While many countries around the world look to grow their digital economy, it is worth noting that the digital economy is becoming the economy. Most traditional industries now rely on software or the internet to do everything from developing products to collaborating with colleagues to reaching customers. So regulations aimed at tech companies or the internet will have a broad impact.

CCIA’s View:

Encouraging innovation should be a paramount policy goal in all policy domains, not just those that are traditionally linked to it, such as the funding of basic research, patents, and technology transfer.
To this end, CCIA supports patent reform that serves the long-terms of the digital economy, especially small innovators that lack the resources to participate aggressively in patent litigation. CCIA also supports copyright law that does not subordinate innovation to the demands of content owners. Similarly, telecom regulation should enable infrastructure to serve as a platform for independent innovators that do not have to depend on permission from common access providers.

 

 

Most Recent Statements & Filings:

Digital Technologies Are The Biggest Opportunity For Cultural Industries And Creativity, Paper Says

Brussels – The Computer & Communication Industry Association, together with the European Digital Media Association, has released the paper “Technology is Culture” illustrating how the Internet and innovation act as enablers for creative industries. The paper explains how Internet technologies support the growth of creativity, cultural diversity and an unprecedented access to works. In tune…

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European Parliament Votes To Approve New European Commission Team

Brussels – The Computer & Communications Industry Association welcomes the European Parliament approval today of the new European Commission team, which will take up office on 1st November. The digital portfolio will be shared by Vice-President for the Digital Single Market, Andrus Ansip, and the Commissioner for Digital Economy & Society, Günther Oettinger. The following…

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