BSA Policy Filings
US: Memory Safety: A Call for Strategic Adoption
September 12, 2023
Impact Assessments: A Key Part of AI Accountability
August 01, 2023
August 01, 2023
August 01, 2023
Australia: BSA Comments on Senate Big Tech Inquiry
February 28, 2023
India: BSA Submission to TEC on Draft AI Fairness Standards
January 27, 2023
January 18, 2023
US: BSA Letter on National Agenda for Digital Transformation
January 18, 2023
US: BSA Comments to Federal Trade Commission
November 21, 2022
US: BSA Comments on NIST AI Risk Management Framework: Second Draft
September 28, 2022
EU: A Balanced Approach to General Purpose AI in the EU AI Act
September 27, 2022
Artificial Intelligence in Every Sector
June 13, 2022
Digital Transformation: A Guide for Policymakers
May 09, 2022
Unlocking Opportunities: Open Data in the United States
February 02, 2022
January 25, 2022
US: BSA Submission Regarding OSTP AI Bill of Rights Initiative
January 13, 2022
France: BSA’s Digital Policy Recommendations for France in 2022
December 01, 2021
US: BSA Submission Regarding NIST AI Risk Management Framework
September 14, 2021
August 06, 2021
February 03, 2021
December 17, 2020
Australia: BSA Response to Digital Transformation Strategy 2.0
December 17, 2020
UK: BSA Comments on the United Kingdom National Data Strategy
December 07, 2020
Australia: BSA Comments on the Draft Australian AI Action Plan
November 27, 2020
BSA Policy Recommendations for the Biden-Harris Transition Team
November 18, 2020
November 18, 2020
November 18, 2020
EU: Joint Industry Statement on Data Governance
November 16, 2020
US: State Open Data Legislation
September 23, 2020
US: FY21 NDAA Multi-association letters on AI provisions
September 08, 2020
US: BSA Comments on Fiscal Year 2021 NDAA Conference
August 26, 2020
June 11, 2020
June 10, 2020
Brazil: BSA Comments on Brazil’s AI Strategy
February 05, 2020
January 27, 2020