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	<title>data sharing &#8211; Icebreaker One</title>
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	<link>https://ib1.org</link>
	<description>Making data work harder to deliver net-zero</description>
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	<title>data sharing &#8211; Icebreaker One</title>
	<link>https://ib1.org</link>
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	<item>
		<title>Webinar: What does COP26 mean for you and data sharing?</title>
		<link>https://ib1.org/2021/11/18/webinar-what-does-cop26-mean-for-you-and-data-sharing-2/</link>
		
		<dc:creator><![CDATA[IB1 Team]]></dc:creator>
		<pubDate>Thu, 18 Nov 2021 09:36:42 +0000</pubDate>
				<category><![CDATA[Updates]]></category>
		<category><![CDATA[Webinars]]></category>
		<category><![CDATA[data]]></category>
		<category><![CDATA[data sharing]]></category>
		<category><![CDATA[energydata]]></category>
		<category><![CDATA[netzero]]></category>
		<category><![CDATA[opendata]]></category>
		<category><![CDATA[openenergy]]></category>
		<category><![CDATA[shareddata]]></category>
		<guid isPermaLink="false">https://energy.ib1.org/?p=1454</guid>

					<description><![CDATA[When: 25 November 2021, 10-10.30am BST Archive video: What: Recent developments at COP26 showed that data access is at the [&#8230;]]]></description>
										<content:encoded><![CDATA[
<p><strong>When:</strong> <strong>25 November 2021, 10-10.30am BST</strong></p>



<p><strong>Archive video:</strong></p>



<iframe loading="lazy" width="720" height="420" src="https://www.youtube.com/embed/FYHA00YUyHA" title="YouTube video player" frameborder="0" allow="accelerometer; autoplay; clipboard-write; encrypted-media; gyroscope; picture-in-picture" allowfullscreen=""></iframe>



<div style="height:20px" aria-hidden="true" class="wp-block-spacer"></div>



<p><strong>What:</strong></p>



<p>Recent developments at COP26 showed that data access is at the heart of our plans to get to net zero. This means organisations will need to prepare to accelerate plans for data sharing and data publishing.&nbsp;</p>



<p>In our next 30 minute webinar, we’ll be exploring what COP26 announcements mean for businesses and their data, and what changes can be expected in the years to come.</p>



<p>We’ll discuss our main takeaways from COP26, and the actions that you can take now to ensure your data and digitalisation strategies will support the shift to Net Zero.</p>



<p><strong>Speakers:</strong></p>



<ul><li><a href="https://www.linkedin.com/in/gavinstarks/">Gavin Starks</a>, Founder and CEO, Icebreaker One (Chair)</li><li><a href="https://www.linkedin.com/in/leemwilson/?originalSubdomain=uk">Lee Wilson</a>, Product Owner &#8211; Data &amp; Analytics, ScottishPower</li><li><a href="https://www.linkedin.com/in/lucyyu1/?originalSubdomain=uk">Lucy Yu,</a> CEO, Centre for Net Zero</li><li><a href="https://www.linkedin.com/in/ronanpalmer/?originalSubdomain=uk">Ronan Palmer</a>, Head of Clean Economy Programme, E3G</li></ul>



<p>If you think a colleague or sector expert would be interested in joining this event, please share it with them.</p>



<p>Open Energy has been supported in-part with UK Government funding from <a href="https://www.ukri.org/">UK Research and Innovation (UKRI)</a> and <a href="https://www.gov.uk/government/organisations/department-for-business-energy-and-industrial-strategy">BEIS</a>.</p>



<figure class="wp-block-image size-large"><img decoding="async" src="https://ib1.org/wp-content/uploads/2021/10/IB1-footer-updated-1-1024x70.png" alt="" class="wp-image-1416"/></figure>
]]></content:encoded>
					
		
		
			</item>
		<item>
		<title>Webinar: What does COP26 mean for you and data sharing?</title>
		<link>https://ib1.org/2021/11/18/webinar-what-does-cop26-mean-for-you-and-data-sharing/</link>
		
		<dc:creator><![CDATA[IB1 Team]]></dc:creator>
		<pubDate>Thu, 18 Nov 2021 09:32:09 +0000</pubDate>
				<category><![CDATA[Events & webinars]]></category>
		<category><![CDATA[Updates]]></category>
		<category><![CDATA[cop26]]></category>
		<category><![CDATA[data sharing]]></category>
		<category><![CDATA[net-zero]]></category>
		<category><![CDATA[open energy]]></category>
		<guid isPermaLink="false">https://ib1.org/?p=5501</guid>

					<description><![CDATA[When: 25 November 2021, 10-10.30am BST Archive video: What: Recent developments at COP26 showed that data access is at the [&#8230;]]]></description>
										<content:encoded><![CDATA[
<p><strong>When:</strong> <strong>25 November 2021, 10-10.30am BST</strong></p>



