirements for quality in organization, processes, personnel and management of a security service provider and/or its independent branches and establishments under commercial law and trade as a provider with regard to security services in the energy sector. It lays down quality criteria for the delivery of security services in the energy sector requested by public and private clients. This document is suitable for the selection, attribution, awarding and reviewing of the most suitable provider of security services in the energy sector. NOTE 1 This document is the Part 4 of a series of standards on the provision of private security services for critical infrastructure. See Figure 2. [Figure 2] NOTE 2 It is important that the selection of a private security service provider always represents the best balance between quality and price. This document sets out the minimum requirements that providers are expected to comply with in order for this balance to be struck. It specifies service requirements for quality in organization, processes, personnel and management of a security service provider and/or its independent branches and establishments under commercial law and trade as a provider with regard to security services in the energy sector. It lays down quality criteria for the delivery of security services in the energy sector requested by public and private clients. This document is suitable for the selection, attribution, awarding and reviewing of the most suitable provider of security services in the energy sector. This document is not applicable to private security services in nuclear power plants. List of possible activities Activities for PSCs in CIP in the energy sector: 1. Perimeter Protection and Surveillance: — Human – reception services, static guarding, patrols, possibly K9; — Technology – CCTV, Drones, others; — Operation of a control/monitoring room; — Operation of an alarm monitoring centre; — Access Control and Management (tourniquets, barriers, authorization and badges). 2. Human and technology, e.g. use of screening and detection equipment for: — Vehicles; — Goods; — Visitors; — Staff; — Contractors (means: human and technology, e.g. use of screening and detection equipment); 3. Site and off-site Protection and Surveillance / static securing & patrolling on-site and within the building; 4. Emergency response / crisis management; — Alarm intervention; — First responders (EHS – Emergency Health Services);
This document specifies guidelines for a use of social media in emergency management. It gives guidance on how to use social media before, during and after an emergency and how social media can support the work of emergency services. On the one hand, these guidelines are directed to authorities (governmental as well as nongovernmental organisations) involved in emergency management. On the other hand, they are directed to citizens who want to use social media in emergency situations. These guidelines shall help social media users to use these new media as efficiently as possible.
This International Standard establishes the colour codes for expressing the degree of safety or danger. The colour codes should be used to gain the attention of both first response personnel and/or the people at risk about the severity of situation to solicit them to seek more information or to take appropriate safety actions specified by prior notification. Unlike safety signs which convey static information, colour codes should be used to let the people at risk know the recent changes in status in terms of safetydanger continuum . The colours between red and green in terms of hue will be used to express the status in terms of safetydanger continuum. The degree of safetydanger continuum should be less than nine because of human capacity to distinguish at one time. This standard is applicable to all locations and all sectors where safetyrelated questions may be posed. However, it is not applicable to, generally speaking, to those sectors subject to a regulation which may differ.