Fédération Internationale de l'Automobile

FIA · Non-governmental organisations, platforms and networks and similar · FR

Kategorija
Non-governmental organisations, platforms and networks and similar
Būstinė
Paris FR
Registruota
2011-02-22
Deklaruotos metinės išlaidos
114 922 € (pačios deklaruota)
Svetainė
http://www.fiaregion1.com
Skaidrumo registras
84839535366-67 ↗
Susitikimai su EK
Pateiktos pozicijos
Pozicijos dokumentai
0
Paminėjimai spaudoje
Sumą deklaruoja pati organizacija Skaidrumo registre; institucijos jos netikrina.

Susitikimai pagal metus

2016220192202082021720228202372024620252120264

Šaltinis: Europos Komisijos skelbiami susitikimai, sutapatinti pagal skaidrumo registro numerį. n = 65 susitikimų; x — metai pagal susitikimo datą, y — susitikimų skaičius.

Susitikimai su Europos Komisija

Skelbiami tik susitikimai su Komisijos nariais, jų kabinetais ir generaliniais direktoriais. Susitikimai žemesniu lygiu ir daugelis kontaktų Parlamente bei Taryboje į registrą nepatenka.
DataPriėmėTema
2026-07-06Mobility and TransportExchange of views on road safety activities and the FIA Road Safety Index
2026-07-06Mobility and TransportExchange of views on road safety activities and the FIA Road Safety Index
2026-03-18Cabinet of Commissioner Jessika RoswallCircular Economy Act
2026-03-18Cabinet of Commissioner Jessika RoswallCircular Economy Act
2025-10-21Internal Market, Industry, Entrepreneurship and SMEsMeeting on small affordable cars initiative and possible Made in Europe requirements
2025-10-21Internal Market, Industry, Entrepreneurship and SMEsMeeting on small affordable cars initiative and possible Made in Europe requirements
2025-10-21Internal Market, Industry, Entrepreneurship and SMEsMeeting on small affordable cars initiative and possible Made in Europe requirements
2025-10-21Internal Market, Industry, Entrepreneurship and SMEsMeeting on small affordable cars initiative and possible Made in Europe requirements
2025-10-20Cabinet of Executive Vice-President Stéphane SéjournéMeeting on small affordable cars initiative and possible Made in Europe requirements
2025-10-20Cabinet of Executive Vice-President Stéphane SéjournéMeeting on small affordable cars initiative and possible Made in Europe requirements
2025-09-04Internal Market, Industry, Entrepreneurship and SMEsApproval of Driver Control Assistance Systems (DCAS)
2025-09-04Internal Market, Industry, Entrepreneurship and SMEsApproval of Driver Control Assistance Systems (DCAS)
2025-09-04Internal Market, Industry, Entrepreneurship and SMEsApproval of Driver Control Assistance Systems (DCAS)
2025-06-11Climate ActionCO2 fleet targets
2025-06-11Climate ActionCO2 fleet targets
2025-04-02Cabinet of Commissioner Glenn MicallefIntroductory meeting + discussion on FIA's activities including an overview of their structure and work, focusing on past EU funded projects. Minutes attached
2025-04-02Cabinet of Commissioner Glenn MicallefIntroductory meeting + discussion on FIA's activities including an overview of their structure and work, focusing on past EU funded projects. Minutes attached
2025-02-11Internal Market, Industry, Entrepreneurship and SMEsAction plan for the automotive sector
2025-02-11Internal Market, Industry, Entrepreneurship and SMEsAction plan for the automotive sector
2025-02-11Internal Market, Industry, Entrepreneurship and SMEsAction plan for the automotive sector
2025-02-11Internal Market, Industry, Entrepreneurship and SMEsAction plan for the automotive sector
2025-01-14Cabinet of Executive Vice-President Henna VirkkunenThe role of the automotive aftermarket in the EU Industrial Action Plan for the automotive sector
2025-01-14Cabinet of Executive Vice-President Henna VirkkunenThe role of the automotive aftermarket in the EU Industrial Action Plan for the automotive sector
2025-01-10Cabinet of Commissioner Apostolos TzitzikostasIntroductory meeting
2025-01-10Cabinet of Commissioner Apostolos TzitzikostasIntroductory meeting
2024-06-04Cabinet of Commissioner Thierry BretonDiscussion on preparation of delegated act on conditions to access data for repair and maintenance activities
