Title: Pr
1EU initiatives inthe e-Business domain
Geneva, 10 November 2009 P. Potgieser
2Driving forces
- Lisbon Strategy for Growth and Jobs
- Completion of Single Market
- Promote e-business
- Single Euro Payment Area
- Key relevance of ICT
3Holistic approach
ICT related activities DG Entr
4e-BSN - The e-Business Support Networkenhancing
ICT and e-Business uptake
- A network of 200 national and regional ICT and
e-Business policy makers and experts from 32 EU
Member States - Offers a one-stop-shop on e-Business Policies
for SMEs - Shapes policy trends and supports policy
coordination
http//ec.europa.eu/enterprise/e-bsn/index_en.html
5e-BSN The e-Business Policy evolution
Second phase 2004 - 2005 Towards Policies that
seek to stimulate the Innovative potential
of SMEs. They promote innovative business
models enabled by ICT and eBusiness
First phase 2000 2003 Policies
Sponsoring basic ICT infrastructure and Internet
Connectivity
Third phase 2006 today Towards
sector Specific eBusiness policies. These help
SMEs participate in global digital supply chains
in specific industry and services sectors
http//ec.europa.eu/enterprise/e-bsn/index_en.html
6Sector-specific pilot actions
- Streamline entire sectors by digitising whole
supply chains helping companies use ICT-enabled
solutions
One large-scale pan-European pilot action in the
textile/clothing and footwear sectors started
January 2008 (http//www.ebiz-tcf.eu/) More
sectors to be supported first half 2009
Other countries have been increasingly deploying
such sector-specific eBusiness policy approach,
e.g. ICT-SMEs 2010 (FR), Prozeus (DE) or
connected digitally (NL)
7The Sectoral e-Business W_at_tch
- Sector studies
- Chemical industries
- Furniture
- Steel
- Retail
- Transport logistics
- Banking
- Cross-sector topic studies
- RFID adoption and impact
- Intellectual Property for ICT producing SMEs
- ICT and e-business implications for energy
consumption - Economic impacts and drivers of ICT adoption and
diffusion - Impact on Employment
- Productivity (process and production costs)
- Innovation
- To assess and measure the impact of ICT on ...
- enterprises
- sectors
- the economy in general
- To highlight barriers for ICT uptake
- To identify public policy challenges
- To provide a forum for debate with stakeholders
- from industry
- from policy
http//www.ebusiness-watch.org
8The European e-Skills Agenda
- Background
- Growing e-skills shortages in Europe
- Fragmented approach and cyclical problem (bubble
burst) - European e-Skills Forum and ICT Task Force Report
(2006) - Long term problem requiring a coherent and
consistent agenda - ICT Industry led-initiative
- e-Skills Industry Leadership Board
(06/2007)www.e-skills-ilb.org - EU Policy Communications
- COM(2007) 496 e-Skills for the 21st Century
Fostering Competitiveness, Growth and Jobs
(07/09/2007) - e-Inclusion Initiative
9Implementing the e-Skills Strategy
- Good Progress in 2008
- EU e-Competence Framework, www.ecompetences.eu
- European e-Skills and Careers Portal,
htttp//eskills.eun.org - Successful Multi-stakeholder Partnerships
- Report on the Impact of Global Sourcing
- Future work (2009-2010) will concentrate on
- European ICT Curriculum guidelines
- Relevant fiscal and financial incentives
- Better and greater use of e-learning
- EU e-Skills Week awareness raising campaign
(1Q2010)
10ICT Standardisation Policy - Background
- An efficient European ICT standardisation policy
is key in support of innovation and
competitiveness of European enterprises. - At the same time, the formal and unofficial
standardisation systems should combine their
efforts to better respond to the needs of the
society. - DG ENTR study (2006-2007)
- Open event of 12/2/2008
- Steering Committee
http//ec.europa.eu/enterprise/ict/policy/standard
s/ict_index_en.htm
11Stakeholders Expectations
- Linked to market and policy developments and
thus supporting competitiveness and innovation - Accommodate the dynamics of the ICT sector
(infrastructures and applications) - Allow for fast standard setting to provide
industry/SMEs with high quality standards which
balance competitiveness expectations with
societal needs - Re-position EU standardisation at global level
and strengthen co-operation EU wide and globally - Ensure consumer satisfaction
- Strengthen the internal market by fostering
reference to standards in legislation / policy on
the basis of common criteria for processes - Increase quality, coherence and consistency of
ICT standards - Support implementation of standards
12The White Paper COM(2009) 324
- The White Paper of 3 July 2009 suggests some
policy options - Defining the attributes which make ICT standards
eligible for association with EU legislation and
policies - Updating the public procurement provisions of
Council Decision 87/95/EEC - Fostering synergy between ICT research,
innovation and standardisation - Implementing clear, transparent and balanced IPR
policies - Enabling the referencing of specific fora and
consortia standards in relevant EU legislation
and policies subject to a positive evaluation
with regard to the above attributes - Creating a permanent stakeholders platform
13Attributes for Eligibility (1)
- Standardisation Process
- Openness The standardisation development process
occurs within a non-profit making organisation on
the basis of open decision making accessible to
all interested parties. The open standardisation
process is driven by the relevant stakeholder
categories and reflects user requirements. - Consensus The standardisation process is
collaborative and consensus based. The process
does not favour any particular stakeholder. - Balance The standardisation process is
accessible at any stage of development and
decision making to relevant stakeholders.
