Andras A. Barsi's presentation, "Qualified Trust Service Providers as Main Pillars of the EU Digital Economy", focused on European Qualified Trust Service Providers, which provide essential services of TRUST but face new challenges within the complexity of the EU Single Digital Market. Interoperability and cross-border are the new calling words prompting these service providers to become true European actors by forcing them to rethink their strategies and investment decisions. 🌐🔒 #QTSPs #DigitalEconomy #EURegulations #TDI2024 Aruba SpA
International Workshop on Trends in Digital Identity (TDI)’s Post
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Counting the days to implementation of the EU's Digital Operational Resilience Act (the one with with the cute acronym DORA)...its long arm will impact UK firms. The Briefing Note below outlines DORA overall and looks at what it implies for UK ICT service provider firms whose EU customers are in-scope... message me if I can help! Penny Sanders
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A vibrant mobile sector creates broader societal and economic advantages. Download our latest report, developed in partnership with GSMA, to discover key insights into challenges facing mobile operators and a strategic framework to foster investment-friendly environments. Energising Investment in Mobile Networks: A Guide to Supportive Policies https://lnkd.in/gCNYaxZK #BCGatMWC #MWC24
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Met with Margrethe Vestager yesterday in Brussels yesterday through Colt Technology Services membership of ecta (european competitive telecommunications association). With operations in almost all EU member states, Colt is the poster child of Europe’s single market for telecoms. We discussed three topics - the importance of continuing ex ante regulation of our industry, the importance of our subsea infrastructure and how to evolve the telecoms industry in a sustainable manner in light of increasing energy needs driven by AI and other factors.
A warm thank you to Margrethe Vestager for the fruitful and good discussion with captains of the telecoms industry and ecta members Michael Martin, 1&1 Telecommunication SE Annette Murphy Colt Technology Services Benedetto Levi Groupe iliad Edward Bouygues Bouygues Telecom Liza Bellulo Valentin Popoviciu DIGI and ecta (european competitive telecommunications association) team Luc Hindryckx and Pinar S.. ecta recalled 3 major messages: - An inclusive electronic communications sector, embracing a multitude of participants, both large and small, and nurturing a diverse array of products and services, is essential to empower the entire European economy and unleash its innovative potential in the digital realm. In other words, diversity in telecoms is essential to guarantee Europe’s Competitiveness. - The European model has delivered in terms of investment, innovation, affordability and quality and it should be maintained. - Regardless of the country’s size or the player’s scale, everyone should have a fair opportunity to take a leading role in the EU. ecta insisted on the negative consequences of the systematic EU telecoms bashing by the biggest incumbents and DG Connect. European operators have done a great job and deserve better. ecta recalled that operators and ecta members such as Colt Technology Services or Transatel | NTT are the proof that the telecoms EU internal market is a reality even the more that the bulk of the White Paper concerns business services. ecta captain of industry expressed their concerns by the deregulatory proposals that are not substantiated by any facts. There is absolutely nothing that justifies reviewing prematurely the Recommendation on Relevant markets susceptible to ex-ante regulation. Our experience with the Gigabit Connectivity Recommendation leads us to fear the worst. We have now two recent examples where DG Connect simply ignored the BEREC opinion. The EECC is not a box of chocolates, there is no expiry date. The SMP regime is auto extinguishing, if there is competition NRAs do not find SMP hence they do not regulate, there is no need to artificially accelerate this. It is essential to preserve the SMP regime and symmetric regulation in the EECC. The GIA is disappointing and can’t replace the code. The GIA is not a generalization of symmetric regulation and duct access is not guaranteed at all.
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ICYMI: The National Telecommunications and Information Administration (NTIA) discussed the next stage in the Digital Equity Act grant programs and how states, local governments, tribal entities, & others can reduce barriers to digital equity in their communities. The webinar & slides are here: https://bit.ly/3yt1GfD #ConnectedNation
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A more connected and innovative Europe with a thriving digital single market is a possible reality! To achieve it the mobile industry calls for a bold new regulatory approach. Our recommendations include: 1⃣ Equivalent rules for all service providers 2⃣ Re-evaluation of the existing regulatory framework 3⃣ In-market consolidation 4⃣ Pro-investment approach to EU #spectrum policy 5⃣ The EU taxonomy for green investment in electronic communication networks. Learn more in our #WhitePaper “How to master Europe’s digital infrastructure needs?” response: https://lnkd.in/eWN6HnqU
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Some added time to get your #rail and #transit submissions in. Let me know if you have any questions or need help with your submissions.