2024-06-04Cabinet of Commissioner Thierry BretonDiscussion on preparation of delegated act on conditions to access data for repair and maintenance activities
2024-06-04Cabinet of Commissioner Thierry BretonDiscussion on preparation of delegated act on conditions to access data for repair and maintenance activities
2024-02-20Cabinet of Commissioner Wopke HoekstraSpeaker at event Forum for Mobility and Society - 2040 climate target
2024-02-20Cabinet of Commissioner Wopke HoekstraSpeaker at event Forum for Mobility and Society - 2040 climate target
2024-02-20Cabinet of Commissioner Wopke HoekstraSpeaker at event Forum for Mobility and Society - 2040 climate target
2023-11-23Cabinet of Vice-President Margaritis SchinasCooperation on innovation and ethics in sports - Tackling online hate speech and illegal content - Piracy of sports events
2023-11-23Cabinet of Vice-President Margaritis SchinasCooperation on innovation and ethics in sports - Tackling online hate speech and illegal content - Piracy of sports events
2023-02-15Cabinet of President Ursula von der LeyenIn-vehicle data
2023-02-15Cabinet of President Ursula von der LeyenIn-vehicle data
2023-01-16Cabinet of Commissioner Adina VăleanData Act Regulation and Specific legislation on ‘Access to in-vehicle data & functions’
2023-01-16Cabinet of Commissioner Adina VăleanData Act Regulation and Specific legislation on ‘Access to in-vehicle data & functions’
2023-01-16Cabinet of Commissioner Adina VăleanData Act Regulation and Specific legislation on ‘Access to in-vehicle data & functions’
2022-06-22Cabinet of Executive Vice-President Frans Timmermans…clean energy transition, the inexorable move towards e-vehicles, and the importance of the car industry to contribute
2022-06-22Cabinet of Executive Vice-President Frans Timmermans…clean energy transition, the inexorable move towards e-vehicles, and the importance of the car industry to contribute
2022-06-16Cabinet of Commissioner Thierry BretonData Act ; in-vehicle data
2022-06-16Cabinet of Commissioner Thierry BretonData Act ; in-vehicle data
2022-06-16Cabinet of Commissioner Thierry BretonData Act ; in-vehicle data
2022-06-10Cabinet of Commissioner Thierry BretonPrep meeting for meeting with Commissioner Breton on 16/6
2022-06-10Cabinet of Commissioner Thierry BretonPrep meeting for meeting with Commissioner Breton on 16/6
2022-06-10Cabinet of Commissioner Thierry BretonPrep meeting for meeting with Commissioner Breton on 16/6
2021-10-27Cabinet of Commissioner Thierry BretonData
2021-10-27Cabinet of Commissioner Thierry BretonData
2021-10-27Cabinet of Commissioner Thierry BretonData
2021-10-27Cabinet of Commissioner Thierry BretonData
2021-10-27Cabinet of Commissioner Thierry BretonData
2021-03-24Cabinet of Commissioner Adina VăleanConversation with FIA 1 Euroboard on the SSMS.
2021-03-24Cabinet of Commissioner Adina VăleanConversation with FIA 1 Euroboard on the SSMS.
2020-10-22Cabinet of Commissioner Adina VăleanFIA event presentation
2020-10-22Cabinet of Commissioner Adina VăleanFIA event presentation
2020-06-11Cabinet of Commissioner Adina VăleanMeeting to discuss the Automotive sector.
2020-06-11Cabinet of Commissioner Adina VăleanMeeting to discuss the Automotive sector.
2020-05-29Cabinet of Commissioner Adina VăleanMeeting to discuss the impact of COVID 19 in the sector
2020-05-29Cabinet of Commissioner Adina VăleanMeeting to discuss the impact of COVID 19 in the sector
2020-02-12Cabinet of Executive Vice-President Margrethe VestagerMeeting with FIA Region I on digitalisation of the transport sector
2020-02-12Cabinet of Executive Vice-President Margrethe VestagerMeeting with FIA Region I on digitalisation of the transport sector
2019-04-04Communications Networks, Content and TechnologyConnectivity in the automotive sector.
2019-04-04Communications Networks, Content and TechnologyConnectivity in the automotive sector.
2016-04-12Mobility and TransportMy Car My Data connectivity
2016-04-12Mobility and TransportMy Car My Data connectivity

