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FIA position on Lifecycle of a vehicle type* vs. Lifetime of a vehicle

Informal document GRVA-04-40 4th GRVA, 24-27 September 2019 Agenda item 5(a). Submitted by the expert from FIA. FIA position on Lifecycle of a vehicle type* vs. Lifetime of a vehicle. OICA proposal on Lifecycle of a vehicle type* vs. Lifetime of a vehicle.

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FIA position on Lifecycle of a vehicle type* vs. Lifetime of a vehicle

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  1. Informal documentGRVA-04-404th GRVA, 24-27 September 2019Agenda item 5(a) Submittedbythe expert from FIA FIA position onLifecycle of a vehicle type* vs. Lifetime of a vehicle

  2. OICA proposal onLifecycle of a vehicle type* vs. Lifetime of a vehicle Article 4 of 1958 Agreement applies link Note: Certificate of CSMS may still be valid Lifecycle of a vehicle type* Production definitively discontinued (last vehicle of this vehicle type manufactured) Vehicle Type Approval (first vehicle of this vehicle type manufactured) National law applies to registered vehicles Development Phase Production Phase Post Production Phase Lifetime of Vehicle 1 Lifetime of Vehicle 2 Lifetime of Vehicle 3 Post Use Phase Post Use Phase Post Use Phase Use Phase Use Phase Use Phase End of Registration End of Registration End of Registration Scrappage Scrappage Registration Registration Registration Scrappage Vehicles 1 & 2 & 3 can be of different carlines Day of Manufacture IT Security Support on VM policy The UN Regulation requires: • A comprehensive management system over the entire lifecycle of the vehicle type including • Risk management • Inclusion of suppliers • Field Monitoring • Incident response OICA proposal For clarification, replace systematically: • Lifetime by “lifetime of the vehicle” • Lifecycle by “lifecycle of the vehicle type” • Only “lifecycle” covers the development phase

  3. FIA position onLifecycle of a vehicle type* vs. Lifetime of a vehicle UN Regulation on Cyber Security and Software Updates applies, including Art. 4 of the 1958 agreement Note: Certificate of CSMS may still be valid Lifecycle of a vehicle type* Production definitively discontinued (last vehicle of this vehicle type manufactured) Vehicle Type Approval (first vehicle of this vehicle type manufactured) Development Phase Production Phase Post Production Phase Lifetime of Vehicle 1 Lifetime of Vehicle 2 Lifetime of Vehicle 3 Post Use Phase Post Use Phase Post Use Phase Use Phase Use Phase Use Phase End of Registration End of Registration End of Registration Scrappage Scrappage Registration Registration Registration Scrappage Vehicles 1 & 2 & 3 can be of different carlines Day of Manufacture • FIA likes to amend: • “lifecycle” is longer than all vehicle lifetimes and lasts at least until scrappage • IT security support must not end at the end of production • Post Production regulation is covered by the 58 agreement • The UN Regulation requires: • A comprehensive management system over the entire lifecycle of the vehicle type including • Risk management • Inclusion of suppliers • Field Monitoring • Incident response

  4. FIA; How is cybersecurity covered over the lifetime of a vehicle? • Post production is addressed in Annex A, § 7.2 of the UN requirementsSo far concrete measures like a minimum time or minimum mileage are missing and have to be added • A UN Regulation (under the Geneva 1958 Agreement) is appropriate tocover the whole lifecycle. Existing examples are UN Regulation No. 59 (Replacement (retrofit) silencing systems, UN Regulation No. 83 (including durability requirements and "in use" requirements), UN Regulation No. 90 (Replacement braking parts) and UN Regulation No. 133 (Recyclability of motor vehicles). [see report ECE/TRANS/WP.29/GRVA/2] • GRVA is working on considerations related to software updates and life-time provisions in the context of its cyber security and software updates activities. The involvement of WP.29 should be envisaged [see report ECE/TRANS/WP.29/1147] • Current legislations on national or regional level do not cover IT Security issues, like updates of Soft- or Hardware. IT Security is a new area in automotive regulation and requires technical adequate specifications, like updated software with better performance • “Appropriate measures” must be defined in detail, a simple risk control or other measures solely in the hands of VMs are not acceptable

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