<p><strong>Archive video:</strong></p>



<iframe loading="lazy" width="720" height="420" src="https://www.youtube.com/embed/FYHA00YUyHA" title="YouTube video player" frameborder="0" allow="accelerometer; autoplay; clipboard-write; encrypted-media; gyroscope; picture-in-picture" allowfullscreen=""></iframe>



<div style="height:20px" aria-hidden="true" class="wp-block-spacer"></div>



<p><strong>What:</strong></p>



<p>Recent developments at COP26 showed that data access is at the heart of our plans to get to net zero. This means organisations will need to prepare to accelerate plans for data sharing and data publishing.&nbsp;</p>



<p>In our next 30 minute webinar, we’ll be exploring what COP26 announcements mean for businesses and their data, and what changes can be expected in the years to come.</p>



<p>We’ll discuss our main takeaways from COP26, and the actions that you can take now to ensure your data and digitalisation strategies will support the shift to Net Zero.</p>



<p><strong>Speakers:</strong></p>



<ul><li><a href="https://www.linkedin.com/in/gavinstarks/">Gavin Starks</a>, Founder and CEO, Icebreaker One (Chair)</li><li><a href="https://www.linkedin.com/in/leemwilson/?originalSubdomain=uk">Lee Wilson</a>, Product Owner &#8211; Data &amp; Analytics, ScottishPower</li><li><a href="https://www.linkedin.com/in/lucyyu1/?originalSubdomain=uk">Lucy Yu,</a> CEO, Centre for Net Zero</li><li><a href="https://www.linkedin.com/in/ronanpalmer/?originalSubdomain=uk">Ronan Palmer</a>, Head of Clean Economy Programme, E3G</li></ul>



<p>If you think a colleague or sector expert would be interested in joining this event, please share it with them.</p>



<p>Open Energy has been supported in-part with UK Government funding from <a href="https://www.ukri.org/">UK Research and Innovation (UKRI)</a> and <a href="https://www.gov.uk/government/organisations/department-for-business-energy-and-industrial-strategy">BEIS</a>.</p>



<figure class="wp-block-image size-large"><img decoding="async" loading="lazy" width="1337" height="91" src="https://ib1.org/wp-content/uploads/2021/10/IB1-footer-updated.png" alt="" class="wp-image-5222" srcset="https://ib1.org/wp-content/uploads/2021/10/IB1-footer-updated.png 1337w, https://ib1.org/wp-content/uploads/2021/10/IB1-footer-updated-600x41.png 600w, https://ib1.org/wp-content/uploads/2021/10/IB1-footer-updated-768x52.png 768w, https://ib1.org/wp-content/uploads/2021/10/IB1-footer-updated-830x56.png 830w, https://ib1.org/wp-content/uploads/2021/10/IB1-footer-updated-230x16.png 230w, https://ib1.org/wp-content/uploads/2021/10/IB1-footer-updated-350x24.png 350w, https://ib1.org/wp-content/uploads/2021/10/IB1-footer-updated-480x33.png 480w" sizes="(max-width: 1337px) 100vw, 1337px" /></figure>
]]></content:encoded>
					
		
		
			</item>
		<item>
		<title>Highlights from COP26: Our work helping to deliver the Paris Agreement</title>
		<link>https://ib1.org/2021/11/17/highlights-from-cop26-our-work-helping-to-deliver-the-paris-agreement/</link>
		
		<dc:creator><![CDATA[IB1 Team]]></dc:creator>
		<pubDate>Wed, 17 Nov 2021 12:17:56 +0000</pubDate>
				<category><![CDATA[Events & webinars]]></category>
		<category><![CDATA[Milestones]]></category>
		<category><![CDATA[Updates]]></category>
		<category><![CDATA[cop26]]></category>
		<category><![CDATA[data infrastructure]]></category>
		<category><![CDATA[data sharing]]></category>
		<category><![CDATA[net-zero]]></category>
		<category><![CDATA[open data]]></category>
		<category><![CDATA[open energy]]></category>
		<category><![CDATA[paris agreement]]></category>
		<guid isPermaLink="false">https://ib1.org/?p=5434</guid>

					<description><![CDATA[At COP26, we saw growing recognition of the contribution that improving access to energy data represents to our evolving world. [&#8230;]]]></description>
										<content:encoded><![CDATA[
<p>At COP26, we saw growing recognition of the contribution that improving access to energy data represents to our evolving world. Removing friction from data sharing will have an impact that is felt far beyond the energy ecosystem and will ripple through industry and society at pace.</p>



<p>Opening the OpenUK Open Technology for Sustainability day at COP26 yesterday, Lord Maude of Horsham said:</p>



<blockquote class="wp-block-quote is-style-default">
<p>“Icebreaker One are developing our national data infrastructure. It’s as important as our roads, rail, water and broadband networks.”</p>
<cite>Lord Maude of Horsham</cite></blockquote>