Participation of all interested categories of
stakeholders is sought with a view to achieving
balance. - Transparency The standardisation process is
accessible to all interested parties and all
information concerning technical discussions and
decision making is archived and identified.
Information on (new) standardisation activities
is widely announced through suitable and
accessible means. Consideration and response is
given to comments by interested parties.
14Attributes for Eligibility (2)
- Standards
- Maintenance Ongoing support and maintenance of
published standards, including swift adaptation
to new developments which prove their necessity,
efficiency and interoperability, is guaranteed
over a long period. - Availability Resulting standards are publicly
available for implementation and use at
reasonable terms (including for a reasonable fee
or free of charge). - Intellectual property rights IP essential to the
implementation of standards is licensed to
applicants on a (fair) reasonable and
non-discriminatory basis ((F)RAND) , which
includes, at the discretion of the IPR holder,
licensing essential IP without compensation. - Relevance The standard is effective and
relevant. Standards need to respond to market
needs and regulatory requirements, especially
when those requirements are expressed in
standardisation mandates. - Neutrality and stability Standards should
whenever possible be performance oriented rather
than based on design or descriptive
characteristics. They should not distort the
(global) market and should maintain the capacity
for implementers to develop competition and
innovation based upon them. Additionally, and in
order to enhance their stability, standards
should be based on advanced scientific and
technological developments. - Quality The quality and level of detail are
sufficient to permit the development of a variety
of competing implementations of interoperable
products and services. Standardised interfaces
are not hidden or controlled by anyone other than
standard setting organisations.
15Ongoing and Future Work
- Public consultation (until 15 September 2009)
- Impact assessment (January 2010?)
- Proposal for the revision of Council Decision
87/95 and/or Directive 98/34/EC (mid-2010)? - In co-ordination with the horizontal
standardisation review
16Further Information
- White Paper
- http//eur-ex.europa.eu/LexUriServ/LexUriServ.do?u
riCOM20090324FINENPDF - Public Consultation
- http//ec.europa.eu/yourvoice/consultations/index_
en.htmopen - ICT Standardisation - DG ENTR
- http//ec.europa.eu/enterprise/ict/policy/standard
s/ict_index_en.htm - E-mail
- entr-ict-standardisation_at_ec.europa.eu
17e-Invoicing
- Simplifies processes, reduces administrative and
financial costs, facilitates transition to new
business models - Links the procurement and payment process. Full
electronic invoice integration can generate
substantial cash flow efficiencies and cost
reductions - Benefits apply to both the sender and the
receiver of an invoice. Can be reaped in private
sector and public sector alike. - At EU level, savings potential of moving to
e-Invoicing has been quantified at 40 billion
annually over 6-year period (study undertaken on
behalf of the Commission). - Positive environmental effects by reducing paper
consumption
18Expert Group on e-Invoicing - Mandate
- Defined in Commission Decision of 31 Oct. 2007
- Identify
- shortcomings in current regulatory framework
- e-invoicing business requirements
- relevant e-invoicing data elements
- Propose
- responsibilities for standardisation bodies and
time schedule - European e-Invoicing Framework (EEI)
19End Result EEI Framework
- Achieves interoperability of e-Invoicing
solutions - Basis for common business rules and technical
standards - Increase incentives for electronic trade
- Remove barriers to e-invoicing
20The future e-Invoicing environment
What should be avoided? What should be avoided? What is the objective? What is the objective?
