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Vehicular Communications; GeoNetworking; Part 1: Requirements

The present document specifies, at an abstract level, the general, functional and performance requirements that apply to the GeoNetworking protocols (EN 302 636-4 [i.1], EN 302 636-5 [i.2] and EN 302 636-6 [i.3]) for use in ETSI ITS G5 access technology (EN 302 663 [i.4]). The present document is applicable to ITS stations implementing ETSI ITS G5 access technology (EN 302 663 [i.4]) and the GeoNetworking protocols (EN 302 636-4 [i.1], EN 302 636-5 [i.2] and EN 302 636-6 [i.3]) for both single hop and multi-hop communications.

EN 302 636-1 V1.2.1

Network Functions Virtualisation (NFV) Release 3; Reliability; Maintaining Service Availability and Continuity Upon Software Modification

The present document specifies requirements for the purpose of Software Modifications, such that NFV service availability and continuity is maintained. All types of software related to Network Function Virtualisation (NFV) - e.g. Virtual Network Functions (VNF), Management and Orchestration (MANO) and Network Function Virtualisation Infrastructure (NFVI) as well as required controlling and supporting functionality will be addressed. Where applicable, external specifications may be referenced to avoid duplication of work. The present document contains normative provisions.

ETSI GS NFV-REL 006 V3.1.1

Network Functions Virtualisation (NFV); Virtualisation Technologies; Hypervisor Domain Requirements specification; Release 3

The present document provides requirements for the hypervisor domain as it pertains to an operator's network. It focuses on gaps between Network Functions Virtualisation (NFV) use cases and the industry state of art at the time of publication. Therefore requirements that are deemed to be supported by most hypervisor solutions at the time of publication are not repeated in the present document.

ETSI GS NFV-EVE 001 V3.1.1

Network Functions Virtualisation (NFV) Release 2; Acceleration Technologies; vSwitch Benchmarking and Acceleration Specification

The present document specifies performance benchmarking metrics for virtual switching, with the goal that the metrics will adequately quantify performance gains achieved through virtual switch acceleration conforming to the associated requirements specified herein. The acceleration-related requirements will be applicable to common virtual switching functions across usage models such as packet delivery into VNFs, network overlay and tunnel termination, stateful Network Address Translators (NAT), service chaining, load balancing and, in general, match-action based policies/flows applied to traffic going to/from the VMs. The present document will also provide deployment scenarios with applicability to multiple vendor implementations and recommendations for follow-on proof of concept activities.

ETSI GS NFV-IFA 003 V2.4.1

Maxime Lefrançois

Fellow's country
Impact on SMEs (7th Open Call)
The contribution may have an indirect but positive impact on both European SMEs and societies. For SMEs, especially those in IoT or data interoperability, improvements to the SAREF framework and tools could simplify the reuse of standards and reduce the effort to contribute new domain-specific content. By streamlining documentation and validation workflows, the project may lower technical barriers and help smaller organizations align with semantic standards. For European societies, SAREF is used in domains of public interest—such as energy efficiency, smart cities, and environmental monitoring. Enhancing its quality and maintainability may support more interoperable and sustainable digital solutions over time. Though effects are not immediate, the project strengthens infrastructure that can benefit societal initiatives based on interoperable data.
Impact on society (7th Open Call)
The SAREF ontology suite suffers from inconsistencies across extensions, due to historically parallel development efforts. While recent STFs (641, 653) addressed these through new ontology patterns and a revised framework, important steps remain unfunded: publication of updated documentation, integration of conformance checks, and automation of ETSI specification generation.
With this fellowship, I directly support the ICT Rolling Plan's "Key Enablers – Data Interoperability" priority. This activity enhances semantic interoperability in IoT contexts, ensuring continuity in the evolution of a foundational European ontology standard (SAREF). It also aligns with EC expectations for faster standard evolution and broader stakeholder involvement, notably in sectors such as smart cities, energy, and digital twins.
The main challenge is sustainability: reducing the manual effort needed to maintain and extend SAREF. The current publication workflow lacks automation and centralization, leading to delays and fragmentation. The revision of the SAREF Pipeline software and the automation of specification generation are technically complex due to the lack of existing tools for parsing OWL ontologies into ETSI-compliant documents. This proposal addresses these challenges through targeted, expert-driven development efforts, based on proven tools and methods already piloted in past STFs.
Open Call
Organisation type
Organization
MINES Saint-Étienne
Portrait Picture
Maxime Lefrançois
Proposal Title (7th Open Call)
Improving the ETSI TC SmartM2M SAREF publication framework and workflow
Role in SDO
Standards Development Organisation
StandICT.eu Year
2026
Topic (7th Open Call)

ETSI Mastering Tech Standardisation

Member for

5 years 3 months
Body

Welcome to the eLearning area, where you can develop the skills needed to engage with standardisation processes. The videos cover key topics to help you understand and apply technology standards that support innovation and interoperability. Whether you are new to the field or already have experience, this expert-led content will guide you step by step.

SDO

Gill Whitney

Description of Activities

 

The standards being developed should cover the requirements of the full range of stakeholders (including users, affected bystanders and manufacturers etc) over the complete lifetime of the product.