<figure class="wp-block-image size-large"><img decoding="async" loading="lazy" width="800" height="450" src="https://ib1.org/wp-content/uploads/2021/12/IB1-COP26-tumbnail.jpg" alt="" class="wp-image-5807" srcset="https://ib1.org/wp-content/uploads/2021/12/IB1-COP26-tumbnail.jpg 800w, https://ib1.org/wp-content/uploads/2021/12/IB1-COP26-tumbnail-600x338.jpg 600w, https://ib1.org/wp-content/uploads/2021/12/IB1-COP26-tumbnail-768x432.jpg 768w, https://ib1.org/wp-content/uploads/2021/12/IB1-COP26-tumbnail-230x129.jpg 230w, https://ib1.org/wp-content/uploads/2021/12/IB1-COP26-tumbnail-350x197.jpg 350w, https://ib1.org/wp-content/uploads/2021/12/IB1-COP26-tumbnail-480x270.jpg 480w" sizes="(max-width: 800px) 100vw, 800px" /></figure>



<div style="height:20px" aria-hidden="true" class="wp-block-spacer"></div>



<h3>Ofgem, BEIS and UKRI pledge support for Open Energy</h3>



<p>Another highlight was the announcement of support from <a href="https://www.ofgem.gov.uk/">Ofgem</a>, <a href="https://www.gov.uk/government/organisations/department-for-business-energy-and-industrial-strategy">BEIS</a> and <a href="https://www.ukri.org/">UKRI</a> as Icebreaker One’s <a href="https://energy.ib1.org/">Open Energy</a> service enters pilot stage to prepare for public launch:</p>



<blockquote class="wp-block-quote">
<p>“UKRI, BEIS and Ofgem are supportive of energy data sharing solutions and we will work with industry over the coming months to ensure that these solutions can operate within the energy market.”</p>
<cite>Ofgem, BEIS and UKRI statement</cite></blockquote>



<p>Read the full statement <a href="https://www.ofgem.gov.uk/publications/ofgem-beis-and-ukri-statement-open-energy">here</a>.</p>



<div style="height:20px" aria-hidden="true" class="wp-block-spacer"></div>



<h3>Mission Innovation launches Joint Roadmap of Global Innovation Priorities</h3>



<p>We celebrate the launch of the <a href="http://mission-innovation.net/missions/power/">Mission Innovation Green Powered Future Mission</a>’s <a href="http://mission-innovation.net/wp-content/uploads/2021/11/Power-Mission-Joint-Roadmap-of-Global-Innovation-Priorities.pdf">Joint Roadmap of Global Innovation Priorities</a> which took place at COP26. <a href="http://mission-innovation.net/">Mission Innovation</a> is a global initiative convening international governments, public authorities, corporates, investors and academia to form new public-private innovation alliances &#8211; Missions &#8211; that catalyse clean energy solutions for all. The Green Powered Future Mission will demonstrate by 2030 that power systems in all geographies and climates can effectively integrate up to 100% variable renewable energy (VRE) in their generation mix while maintaining a cost-efficient, secure, and resilient system. The UK’s <a href="https://www.gov.uk/government/organisations/department-for-business-energy-and-industrial-strategy">Department for Business, Energy &amp; Industrial Strategy</a> (BEIS) and Icebreaker One are leading a core pillar of the global Green Powered Future Mission which is ‘Data and Digitalisation for System Integration’: how to accelerate the digitalisation of energy systems through development of interoperable data exchange and effective system integration to unlock the full value of VRE.</p>



<p>The Joint Roadmap of Global Innovation Priorities has been developed by Mission members to achieve the goal. It has identified 17 Research &amp; Innovation (R&amp;I) themes and the top 100 innovation priorities in order that will guide investment and upcoming activity across 2022-2024, as projects are launched to demonstrate a range of innovative solutions that enable up to 100% integration to VRE.</p>



<p>For more information about the Green Powered Future Mission please read our summary <a href="https://ib1.org/constellation/mission-innovation-green-powered-future/">here</a>.</p>



<div style="height:20px" aria-hidden="true" class="wp-block-spacer"></div>



<h3>Icebreaker One founder helps launch automotive initiative aligned with IB1 principles</h3>



<p>IB1 Founder Gavin Starks joined the <a href="https://www.wbcsd.org/">World Business Council for Sustainable Development</a> (WBCSD) to launch a partnership with the <a href="https://catena-x.net/en/">Catena-X Automotive Network</a>, representing 62 automotive industry members as well as the Rocky Mountain Institute, to develop a shared approach to measuring and exchanging Scope 3 carbon emissions information in automotive supply chains.</p>



<p>You can watch the <a href="https://ib1.org/2021/10/13/icebreaker-one-at-cop26/">archive</a> of our presentation and read more about this ground-breaking new partnership <a href="https://www.wbcsd.org/Programs/Cities-and-Mobility/Transforming-Urban-Mobility/Mobility-Decarbonization/News/Automotive-industry-leaders-partner-to-develop-a-shared-approach-to-carbon-emissions-data?s=09">here</a>.</p>