? A fragmented e-Invoicing environment with insular national solutions and standards. High barriers for cross-border e-Invoicing. ? An open and interoperable e-Invoicing environment providing common ground for competing solutions. Strong growth of e-Invoicing both domestically and cross-border.
? Benefits of fully integrated e-Invoicing are mainly reaped by large enterprises with tailor-made and complex solutions. ? SMEs, public administrations and large enterprises all benefit alike from an e-Invoicing environment that enables simple cost-effective as well as more sophisticated approaches according to the respective needs
? Existence of only one specific interoperability model (bilateral, 3-corner, or 4-corner) ? Level playing field allowing for bilateral e-Invoicing approaches as well as for value-adding business models through invoice- or payment-service providers
? Existence of multiple different invoice content standards ? A target semantic data model towards which existing standards will converge
21e-Invoicing Expert Group
Deliverables
- Delivered so far
- Mid-Term Report
- Code of Practice on e-invoicing in Europe
- Provide guidance to tax authorities and
businesses
To come by end of 2009
- European e-Invoicing (EEI) Framework
http//ec.europa.eu/enterprise/ict/policy/einvoici
ng/einvoicing_en.htm
22E-invoice Content Standards Link to supply
chain and payments
Demand estimate
Buyer
Supplier
Offer
23E-invoice Content Standards Link to supply
chain and payments
UN/CEFACT
Buyer
Seller
Goods / Services
Information Exchange
ISO 20022
Buyers bank
Sellers bank
24Expert Group provisional recommendations on
e-Invoicing standardisation
- The long-term e-Invoice landscape needs to
contain e-Invoice content standards, but in fewer
formats and expressions than exist today as this
is a barrier for mass adoption. - In this context, the Expert Group makes the
following recommendations - R4.1 The EG recommends that the UN/CEFACT Cross
Industry Invoice (CII) v.2 is adopted by all
actors within both the private and public sector,
as the common reference semantic data model upon
which future e-invoice content standard solutions
are based. CII v.2 is currently the only
international data model that covers the
requirements of different industries and sectors.
It provides the required connection between the
various supply chain messages and is integrated
with financial services requirements. UN/CEFACT
products and standards are recognised and
accepted globally. - R4.5 The EG recommends that UN/CEFACT and ISO,
as global standards organisations, should
continue to collaborate on the development and
maintenance of the CII and implement the model in
their own interoperable methodologies and data
dictionaries to enable maximum integration of the
procurement, invoicing, payment and
reconciliation processes. This will continue to
foster end-to-end STP and will support migration
to SEPA. It will simplify message conversion,
integration and communication. It will also help
to minimise implementation costs for SMEs. - R4.8 The EG recommends that UN/CEFACT as the
supplier of CII should deliver the mechanism to
cater for such standardised extensions and
recording of subsequent variant usage of the CII
and to provide more detailed user guidance on the
CII.
Recommendations quoted from final draft version
of the Final Report. Subject to approval by the
Expert Group
25Observations
- It is very hard to find non-technical and
non-development-related information about
deliverables of UN/CEFACT itself - Broken links, fragmented multiple websites,
unclear status, - The information available is not suitable for an
audience coming from a public or private sector - Progress is measured in ODP, while dd/mm/yyyy
would bring the message - The way in which information and deliverables of
UN/CEFACT are disseminated is not very well
known, as is the way in which stakeholders could
interact - It is very hard to find non-technical and
non-development-related information about the
relation between developments and deliverables of
standardisation in general. - This lack of information was the driving force
behind the meeting organised by the Commission in
2008 about the UN/CEFACT OASIS/UBL convergence
26Further Information
- DG ENTR unit web site
- http//ec.europa.eu/enterprise/ict/index_en.htm
- Contact
- European CommissionEnterprise and Industry
Directorate-GeneralDirectorate Innovation
Policy Unit D4 ICT for Competitiveness
InnovationB-1049 Brusselsfax 32 2
2967019E-mail entr-ict-for-comp-and-innovation_at_e
c.europa.eu