Ką pateikė viešoms konsultacijoms

2020-04-28 · Report on the application of the General Data Protection Regulation ↗ originalus šaltinis
FIA Region I welcomes the opportunity to provide input on the Roadmap on the Report on the application of the General Data Protection Regulation. We have outlined three points that could be considered in the process of identifying possible issues in the application of the legislation: The representation of mobility end-users is the utmost priority of FIA Region I. Our 104 Mobility clubs represent over 36 million members from across Europe, the Middle East and Africa. Our members provide roadside assistance, legal advice, insurance and many other products to their members. In 2017, FIA Region I developed a campaign called My Car My Data highlighting the importance of informed consent on…
2020-04-28 · Report on the application of the General Data Protection Regulation ↗ originalus šaltinis

Ką rašo savo pozicijos dokumentuose

Ištraukos iš organizacijos pačios įkeltų dokumentų, be trumpinimų ir perpasakojimų.
Report on the application of the General Data Protection Regulation · 27 p.

FIA EUROPEAN BUREAU - RUE DE LA SCIENCE 41, 5TH FLOOR - B-1040 BRUSSELS, BELGIUM - +32 2 280 0758 - WWW.FIAREGION1.COM European Data Protection Board consultation on the Guidelines 1/2020 on processing personal data in the context of connected vehicles and mobility related applications (28 January 2020) Fédération Internationale de l'Automobile (FIA) Region I is a consumer body comprising 104 Mobility Clubs that represent over 36 million members from across Europe, the Middle East and Africa. Our members provide roadside assistance, legal advice, insurance and many other products to their members. The FIA Region I office aims: 1. to provide a strong representation of European Member Club interests towards the European Union institutions - for example on road safety, consumer protection, environmental protection and the promotion of sustainable motoring;

- for example on road safety, consumer protection, environmental protection and the promotion of sustainable motoring; 2. to build up links and support the exchange of best practices between our Member Mobility Clubs across Europe, Africa and the Middle East, and; 3. to engage in new campaign activities together with Mobility Clubs throughout the region, such as the FIA Action for Road Safety campaign. FIA Region I welcomes the opportunity to provide input on the Guidelines on processing personal data in the context of connected vehicles via the public consultation. We have outlined seven points that could be considered in this consultation process: Categories of data FIA Region I welcomes the support from the Board to our campaign ‘My Car My Data’1.

…process: Categories of data FIA Region I welcomes the support from the Board to our campaign ‘My Car My Data’1. Considering the increasing amount of data generated by connected vehicles, the Guidelines state most of it can be considered personal data, once they will relate to drivers or passengers. FIA Region I believes that not most, but all data in connected vehicles qualify as personal data unless anonymized, in which case European data protection law no longer applies. In fact, FIA Region I has commissioned a Legal Study2 looking into the matter. The study revealed that it is neither relevant whether data compromises technical data, nor whether data is vehicle generated or provided by the individual for the data to be qualified as personal data since vehicle manufacturers can typically easily identify the driver, owner and user with reasonable efforts.

…data since vehicle manufacturers can typically easily identify the driver, owner and user with reasonable efforts. On the back of our Mobility Clubs’ expertise in consumer and data protection in transport, we recommend the Guidelines give further attention to the close and sensitive relationship between the consumer (either the owner, holder or driver of the car) and the connected vehicle. When clarifying the legal definition of the data subject (paragraph 37), it should refrain from portraying the consumer as a mere subject of the data treatment, but, instead, as the origin of the data. Therefore, when defining the data subject, the Guidelines should also mention that the user is the one entitled to decide on the data generated by the connected vehicle.

…also mention that the user is the one entitled to decide on the data generated by the connected vehicle. 1 FIA Region I Campaign and Survey ‘My Car My Data’, May 2017 2 ‘What EU Legislation says about car data - Legal Memorandum on Connected Vehicles and Data’, Osborne Clark, Legal Study Commissioned by FIA Region I in the context of the My Car My Data Campaign, 16 May 2017. Ref. Ares(2023)7518337 - 06/11/2023 FIA EUROPEAN BUREAU - RUE DE LA SCIENCE 41, 5TH FLOOR - B-1040 BRUSSELS, BELGIUM - +32 2 280 0758 - WWW.FIAREGION1.COM Regarding the special categories of data, our Mobility Clubs support the special attention given highly sensitive categories of data. Geolocation data, biometric data and data revealing criminal offences or infractions, successfully highlight the need to protect personal data.