<div style="height:20px" aria-hidden="true" class="wp-block-spacer"></div>



<h3>Icebreaker One’s Green Zone event plays to a packed house</h3>



<p>Our COP26 event ‘How can we decarbonise our built environment? Lessons from experiments around the world’ was a huge success. We enjoyed a lively debate with our global panel sharing their lessons from the frontline of decarbonisation innovation, and the role of net zero data in achieving it.</p>



<p>See the archive of our session <a href="https://ib1.org/2021/10/13/icebreaker-one-at-cop26/">here</a>.</p>



<div style="height:20px" aria-hidden="true" class="wp-block-spacer"></div>



<h3>Icebreaker One wins OpenUK’s Sustainability award</h3>



<p>Finally, it was wonderful to be announced as OpenUK’s Sustainability winner in the <a href="https://openuk.uk/openuk-awards-second-edition-2021/">OpenUK Awards, Second Edition 2021</a>, that recognise UK Leadership in Open Technology.</p>



<p>COP26 has been a fantastic event and we look forward to more openness, collaboration and innovation to come on the back of these important talks.</p>



<figure class="wp-block-image size-full"><img decoding="async" loading="lazy" width="1200" height="800" src="https://ib1.org/wp-content/uploads/2023/04/IB1-OpenUK-2021-winner.jpeg" alt="" class="wp-image-8842" srcset="https://ib1.org/wp-content/uploads/2023/04/IB1-OpenUK-2021-winner.jpeg 1200w, https://ib1.org/wp-content/uploads/2023/04/IB1-OpenUK-2021-winner-600x400.jpeg 600w, https://ib1.org/wp-content/uploads/2023/04/IB1-OpenUK-2021-winner-768x512.jpeg 768w, https://ib1.org/wp-content/uploads/2023/04/IB1-OpenUK-2021-winner-830x553.jpeg 830w, https://ib1.org/wp-content/uploads/2023/04/IB1-OpenUK-2021-winner-230x153.jpeg 230w, https://ib1.org/wp-content/uploads/2023/04/IB1-OpenUK-2021-winner-350x233.jpeg 350w, https://ib1.org/wp-content/uploads/2023/04/IB1-OpenUK-2021-winner-480x320.jpeg 480w" sizes="(max-width: 1200px) 100vw, 1200px" /></figure>



<figure class="wp-block-pullquote is-style-default"><blockquote><p>Are you interested in collaborating with us and helping to internationalise Open Energy? Please email <a href="mailto:openenergy@ib1.org">openenergy@ib1.org</a></p></blockquote></figure>
]]></content:encoded>
					
		
		
			</item>
		<item>
		<title>Webinar: Towards Net Zero in insurance &#8211; what regulatory environment do we need?</title>
		<link>https://ib1.org/2021/05/10/webinar-towards-net-zero-in-insurance-what-regulatory-environment-do-we-need/</link>
		
		<dc:creator><![CDATA[IB1 Team]]></dc:creator>
		<pubDate>Mon, 10 May 2021 11:46:47 +0000</pubDate>
				<category><![CDATA[Events & webinars]]></category>
		<category><![CDATA[Finance]]></category>
		<category><![CDATA[climate ready]]></category>
		<category><![CDATA[data sharing]]></category>
		<category><![CDATA[insurance]]></category>
		<category><![CDATA[insurance sector]]></category>
		<category><![CDATA[netzero]]></category>
		<guid isPermaLink="false">https://ib1.org/?p=4284</guid>

					<description><![CDATA[When: 20 May 2021, 10am-11am BST Where: Online, sign up via Eventbrite Archived webinar: Who: Nick Tyrone, SERI Legal &#38; [&#8230;]]]></description>
										<content:encoded><![CDATA[
<p><strong>When: 20 May 2021, 10am-11am BST</strong></p>



<p><strong>Where:</strong> Online, <a href="https://www.eventbrite.co.uk/e/towards-net-zero-in-insurance-what-regulatory-environment-do-we-need-tickets-154211626125">sign up via Eventbrite</a></p>



<p><strong>Archived webinar:</strong></p>



<figure class="wp-block-embed-youtube wp-block-embed is-type-video is-provider-youtube wp-embed-aspect-16-9 wp-has-aspect-ratio"><div class="wp-block-embed__wrapper">
<iframe loading="lazy" width="1170" height="658" src="https://www.youtube.com/embed/AlbpPQqa_YU?feature=oembed" frameborder="0" allow="accelerometer; autoplay; clipboard-write; encrypted-media; gyroscope; picture-in-picture" allowfullscreen></iframe>
</div></figure>



