We appreciate NIST’s leadership on these issues and highlight below our key recommendations for each publication:
Generative AI Profile
Enable full legal use of data to train AI systems, including copyrighted data and personal data;
Acknowledge privacy issues implicated by long-term retention of documentation;
Align recommended practices to organizations’ role in the AI ecosystem;
Revise recommendations for obtaining independent audits;
Tailor recommendations for red teaming to specific circumstances;
Revise the trigger for conducting impact assessments;
A Plan for Global Engageme
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BSA | The Software Alliance welcomes this opportunity to provide comments to the Agency for Cultural Affairs in response to the public consultation on the draft “Approach to AI and Copyright” (Draft).
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BSA’s 2024 agenda promotes digital transformation, the process by which organizations harness the capabilities of artificial intelligence (AI) and enterprise software to add new value to their businesses, employees, customers, and communities.
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BSA | The Software Alliance provides the following information in response to the notice published by the Office of the US Trade Representative seeking comments on the 2023-2024 Special 301 review under Section 182 of the Trade Act of 1974.
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BSA | The Software Alliance (“BSA”) welcomes this opportunity to provide comments to Innovation, Science and Economic Development Canada (“ISED”) in response to its Consultation on Copyright in the Age of Generative Artificial Intelligence.åç
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US copyright law is sufficiently flexible to adapt to AI, but we encourage further work on additional protections for artists to prevent the spread of unauthorized, AI-generated replicas of their name, image, likeness, or voice.
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