10 item(s) found
In its response to the European Data Protection Board (EDPB) Science Europe welcomes the detailed guidance on identifying whether controllership is joint or separate within a given collaboration and identifying an appropriate legal form to establish an agreement. However further clarification through the EDPB Guidelines would be helpful for public research organisations.
In its response to the European Commission, Science Europe highlights that future EU legislation on AI needs to strike the right balance between safeguards for users and developers of AI systems, and a legal environment that fosters R&I.
In its response to the European Commission, Science Europe highlights that the foreseen scope of the new legislation is not clearly defined and greater clarification should be introduced to ensure that the Digital Services Act does not have unintended effects on research.
In its response to the European Commission Roadmap for an upcoming legislative proposal on the governance of common European data spaces, Science Europe reinforces the need to consider sectoral policies to ensure coherence.
Science Europe calls on the European Commission to take into account the important role of the research sector as producer and user of data. The longstanding experience of the research sector should feed into the development of an overarching EU data strategy that promotes data access across sectors.
In its response to the EC consultation on the European Strategy for Data, Science Europe also underlines the need to consider sectoral policies to ensure coherence between overarching and sectoral policies.
In this joint statement research and Innovation stakeholders call on the EU institutions to seek a balanced approach to data sharing in response to the European Commission’s proposal for a revision of the Directive on re-use of public sector information (PSI Directive). While the partners are supportive of the European agenda to promote Open Science and innovation, and share a common commitment to the principle of making research data ‘as open as possible and as closed as necessary’, there is a need to focus on the optimal re-use of research data and not on the (unconditional) opening of such data.
Response to the Consultation on the Review of the Directive on the Re-Use of Public Sector Information
Science Europe supports the principle that research data should be “as open as possible and as closed as necessary.” However, the particularity of research data as well as of data about research activities requires careful consideration on which aspects are better dealt with by legislative acts or by guidelines developed by the research sector.
Joint Statement on Implementing the General Data Protection Regulation to Maintain a Competitive Environment for Research in Europe: Position of Research and Patient Organisations
This joint statement on the implementation of the Data Protection Regulation (DPR), facilitated by Science Europe and Wellcome and released by the wider research community, highlights the crucial role Member States must now play in its implementation by reviewing and amending their current laws to enable research to take place.
The recent legislative proposal from the European Commission to reform EU copyright law addresses some needs, but not to the full extent required. Science Europe calls for research and data mining exceptions to ensure that copyright legislation is friendly to research and innovation.
The Benefits of Personal Data Processing for Medical Sciences in the Context of Protection of Patient Privacy and Safety
This paper expresses the concerns of the medical and health research communities about the lack of a specific consideration when regulating the privacy of individuals and protecting personal data in the context of medical and health research in the General Data Protection Regulation.