<p><strong>Who: </strong></p>



<ul><li><a href="https://www.linkedin.com/in/nick-tyrone-a2626938/">Nick Tyrone</a>, SERI Legal &amp; Governance Lead, Icebreaker One (Chair)<br></li><li><a href="https://www.linkedin.com/in/ben-howarth-b07192125/">Ben Howarth</a>, Manager Climate Change and Open Data Policy, Association of British Insurers (ABI) <br></li><li><a href="https://www.linkedin.com/in/ted-christie-miller-040280b3">Ted Christie-Miller</a>, Senior Researcher, Onward<br></li><li><a href="https://www.linkedin.com/in/richard-hobbs-0263865/">Richard Hobbs</a>, Chair, Acrisure Re</li><li><a href="https://www.linkedin.com/in/bronwyn-claire-a1251351/">Dr Bronwyn Claire</a>, Senior Programme Manager, ClimateWise, Cambridge Institute for Sustainability Leadership (CISL)</li><li><a href="https://www.linkedin.com/in/stuart-shipperlee-4078aa37">Stuart Shipperlee</a>, Managing Director, Litmus Analysis</li></ul>



<p><strong>What: </strong></p>



<p>As the climate changes, risks from environmental factors will increasingly impact both insurers and the insurance sector. Added to this, TCFD-related regulation and other climate-related regulation will soon be coming into effect. How will the insurance sector respond?<br></p>



<p>Establishing a <a href="https://ib1.org/seri/">sector-wide data sharing framework</a> will be central to the solution &#8211; yet this faces several challenges. What regulatory framework would be required to make data sharing effective &#8211; or at least give it a kick start?&nbsp;<br></p>



<p>In this hour-long event, these and related issues surrounding <a href="https://ib1.org/net-zero/">Net Zero</a> and the insurance industry will be discussed. The <a href="https://ib1.org/seri/">SERI</a> team will answer questions from the audience and share information on how to contribute to the SERI programme.<br></p>



<p><a href="https://ib1.org/seri/">SERI (Standard for Environmental Risk and Insurance)</a> is a <a href="https://www.ukri.org/">UKRI</a> and <a href="https://www.climate-kic.org/">EIT Climate-KIC</a> -funded programme.<br></p>



<p><br></p>
]]></content:encoded>
					
		
		
			</item>
		<item>
		<title>Mapping the insurance landscape part 2</title>
		<link>https://ib1.org/2021/04/12/mapping-the-insurance-landscape-part-2/</link>
					<comments>https://ib1.org/2021/04/12/mapping-the-insurance-landscape-part-2/#comments</comments>
		
		<dc:creator><![CDATA[Vichi Chandra]]></dc:creator>
		<pubDate>Mon, 12 Apr 2021 12:35:33 +0000</pubDate>
				<category><![CDATA[Finance]]></category>
		<category><![CDATA[Reports]]></category>
		<category><![CDATA[Research]]></category>
		<category><![CDATA[Updates]]></category>
		<category><![CDATA[data sharing]]></category>
		<category><![CDATA[ecosystem map]]></category>
		<category><![CDATA[insurance]]></category>
		<category><![CDATA[SERI]]></category>
		<guid isPermaLink="false">https://ib1.org/?p=4165</guid>

					<description><![CDATA[This blog is the second part of a mini-series that we have written as part of the SERI programme. We&#8217;re [&#8230;]]]></description>
										<content:encoded><![CDATA[
<p class="has-very-light-gray-background-color has-background">This blog is the second part of a mini-series that we have written as part of the <a href="https://ib1.org/seri/">SERI programme</a>.  We&#8217;re  always looking for people to join us on SERI and to help improve our  thinking. To share your thoughts or to get involved in this programme  please get in touch.</p>



<p><a href="https://ib1.org/2020/10/01/mapping-the-insurance-landscape/">In the first part of this mini-series</a>, we looked at the sections numbered 1, 2 and 3 in the insurance landscape image to explore what types of insurance exist, the different structures and what insurance business models are based on. Here we look at sections 4 and 5 to explore how insurance relates to the rest of finance and how insurance is distributed to buyers of insurance.</p>



<figure class="wp-block-image size-large"><img decoding="async" loading="lazy" width="1268" height="736" src="https://ib1.org/wp-content/uploads/2021/04/Screenshot-2021-04-12-at-12.30.52.png" alt="" class="wp-image-4166" srcset="https://ib1.org/wp-content/uploads/2021/04/Screenshot-2021-04-12-at-12.30.52.png 1268w, https://ib1.org/wp-content/uploads/2021/04/Screenshot-2021-04-12-at-12.30.52-600x348.png 600w, https://ib1.org/wp-content/uploads/2021/04/Screenshot-2021-04-12-at-12.30.52-768x446.png 768w, https://ib1.org/wp-content/uploads/2021/04/Screenshot-2021-04-12-at-12.30.52-830x482.png 830w, https://ib1.org/wp-content/uploads/2021/04/Screenshot-2021-04-12-at-12.30.52-230x134.png 230w, https://ib1.org/wp-content/uploads/2021/04/Screenshot-2021-04-12-at-12.30.52-350x203.png 350w, https://ib1.org/wp-content/uploads/2021/04/Screenshot-2021-04-12-at-12.30.52-480x279.png 480w" sizes="(max-width: 1268px) 100vw, 1268px" /></figure>



