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- **Utilize SharePoint and OneDrive folders in prompts** [Web]
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Users can now incorporate SharePoint and OneDrive folders into their Copilot Chat prompts via the "Attach cloud files" feature, refining content scoping capabilities.
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- **Integrate declarative agents into Excel** [Windows, Web]
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Users can now seamlessly integrate and leverage declarative Copilot agents directly within Excel, enhancing data interaction and task automation.
Use Microsoft 365 Agents Toolkit and Copilot Studio to publish custom engine agents for IT review, approval, and deployment in your organization's tenant.
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- **Integrate declarative agents into Excel** [Windows, Web]
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Users can now seamlessly integrate and leverage declarative Copilot agents directly within Excel, enhancing data interaction and task automation.
- **Regulate knowledge source with governance tools** [Windows, Web]
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Admins can now oversee and manage agents with uploaded files as their knowledge source, utilizing tools for agent filtering, reviewing sensitivity labels, and managing metadata.
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- **Use Copilot Chat to enhance Find on Page** [Web]
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Quickly locate the right information by combining CTRL+F with Copilot Chat for smarter, context-aware search in Microsoft Edge for Business.
- **Utilize SharePoint and OneDrive folders in prompts** [Web]
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Users can now incorporate SharePoint and OneDrive folders into their Copilot Chat prompts via the "Attach cloud files" feature, refining content scoping capabilities.
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- **Integrate declarative agents into Excel** [Windows, Web]
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Users can now seamlessly integrate and leverage declarative Copilot agents directly within Excel, enhancing data interaction and task automation.
- **Regulate knowledge source with governance tools** [Windows, Web]
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Admins can now oversee and manage agents with uploaded files as their knowledge source, utilizing tools for agent filtering, reviewing sensitivity labels, and managing metadata.
Copy file name to clipboardExpand all lines: microsoft-365/enterprise/managing-office-365-endpoints.md
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### Am I peering appropriately with Microsoft?
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**Peering locations** are described in more detail in [peering with Microsoft](https://www.microsoft.com/peering).
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**Peering locations** are described in more detail in [peering with Microsoft](/azure/internet-peering/).
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With over 2500 ISP peering relationships globally and 70 points of presence, getting from your network to ours should be seamless. It can't hurt to spend a few minutes making sure your ISP's peering relationship is the most optimal, [here's a few examples](/archive/blogs/onthewire/__guidance) of good and not so good peering hand-offs to our network.
Copy file name to clipboardExpand all lines: microsoft-365/solutions/energy-secure-collaboration.md
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## Provide Secure and Compliant Collaboration in the Energy Industry
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As mentioned, Microsoft Office 365 and Office 365 U.S. Government have each achieved FedRAMP ATO at the Moderate Impact Level. Azure and Azure Government have achieved a FedRAMP High P-ATO which represents the highest level of FedRAMP authorization. Additionally, the FedRAMP moderate control set encompasses all of the NERC CIP requirements, thereby allowing energy industry organizations ("registered entities") to leverage existing FedRAMP authorizations as a scalable and efficient approach to addressing NERC audit requirements. However, it's important to note that FedRAMP isn't a point-in-time certification but an assessment and authorization program that includes provisions for [continuous monitoring](https://www.fedramp.gov/assets/resources/documents/CSP_Continuous_Monitoring_Strategy_Guide.pdf). Although this provision applies primarily to the CSP, Microsoft customers operating Bulk Electric Systems are responsible for ensuring their own compliance with NERC CIP standards. It's generally a recommended practice to continuously monitor the organization's compliance posture to help ensure ongoing compliance with regulations.
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As mentioned, Microsoft Office 365 and Office 365 U.S. Government have each achieved FedRAMP ATO at the Moderate Impact Level. Azure and Azure Government have achieved a FedRAMP High P-ATO which represents the highest level of FedRAMP authorization. Additionally, the FedRAMP moderate control set encompasses all of the NERC CIP requirements, thereby allowing energy industry organizations ("registered entities") to leverage existing FedRAMP authorizations as a scalable and efficient approach to addressing NERC audit requirements. However, it's important to note that FedRAMP isn't a point-in-time certification but an assessment and authorization program that includes provisions for [continuous monitoring](https://www.fedramp.gov/resources/documents/CSP_Continuous_Monitoring_Strategy_Guide.pdf). Although this provision applies primarily to the CSP, Microsoft customers operating Bulk Electric Systems are responsible for ensuring their own compliance with NERC CIP standards. It's generally a recommended practice to continuously monitor the organization's compliance posture to help ensure ongoing compliance with regulations.
