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Together with the call for contributions to the public consultation on the draft BEREC WP 2020, a first call for input to the review of the BEREC Strategy was launched on 7 November 2019. After considering the input received from respondents the 42nd BEREC Plenary meeting approved the Draft BEREC Strategy 2021-25 for public consultation.
This latest update of BEREC’s strategy covers a period of five instead of three years, namely 2021-2025. This extended period enables better alignment with the legislative cycle of the European Commission, and the objectives and new priorities set out by President von der Leyen for the period of 2019 -2024. At the same time, the structure of the BEREC strategy is being kept so as to follow the strategic high-level priorities around connectivity, digital issues and end-users. To ensure that the BEREC strategy remains relevant and aligned with future developments, BEREC will revisit its strategic priorities over the course of the period.
The stakeholders are invited to express their views on the draft strategy 2021-25.
This early call for input is the first stage of the consultation process for the WP 2021. BEREC will consult again on its draft WP 2021 after the third BEREC Plenary of 2020 (1-2 October 2020).
Interested parties are kindly asked to send their contributions for both the BEREC Strategy 2021-25 and their early input for the BEREC WP 2021 no later than 13 April 2020 (17:00 CET) to the BEREC_Strategy_2021-2025@berec.europa.eu address or provide it here through the BEREC online consultation platform.
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P33 - Strategic priority 1: Again, how does making "fibre backhaul necessary" reconcile with abovementioned statements in the document? How does it respect technology neutrality? BEREC should rather stimulate / lower the barriers of use of all available technologies for backhaul, be it wireless, satellite or wireline.
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P18 - "bridging the digital divide": Digital divide is an issue that does not depend on 5G super performances but on the actual deployment of affordable and robust broadband connectivity solutions to everyone, everywhere. BEREC could make it clear to the EU Commission and invite all stakeholders to contribute to overcoming the digital chasm, without waiting for 5G to be available everywhere.
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P17 - "dependence of fibre backhaul": How does this statement reconcile with abovementioned statements on "integration of different networks and technologies" or "cloud of solutions"? Without denying the high value of fibre, it is very surprising to imagine that all new wireless technologies depend, or will ever depend, on fibre backhaul - hopefully, it is not necessary!
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P15 - "available resources at the edge of the network": This concept of 'edge' is getting more essential than ever with 5G, as quality of service (or, rather, "quality of experience") will increasingly rely on storage and computing of content at the edge of networks. Hence the flexibility and agility of network resources are getting as important as pure throughput speed.
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P81
[11] See Communication of the Commission ‘A Green Planet For All’, October 2018, https://eur-lex.europa.eu/legal-content/EN/TXT/?uri=CELEX:52018DC0773.
P84
[14] Communication from the Commission to the European Parliament, the Council, the European Economic and Social Committee and the Committee of the Regions - Secure 5G deployment in the EU - Implementing the EU toolbox – COM (2020) 50 final, 29.01.2020: https://ec.europa.eu/digital-single-market/en/news/secure-5g-deployment-eu-implementing-eu-toolbox-communication-commission.
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