<p>The sections of the insurance landscape are discussed in this blog. You can access the full graphic <a href="https://docs.google.com/drawings/d/1jZ3okjVU8d7-hUiW1cy76WFHJjtx2MkLnoGljQo0bx4/">here.</a> To learn about sections 1, 2 &amp; 3, read the <a href="https://ib1.org/2020/10/01/mapping-the-insurance-landscape/">first blog of this series</a>. </p>



<h3>4. Insurance and the wider financial services industry</h3>



<p>As we have seen in the previous section, the insurance industry is closely linked to the wider financial industry through the investment of premiums. Furthermore, a stock insurance company can receive money from external investors (i.e. not only from premiums paid by policyholders) from the securities market through financial instruments known as insurance-linked securities (ILS). ILS are bought by investors who are willing to take on the potential risk of a catastrophic event for the reward of the guaranteed premiums. If the catastrophic event does not occur, then the investors make money. Creating, selling and trading these financial instruments require a high level of sophistication and industry know-how, and not surprisingly access to high-quality data. </p>



<h4>What about regulation?</h4>



<p>Insurance is a highly regulated industry within the wider financial marketplace with strict requirements to ensure insurance companies have the ability to fulfil their contractual obligations of servicing claims. Credit agencies play a significant role in the insurance market by assessing and monitoring an insurance companies’ solvency, or ability to make payouts. Hence, credit agencies are important data users in the insurance landscape and rely on data to accurately assess insurance companies’ credibility and fiduciary function, thus providing dependable ratings not just for the buyers of insurance but also for the insurance industry’s impact on financial markets.</p>



<h3>5. Insurance distribution</h3>



<p>Insurance brokers, intermediaries or insurance sales arms act as the interface between the customer or user of insurance and the insurers. Hence, the distribution channels hold key information about customer behaviour and industry demand. Technology companies are increasingly moving into these segments of the insurance marketplace with the growing digitalisation of insurance distribution and robo-insurance. </p>



<p>Technology uptake such as with smart devices, Internet of Things (IoT), wearables and even remote sensing data has led to innovations in insurance products and processes, but not without challenges relating to data use, ownership and privacy. Most disruption has been at the customer and operations segments of the insurance value chain; such as with the use of open and shared data from the financial industry to determine a policyholder’s ability to pay premiums, thus disrupting centuries-old insurance assessment processes. Promising structures that aim to streamline other segments of the market, such as claims processing and monitoring, are also emerging. </p>



<h3>What next?</h3>



<p>Insurance is a heavily synergetic marketplace due to the sharing or transferring of risk through invested capital, not just within the industry itself but across the wider financial marketplace and other industries such as energy, infrastructure and transport. </p>



<p>Establishing standards for data sharing to open up channels internally and across industry can facilitate interoperability to speed up attaining mandated net-zero targets. Here, we have explored the stakeholders and possible data segments in insurance for the SERI project, but the whole picture is not yet complete. Next, we aim to delve deeper into specific sections of the insurance data systems and data-flow landscape to understand more about data used in insurance to help us develop climate-ready insurance products. </p>



<h3>Got feedback? Get in touch!<br></h3>



<p><a href="https://ib1.org/2021/03/31/join-our-seri-advisory-groups/">SERI is holding a series of stakeholder engagement activities over the coming months.</a> If you have any questions, comments or would like to know more, please get in touch. </p>
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		<title>ESG Data for a Green and Sustainable Future</title>
		<link>https://ib1.org/2021/03/16/esg-data-for-a-green-and-sustainable-future/</link>
		
		<dc:creator><![CDATA[Jannah Patchay]]></dc:creator>
		<pubDate>Tue, 16 Mar 2021 10:45:23 +0000</pubDate>
				<category><![CDATA[Finance]]></category>
		<category><![CDATA[Opinion]]></category>
		<category><![CDATA[Updates]]></category>
		<category><![CDATA[data]]></category>
		<category><![CDATA[data sharing]]></category>
		<category><![CDATA[esg]]></category>
		<category><![CDATA[net zero future]]></category>
		<category><![CDATA[sustainability]]></category>
		<category><![CDATA[sustainable data]]></category>
		<guid isPermaLink="false">https://ib1.org/?p=4020</guid>

					<description><![CDATA[The Future of Sustainable Data Alliance (FoSDA) was launched in January 2020. Spearheaded by Refinitiv and the World Economic Foundation, [&#8230;]]]></description>
										<content:encoded><![CDATA[
<p>The <a href="https://futureofsustainabledata.com/">Future of Sustainable Data Alliance</a> (FoSDA) was launched in January 2020. Spearheaded by Refinitiv and the World Economic Foundation, its partner network includes organisations such as IIF, GFMA, ASIFMA, Climate Bonds Initiative, FinTech4Good, Oxford University, the Spatial Finance Initiative, and Finance for Biodiversity, amongst others. FoSDA’s express aim is to “identify and accelerate the reliable, actionable ESG data and related technology that is needed for improved investor decision making on the global journey to sustainable development”.</p>