 

Fellow's country
Impact on SMEs (9th Open Call)
My contribution impacts in SMEs in a small but important way. The requirements of consumers with respect to how security information (such as updates or warnings) needs to be presented to end users in a clear, easy to understand and timely manner, without the use of unnecessary, unfamiliar terminology. Many SMEs will have access to or employ Cyber Security experts. They will therefore have similar requirements for information to be presented in a clear, useable, timely and concise way. I have referred to the issue of information to be presented in a useable way in a number of meetings. This is particularly relevant with respect to information impacting purchasing decisions or with reference to security updates.
Impact on society (6th Open Call)
Cybersecurity standards have traditionally focused on the operation of the hardware, software and firmware of the systems. The needs of the human elements have often not been fully considered and negative viewpoints are sometimes heard in cybersecurity standards meeting with respect to untrained and/or vulnerable consumers/end users. By considering and supporting the `human element’ in products with digital elements (an essential element), it is hoped to reduce the potential for harm to the system and also to reduce the harm to the end user. In particular improved communication should reduce the physiological harm caused to the end user when something goes wrong and they think it is their fault. Cybersecurity standards for digital systems can thus be seen to support vulnerable users and to acknowledge that all end users can be vulnerable in specific circumstances
Impact on society (9th Open Call)
My work supports ICT accessibility and digital skills. It did this by promoting the requirements of end users when these people were acting as part of a system involving the use of products with digital elements. These end users will include vulnerable end users. In these systems the end users will be involved in a range of set up and management activities with respect to the digital elements including choosing the products and their application, selecting and maintaining levels of Cybersecurity and making decisions on when the product has reached its end of life.
Products with digital elements include health monitoring and quality of life products which can improve the life and health of the end user, if they fail or become unsafe, they may impact the physical, sensory or cognitive health of the end user. If their operation becomes uncertain, they may cause stress, which impacts the cognitive health of the end user.
By supporting the end users to make sensible decisions when selecting or maintaining a product with digital elements, the followers of the relevant CRA standard will increase the digital skills of the end users. This can be achieved by enabling standards writers to create standards which consider the needs of all end users. The aim of this project was to assist the standard writers to do this.
Open Call
Organisation type
Organization
Independent Expert
Portrait Picture
Gill Whitney
Proposal Title (6th Open Call)
Contribution to the modification of standards to facilitate their use by manufacturers and writers of associated vertical standards
Proposal Title (9th Open Call)
Using accessibility standards to increase the cybersecurity of the full range of consumers
Standards Development Organisation
StandICT.eu Year
2026
Year

Antoine Sciberras

Description of Activities


My work aims to rationalise the resulting compliance efforts through a dedicated Technical Report (TR) under ETSI CYBER. This report will help reduce legal ambiguity, support standardisation across sectors, and ensure proportional and efficient compliance.

Fellow's country
Impact on SMEs (6th Open Call)
This project has significant implications for SMEs across the EU. Many of these companies provide ICT services to regulated entities but may lack the resources to navigate complex, overlapping regulatory regimes. By providing a unified interpretation of NIS2 and DORA obligations, the project reduces uncertainty and helps SMEs avoid redundant compliance efforts.
Impact on society (6th Open Call)
Yes. The initiative is centred on the development of a new Technical Report within ETSI CYBER, aimed at clarifying the joint application of NIS2 and DORA. A formal proposal has been submitted and approved as a work item under ETSI CYBER’s work programme.
Open Call
Organisation type
Organization
University of Malta
Portrait Picture
Antoine Sciberras
Proposal Title (6th Open Call)
Contributing to the evolution of ICT standards by providing clarity where EU-level legislation currently creates operational ambiguity
Standards Development Organisation
StandICT.eu Year
2026
Year

Joachim Koss

Description of Activities

My fellowship contributes to analysing the ICT (IoT) Standards landscape in order to find gaps to be filled by future standardisation work and also to identify existing standards, which manufacturers and service providers of connected products or related services may apply in order for their products being compliant to the new Regulation (EU) 2023/2854 (European Data Act).

Fellow's country
Open Call Topics
Impact on SMEs (4th Open Call)
The Data Act applies to the group of holders of data (not only but also SMEs) acting on the European market irrespective of the place of establishment of those manufacturers and providers.
Impact on society (4th Open Call)
Since the addressed existing or to be developed standards enable particularly semantic interoperability across the IoT, they also provide cross domain and cross-vendor IoT semantic interoperability for exchanging data with common understanding of its meaning. This will become increasingly important as greater quantities of data are generated and shared across the IoT. It opens new market opportunities in the domains of e.g. Healthcare, Smart Grid, Smart Metering, Intelligent Transport Systems, Industrial Automated Systems, and Smart Cities, which depend on collecting and processing data. With that, it directly supports the strong European goal of the “digital single market”.
Open Call
Organization
Independent principal consultant, JK Consulting and Projects
Portrait Picture
picture
Proposal Title (4th Open Call)
EU Data Act - Evaluation and filling of standardisation gaps to satisfy technical provisions of it
Standards Development Organisation
StandICT.eu Year
2026
Year
Topic (4th Open Call)