…data and data revealing criminal offences or infractions, successfully highlight the need to protect personal data. FIA Region I encourages these three categories to be also reinforced in national legislation, to ensure that the sensitivity is addressed in different levels of governance. Therefore, recognising in legislation the special attention to the processing of such categories of data can further protect individuals’ data protection and privacy rights. Scope FIA Region I welcomes the Guidelines’ clarification of the scope of the processing of personal data in the context of non-professional use of connected vehicles. Besides, it endorses the fact that the Guidelines considers the collection of personal data through several means, either vehicle sensors, telematics boxes, or mobile applications, when they are related to the environment of driving.

…either vehicle sensors, telematics boxes, or mobile applications, when they are related to the environment of driving. This interpretation clarifies the protection of motorists’ personal data not only for current means of collecting data but also for new applications and devices in the coming future. Road Safety Concerns Our Mobility Clubs share the same concerns raised by the Guidelines regarding the driver’s ability to stop the collection of certain types of data at any moment, either temporarily or permanently. Vehicles must be safe even when the driver chooses to stop the collection of the personal data from connected vehicles, as exercising this right should not mean the individual is put at risk. In other words, vehicles and their functionalities must be designed considering all necessary safety measures to ensure that drivers are able to safely stop the collection of data.

…considering all necessary safety measures to ensure that drivers are able to safely stop the collection of data. Therefore, FIA Region I endorses the Guidelines provisions incentivise vehicle manufacturers and other data controllers to implement specific tools allowing drivers to effectively exercise their rights. Purposes for processing personal data The Guidelines rightfully clarify the application of Art. 6(1)(c), GDPR to connected vehicles. As exemplified with the eCall case study, the processing of personal information can be necessary for compliance with a legal obligation to which the controller is subject. In fact, the Guidelines add that such processing still must be done transparently and understandably, following Art. 13, GDPR.

…the Guidelines add that such processing still must be done transparently and understandably, following Art. 13, GDPR. FIA Region I welcomes this initiative and recommends the Guidelines to clarify the processing of personal data and its limitations regarding the application of the General Vehicle Safety Regulation3 and its implementing regulations. All new cars put on the market as of July 2022 will have to be equipped with a set of mandatory safety technologies which will necessarily involve the processing of personal data, such as event data recorders, drowsiness and attention detection, and distraction recognition. Therefore, clarifying the processing of personal data coming from the mandatory application of new vehicle technologies would further increase the protection of motorists’ data and privacy.

…mandatory application of new vehicle technologies would further increase the protection of motorists’ data and privacy. Besides, FIA Region I recommends that the Guidelines clarify the situations where personal data from connected vehicles might fall under the processing under legitimate interest, as described in Art. 6(1)(f), 3 Regulation (EU) 2019/2144, OJ L 325, 16.12.2019, p. 1–40 FIA EUROPEAN BUREAU - RUE DE LA SCIENCE 41, 5TH FLOOR - B-1040 BRUSSELS, BELGIUM - +32 2 280 0758 - WWW.FIAREGION1.COM GDPR. How far can vehicle manufacturers rely on Art. 6(1)(f) GDPR when processing personal data? How can it be ensured that this article is not abused by vehicle manufacturers (for example by arguing that they have the legal obligation to observe their products on the market) when consent is not given or withdrawn? Unfortunately, the Guidelines do not enter this discussion.

…on the market) when consent is not given or withdrawn? Unfortunately, the Guidelines do not enter this discussion. Such clarification could avoid data processors, including vehicle and equipment manufacturers, abusing this legal basis and processing a wide set of motorists’ data, for instance, by claiming that all the information is security-relevant. Security of personal data FIA Region I recognises there are several concerns over potential unauthorised access to the data stored in the vehicles for purposes of repair maintenance. However, these concerns should not cloud the path towards achieving authorised and trustworthy access to in-vehicle data, functions and resources. To address these concerns, our Mobility Clubs call for uniform and binding specifications on access to in- vehicle data, functions and resources to be established in legislation.

…and binding specifications on access to in- vehicle data, functions and resources to be established in legislation. FIA Region I has developed a discussion paper4 with a proposed architecture for authorised access to vehicle data taking into account the different roles and responsibilities of all the after-market competitors and vehicle manufacturers. By implementing a uniform IT security standard for the future mode of data exchange via the vehicle’s telematics interfaces, the objectives of reaching authorised and trustworthy access to in-vehicle data can be achieved. This way not only access and fair competition are ensured, but also data protection and IT security over the lifetime of the vehicle, so that consumers can trust this new digital world in their connected cars.