<p>We at Icebreaker One are proud to be a partner of FoSDA, and it’s a community whose goals are very closely aligned with our own. In this blog post, we’ll be looking at a few highlights from FoSDA’s initial recommendations to the financial community, addressed to both regulators and financial market participants. There are 3 primary themes: 1) Defining and creating a path to filling ESG data gaps and data holes, 2) mapping data to sustainability taxonomies and 3) the need for ESG data talent development globally. At Icebreaker One, our focus is on the data and data infrastructure requirements that will underpin the successful transition to green finance and a green economy, and so we will look at FoSDA’s recommendations through this lens.&nbsp;&nbsp;</p>



<h4><em>What are data holes and data gaps?</em></h4>



<p>As an industry, we’re perhaps more familiar with the concept of data gaps – missing information related to a specific data point that has already been collected. An example might be data on greenhouse gas (GHG) emissions – it’s well-known and well-defined, there are plenty of standards out there, and the main challenge is that not enough firms are reporting it. Data holes, on the other hand, are potentially a much larger issue: entire datasets that are not collected at all, such as data on biodiversity risks.&nbsp; FoSDA’s focus is on supporting regulators and the industry in identifying data holes and minimising data gaps, so that investors and regulators are able to have a better view of both specific climate risks as well as the overall systemic risks and challenges posed.&nbsp;</p>



<h4><em>Mapping and addressing data holes</em></h4>



<p>The first step towards solving the problem of data holes is to identify where these holes exist. FoSDA has identified biodiversity data as a key initial area of focus, as nature-related and biodiversity issues are a new frontier in understanding climate and environmental risk. Regulators, data providers and investors should therefore come together and collaborate in determining the data sets that are needed to understand and address these risks. Where we collectively identify and map these holes, we then need to develop a plan of action to fill them. This can take the form of policy interventions – such as mandatory reporting requirements, or by interventions to open up public and private sector sources of such data – or through novel means of sourcing the data, such as geospatial data.&nbsp;</p>



<h4><em>Move away from binary reporting</em></h4>



<p>By binary reporting, we mean reporting that requires a company to disclose whether or not it has certain policies in place. This is overly simplistic and does not provide any usable information on the robustness or actual implementation and outcomes of such policies. FoSDA therefore recommends a transition towards more standardised, metrics-based reporting. This could be implemented via the enhancement of existing reporting standards (such as the “Gang of Five”, comprising SASB, GRI, CDP, IIRC and CDSB), with financial institutions and data vendors, as consumers of this data, helping to determine the data points and level of granularity required.&nbsp;&nbsp;</p>



<h4><em>Increase focus on forward-looking data</em></h4>



<p>It’s a well-known issue that ESG data – particularly environmental data – is near-useless if it is purely backwards-looking. That’s why we are huge supporters of the growing recognition of the role played by scenario analysis – a forward-looking tool for assessing climate impacts and risks – on the part of central banks, regulators and standards setters such as the Taskforce for Climate-Related Financial Disclosures (TCFD).&nbsp; However, at Icebreaker One we also know that these types of forward-looking assessments also require common data inputs and base assumptions. Addressing this will also require multilateral cooperation and collaboration.</p>



<h4><em>Standardise corporate ESG reporting</em></h4>



<p>To be truly usable as means of internalising climate risk and ESG within the financial system, enabling the transition to a green and sustainable financial system and economy, we need ESG data standards and metrics that are internationally consistent, well-defined and produce meaningful, objectively comparable data outputs.&nbsp;</p>



<p>As governments and regulators increasingly move towards mandating ESG disclosures and reporting, these will ultimately become costly but futile exercises for companies, unless they’re accompanied by clear standards. Existing standards setters will play a key role – but will require input from regulators and market participants globally as well.&nbsp;&nbsp;</p>



<h4><em>Sustainability taxonomies need to be mapped to underlying data</em></h4>



<p>There are a number of initiatives across jurisdictions globally to develop taxonomies that define what is and is not “green”. These aim at helping financial institutions to better classify their products, investors to better understand the green credentials of their investments, and regulators to understand the relative exposures of the financial institutions that they oversee. In order to make the best use of taxonomy frameworks, they need to be mapped to the underlying data sets that enable taxonomy determinations to be made. Regulators therefore need to consider these data sets when developing their taxonomies.</p>



<h4><em>Move away from singular dataset focus</em></h4>



<p>Combining data sets from multiple sources, and starting to explore the potential for use of “alternative” data sources such as geospatial data, can provide powerful new mechanisms for understanding the exposures and risks of companies. There’s a need for governments, regulators and investors to all contribute towards understanding what these integrated data sets could look like and offer, and in creating the environments that will enable them.&nbsp;</p>