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Microsoft provides a key tool to assist with monitoring compliance with regulations over time:
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- **Microsoft Purview Compliance Manager** helps the organization understand its current compliance posture and the actions it can take to help improve that posture. Compliance Manager calculates a risk-based score measuring progress in completing actions that help reduce risks around data protection and regulatory standards. Compliance Manager provides an initial score based on the Microsoft 365 data protection baseline. This baseline is a set of controls that include common industry regulations and standards. While this score is a good starting point, Compliance Manager becomes more powerful once an organization adds assessments that are more relevant to their industry. Compliance Manager supports a number of regulatory standards that are relevant for NERC CIP compliance obligations, including the [FedRAMP Moderate Control Set](https://www.fedramp.gov/rev5/documents-templates/), [NIST 800-53 Rev. 4](https://go.microsoft.com/fwlink/?linkid=2109075), and [AICPA SOC 2](https://go.microsoft.com/fwlink/p/?linkid=2115184). Energy industry organizations might also create or import custom control sets if needed.
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- **Microsoft Purview Compliance Manager** helps the organization understand its current compliance posture and the actions it can take to help improve that posture. Compliance Manager calculates a risk-based score measuring progress in completing actions that help reduce risks around data protection and regulatory standards. Compliance Manager provides an initial score based on the Microsoft 365 data protection baseline. This baseline is a set of controls that include common industry regulations and standards. While this score is a good starting point, Compliance Manager becomes more powerful once an organization adds assessments that are more relevant to their industry. Compliance Manager supports a number of regulatory standards that are relevant for NERC CIP compliance obligations, including the [FedRAMP Moderate Control Set](https://view.officeapps.live.com/op/view.aspx?src=https%3A%2F%2Fwww.fedramp.gov%2Fresources%2Ftemplates%2FSSP-Appendix-A-Moderate-FedRAMP-Security-Controls.docx), [NIST 800-53 Rev. 4](https://go.microsoft.com/fwlink/?linkid=2109075), and [AICPA SOC 2](https://go.microsoft.com/fwlink/p/?linkid=2115184). Energy industry organizations might also create or import custom control sets if needed.
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The workflow capabilities built into Compliance Manager allow energy organizations to transform and digitize their regulatory compliance processes. Traditionally, compliance teams in the energy industry face the following challenges:
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Compliance Manager doesn't express an absolute measure of organizational compliance with any particular standard or regulation. It expresses the extent to which you have adopted controls which can reduce the risks to personal data and individual privacy. Recommendations from Compliance Manager shouldn't be interpreted as a guarantee of compliance. The customer actions provided in Compliance Manager are recommendations. It's up to each organization to evaluate the effectiveness of these recommendations to meet their regulatory obligations prior to implementation. Recommendations found in Compliance Manager shouldn't be interpreted as a guarantee of compliance.
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Many cyber security-related controls are included in the [FedRAMP Moderate Control Set](https://www.fedramp.gov/rev5/documents-templates/) and [NERC CIP standards](https://www.nerc.com/pa/Stand/Pages/ReliabilityStandards.aspx). However, key controls related to the Microsoft 365 platform include security management controls (CIP-003-6), account and access management/access revocation (CIP-004-6), electronic security perimeter (CIP-005-5), security event monitoring, and incident response (CIP-008-5). The following foundational Microsoft 365 capabilities help to address the risks and requirements included in these articles.
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Many cyber security-related controls are included in the [FedRAMP Moderate Control Set](https://view.officeapps.live.com/op/view.aspx?src=https%3A%2F%2Fwww.fedramp.gov%2Fresources%2Ftemplates%2FSSP-Appendix-A-Moderate-FedRAMP-Security-Controls.docx) and [NERC CIP standards](https://www.nerc.com/pa/Stand/Pages/ReliabilityStandards.aspx). However, key controls related to the Microsoft 365 platform include security management controls (CIP-003-6), account and access management/access revocation (CIP-004-6), electronic security perimeter (CIP-005-5), security event monitoring, and incident response (CIP-008-5). The following foundational Microsoft 365 capabilities help to address the risks and requirements included in these articles.
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