58 → 12

originalus šaltinis (PDF) ↗

Report on the application of the General Data Protection Regulation · 3 p.

FIA EUROPEAN BUREAU - RUE DE LA SCIENCE 41, 5TH FLOOR - B-1040 BRUSSELS, BELGIUM - +32 2 280 0758 - WWW.FIAREGION1.COM European Data Protection Board consultation on the Guidelines 1/2020 on processing personal data in the context of connected vehicles and mobility related applications (28 January 2020) Fédération Internationale de l'Automobile (FIA) Region I is a consumer body comprising 104 Mobility Clubs that represent over 36 million members from across Europe, the Middle East and Africa. Our members provide roadside assistance, legal advice, insurance and many other products to their members. The FIA Region I office aims: 1. to provide a strong representation of European Member Club interests towards the European Union institutions - for example on road safety, consumer protection, environmental protection and the promotion of sustainable motoring;

- for example on road safety, consumer protection, environmental protection and the promotion of sustainable motoring; 2. to build up links and support the exchange of best practices between our Member Mobility Clubs across Europe, Africa and the Middle East, and; 3. to engage in new campaign activities together with Mobility Clubs throughout the region, such as the FIA Action for Road Safety campaign. FIA Region I welcomes the opportunity to provide input on the Guidelines on processing personal data in the context of connected vehicles via the public consultation. We have outlined seven points that could be considered in this consultation process: Categories of data FIA Region I welcomes the support from the Board to our campaign ‘My Car My Data’1.

…process: Categories of data FIA Region I welcomes the support from the Board to our campaign ‘My Car My Data’1. Considering the increasing amount of data generated by connected vehicles, the Guidelines state most of it can be considered personal data, once they will relate to drivers or passengers. FIA Region I believes that not most, but all data in connected vehicles qualify as personal data unless anonymized, in which case European data protection law no longer applies. In fact, FIA Region I has commissioned a Legal Study2 looking into the matter. The study revealed that it is neither relevant whether data compromises technical data, nor whether data is vehicle generated or provided by the individual for the data to be qualified as personal data since vehicle manufacturers can typically easily identify the driver, owner and user with reasonable efforts.

…data since vehicle manufacturers can typically easily identify the driver, owner and user with reasonable efforts. On the back of our Mobility Clubs’ expertise in consumer and data protection in transport, we recommend the Guidelines give further attention to the close and sensitive relationship between the consumer (either the owner, holder or driver of the car) and the connected vehicle. When clarifying the legal definition of the data subject (paragraph 37), it should refrain from portraying the consumer as a mere subject of the data treatment, but, instead, as the origin of the data. Therefore, when defining the data subject, the Guidelines should also mention that the user is the one entitled to decide on the data generated by the connected vehicle.

…also mention that the user is the one entitled to decide on the data generated by the connected vehicle. 1 FIA Region I Campaign and Survey ‘My Car My Data’, May 2017 2 ‘What EU Legislation says about car data - Legal Memorandum on Connected Vehicles and Data’, Osborne Clark, Legal Study Commissioned by FIA Region I in the context of the My Car My Data Campaign, 16 May 2017. Ref. Ares(2020)2273566 - 28/04/2020 FIA EUROPEAN BUREAU - RUE DE LA SCIENCE 41, 5TH FLOOR - B-1040 BRUSSELS, BELGIUM - +32 2 280 0758 - WWW.FIAREGION1.COM Regarding the special categories of data, our Mobility Clubs support the special attention given highly sensitive categories of data. Geolocation data, biometric data and data revealing criminal offences or infractions, successfully highlight the need to protect personal data.

…data and data revealing criminal offences or infractions, successfully highlight the need to protect personal data. FIA Region I encourages these three categories to be also reinforced in national legislation, to ensure that the sensitivity is addressed in different levels of governance. Therefore, recognising in legislation the special attention to the processing of such categories of data can further protect individuals’ data protection and privacy rights. Scope FIA Region I welcomes the Guidelines’ clarification of the scope of the processing of personal data in the context of non-professional use of connected vehicles. Besides, it endorses the fact that the Guidelines considers the collection of personal data through several means, either vehicle sensors, telematics boxes, or mobile applications, when they are related to the environment of driving.