EXTENDED DEADLINE! You now have until April 29 to nominate your project for the 2024 Going Digital Awards, the most prestigious awards in infrastructure. Don't miss this opportunity to share your story with the world! ➡️ https://bit.ly/3IZ1xCy #YII2024
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The EU’s Digital Operational Resilience Act (DORA) comes into force from 17 January 2025. While DORA mainly targets the digital operational resilience of firms, information and communication technology (ICT) service providers need to consider their own responsibilities under this new regime. Learn more: https://gag.gl/4VSpJR
DORA Demystified: Dispelling 5 Myths for ICT Service Providers | Morrison Foerster
mofo.com
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𝗘𝗖𝗜𝗦 𝗽𝗿𝗲𝘀𝗲𝗻𝘁𝘀 𝗶𝘁𝘀 𝗽𝗼𝗹𝗶𝗰𝘆 𝗽𝗿𝗶𝗼𝗿𝗶𝘁𝗶𝗲𝘀 𝗳𝗼𝗿 𝘁𝗵𝗲 𝟮𝟬𝟮𝟰-𝟮𝟬𝟮𝟵 𝗘𝗨 𝗺𝗮𝗻𝗱𝗮𝘁𝗲 Since 1989, ECIS has endeavoured to promote a favourable environment for interoperable ICT solutions, actively representing its members regarding issues related to interoperability and competition before European, international and national fora, including the EU institutions and WIPO. 𝗜𝗻 𝘁𝗵𝗮𝘁 𝘀𝗽𝗶𝗿𝗶𝘁 𝗮𝗻𝗱 𝗮𝘀 𝘁𝗵𝗲 𝗻𝗲𝘄 𝘀𝗲𝘁 𝗼𝗳 𝗖𝗼𝗺𝗺𝗶𝘀𝘀𝗶𝗼𝗻𝗲𝗿𝘀 𝗻𝗲𝗮𝗿 𝘁𝗵𝗲𝗶𝗿 𝘀𝘁𝗮𝗿𝘁 𝗱𝗮𝘁𝗲, 𝘄𝗲 𝗽𝗿𝗼𝘂𝗱𝗹𝘆 𝗽𝗿𝗲𝘀𝗲𝗻𝘁 𝗼𝘂𝗿 𝗯𝗿𝗼𝗰𝗵𝘂𝗿𝗲, 𝗽𝗿𝗲𝘀𝗲𝗻𝘁𝗶𝗻𝗴 𝗼𝘂𝗿 𝗽𝗼𝗹𝗶𝗰𝘆 𝗽𝗿𝗶𝗼𝗿𝗶𝘁𝗶𝗲𝘀 𝗳𝗼𝗿 𝘁𝗵𝗲 𝗻𝗲𝘅𝘁 𝗳𝗶𝘃𝗲 𝘆𝗲𝗮𝗿𝘀. With Commissioners yet to begin their work, ECIS would like to provide valuable insights into the evolving digital landscape, and more specifically on the key issues of interoperability, competition, and innovation, which will shape EU policy in the coming years.
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Fast & secure connectivity networks are key to achieve 🇪🇺’s #digitaltransformation. With the adopted second work programme for the Connecting Europe Facility Digital, 🇪🇺 is investing €865M to improve its advanced digital #connectivity infrastructures. The new #CEFDigital work programme sets the scope and goals of the EU-supported #connectivity projects to boost faster and more secure networks across the EU in the next 4 years. Through these actions, #CEFDigital also helps stimulate the competitiveness of the 🇪🇺 digital ecosystem & tackle the investment gap that delays the rollout of high-performance networks, crucial for the use of advanced technologies by citizens and businesses. Which actions and areas will it support? https://lnkd.in/dVcjYkqb
Commission to invest €865 million under Connecting Europe Facility (CEF) to support fast and secure digital connectivity networks
ec.europa.eu
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The EU Digital Operational Resilience Act DORA is set to come into force in January 2025, aiming to enhance the resilience of the European financial sector to ICT-related disruptions. The regulations will also extend to those who are deemed by their FS clients to be Critical Third Party suppliers. However, with less than a year remaining, financial institutions and ICT service providers are facing numerous challenges in ensuring compliance. Read more in our blog below: https://lnkd.in/ec65CNsB #resilience #DORA
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