…either vehicle sensors, telematics boxes, or mobile applications, when they are related to the environment of driving. This interpretation clarifies the protection of motorists’ personal data not only for current means of collecting data but also for new applications and devices in the coming future. Road Safety Concerns Our Mobility Clubs share the same concerns raised by the Guidelines regarding the driver’s ability to stop the collection of certain types of data at any moment, either temporarily or permanently. Vehicles must be safe even when the driver chooses to stop the collection of the personal data from connected vehicles, as exercising this right should not mean the individual is put at risk. In other words, vehicles and their functionalities must be designed considering all necessary safety measures to ensure that drivers are able to safely stop the collection of data.

…considering all necessary safety measures to ensure that drivers are able to safely stop the collection of data. Therefore, FIA Region I endorses the Guidelines provisions incentivise vehicle manufacturers and other data controllers to implement specific tools allowing drivers to effectively exercise their rights. Purposes for processing personal data The Guidelines rightfully clarify the application of Art. 6(1)(c), GDPR to connected vehicles. As exemplified with the eCall case study, the processing of personal information can be necessary for compliance with a legal obligation to which the controller is subject. In fact, the Guidelines add that such processing still must be done transparently and understandably, following Art. 13, GDPR.

…the Guidelines add that such processing still must be done transparently and understandably, following Art. 13, GDPR. FIA Region I welcomes this initiative and recommends the Guidelines to clarify the processing of personal data and its limitations regarding the application of the General Vehicle Safety Regulation3 and its implementing regulations. All new cars put on the market as of July 2022 will have to be equipped with a set of mandatory safety technologies which will necessarily involve the processing of personal data, such as event data recorders, drowsiness and attention detection, and distraction recognition. Therefore, clarifying the processing of personal data coming from the mandatory application of new vehicle technologies would further increase the protection of motorists’ data and privacy.

…mandatory application of new vehicle technologies would further increase the protection of motorists’ data and privacy. Besides, FIA Region I recommends that the Guidelines clarify the situations where personal data from connected vehicles might fall under the processing under legitimate interest, as described in Art. 6(1)(f), 3 Regulation (EU) 2019/2144, OJ L 325, 16.12.2019, p. 1–40 FIA EUROPEAN BUREAU - RUE DE LA SCIENCE 41, 5TH FLOOR - B-1040 BRUSSELS, BELGIUM - +32 2 280 0758 - WWW.FIAREGION1.COM GDPR. How far can vehicle manufacturers rely on Art. 6(1)(f) GDPR when processing personal data? How can it be ensured that this article is not abused by vehicle manufacturers (for example by arguing that they have the legal obligation to observe their products on the market) when consent is not given or withdrawn? Unfortunately, the Guidelines do not enter this discussion.

…on the market) when consent is not given or withdrawn? Unfortunately, the Guidelines do not enter this discussion. Such clarification could avoid data processors, including vehicle and equipment manufacturers, abusing this legal basis and processing a wide set of motorists’ data, for instance, by claiming that all the information is security-relevant. Security of personal data FIA Region I recognises there are several concerns over potential unauthorised access to the data stored in the vehicles for purposes of repair maintenance. However, these concerns should not cloud the path towards achieving authorised and trustworthy access to in-vehicle data, functions and resources. To address these concerns, our Mobility Clubs call for uniform and binding specifications on access to in- vehicle data, functions and resources to be established in legislation.

…and binding specifications on access to in- vehicle data, functions and resources to be established in legislation. FIA Region I has developed a discussion paper4 with a proposed architecture for authorised access to vehicle data taking into account the different roles and responsibilities of all the after-market competitors and vehicle manufacturers. By implementing a uniform IT security standard for the future mode of data exchange via the vehicle’s telematics interfaces, the objectives of reaching authorised and trustworthy access to in-vehicle data can be achieved. This way not only access and fair competition are ensured, but also data protection and IT security over the lifetime of the vehicle, so that consumers can trust this new digital world in their connected cars.

15 → 12

originalus šaltinis (PDF) ↗

Kokias ES temas nurodo sekanti

European Green Deal, Digital Policy, Connected and Automated Driving, Road Safety policies, Access to In-Vehicle Data, Vehicle Emissions, Road Charging, Motor Insurance, Driving Licence, Intelligent Transport Systems, Odometer Manipulation, Urban Vehicle Access Restrictions, Alternative Fuels, Urban Mobility, Personal Mobility Devices, CO2 emissions standards for cars and vans, End-of-Life Vehicles, Automotive Package.