<h4><em>The need for ESG data talent development globally</em></h4>



<p>As we’ve seen across these recommendations, we are going to need new skills and talent to drive ESG data forward and into the mainstream. Governments and regulators can play a role in helping to develop and nurture this talent, as well as in creating an environment conducive to innovation and testing of new ideas.&nbsp;</p>



<h4><em>Putting it all together</em></h4>



<p>At Icebreaker One, our work with our insurance and financial partner network on initiatives such as SERI (the Standard for Environment Risk and Insurance) has highlighted many practical examples of the ways in which data gaps and holes are holding the industry back from developing the net-zero enabling financial products and services that are needed for the transition to a green economy. We’ve seen the consequences of these gaps in action, and their impacts.&nbsp;</p>



<p>Even where data is available, it’s not always easy to find, or to access. We believe that the accessibility of data for decision-making is absolutely critical in the transition towards a green economy and a net-zero, sustainable future. Our vision is that a robust data infrastructure can address these challenges, and our goal is to work with our constellation of partners to develop this.&nbsp;</p>



<p>Photo by&nbsp;<a href="https://unsplash.com/@usgs?utm_source=unsplash&amp;utm_medium=referral&amp;utm_content=creditCopyText">USGS</a>&nbsp;on&nbsp;<a>Unsplash</a></p>



<p><br></p>
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		<title>Does your building need a climate-ready passport?</title>
		<link>https://ib1.org/2021/03/04/does-your-building-need-a-climate-ready-passport/</link>
		
		<dc:creator><![CDATA[Jeremy Hindle]]></dc:creator>
		<pubDate>Thu, 04 Mar 2021 13:23:25 +0000</pubDate>
				<category><![CDATA[Finance]]></category>
		<category><![CDATA[Research]]></category>
		<category><![CDATA[building passport]]></category>
		<category><![CDATA[buildings]]></category>
		<category><![CDATA[carbon emissions]]></category>
		<category><![CDATA[climate ready]]></category>
		<category><![CDATA[data infrastructure]]></category>
		<category><![CDATA[data sharing]]></category>
		<category><![CDATA[greenhouse gas emissions]]></category>
		<category><![CDATA[netzero]]></category>
		<guid isPermaLink="false">https://ib1.org/?p=3958</guid>

					<description><![CDATA[The built environment contributes 40% to greenhouse gas (GHG) emissions in the UK, of which over 70% is driven by [&#8230;]]]></description>
										<content:encoded><![CDATA[
<p>The built environment <a href="https://www.ukgbc.org/climate-change/">contributes</a> 40% to greenhouse gas (GHG) emissions in the UK, of which over 70% is driven by building operations. <strong>Over 85% of the buildings in use today will still be in use by 2050, so it is imperative that action is taken to understand how these buildings can be made more climate-ready.</strong> Retrofitting is costly and there is low awareness of the benefits of energy renovation and insufficient knowledge of what measures to implement and in which order.&nbsp;</p>



<p>However, an even bigger challenge is to tackle the total GHG emissions used to produce a built asset, known as embodied (or capital) carbon. As urban growth continues and new buildings are erected, the contribution of embodied carbon is projected to <a href="https://www.ukgbc.org/sites/default/files/UK-GBC%20EC%20Developing%20Client%20Brief.pdf">double</a> by 2050, making it urgent to address mitigation strategies in the design phase.</p>



<p><strong>While some types of building passport exist, a climate-ready building passport could provide the means to capture and share data on a building&#8217;s life cycle (design, build, operation) and provide owners with a pathway to meet GHG reduction goals.</strong></p>



<p>Various disparate tools exist that serve specific needs, but there is a wide gap between current data availability, its formats, discoverability and useability and a fully functioning, transparent, interoperable and scalable system that could capture the diverse requirements of potential users. In other words, there are many barriers that prevent stakeholders accessing the data they need that could help to reduce the GHG emissions of a building.&nbsp;&nbsp;</p>



<p><strong>The creation of a digital “building passport” could enable a variety of stakeholders to discover and share appropriate data in a secure environment</strong>, underpinned by robust standards for data sharing, allowing for real-time reporting to enhance risk analysis that would in turn incentivise climate-ready behaviours and allow for the development of innovative insurance products. <strong>There is an urgent need to collaboratively develop the shared data infrastructure where multiple use cases for digital building passports can help incentivise net-zero behaviours.</strong></p>



<blockquote style="text-align:center" class="wp-block-quote"><p>Icebreaker One is actively looking for feedback on the idea of climate-ready building passports. We&#8217;re currently consulting with industry, and building Advisory Groups to meet this Spring. The Advisory Groups will explore the idea and provide a forum for discussion to ensure this product meets user needs. </p><p><strong>To share feedback or express your interest in joining the Advisory Groups, send us an email on <a href="mailto: seri@ib1.org">seri@ib1.org</a></strong></p></blockquote>



<h4><strong>What is a building passport?</strong></h4>



<p><strong>A building passport is a tool to capture appropriate data in a digital format that could be useful to building owners, occupiers and those that have responsibility for monitoring and reporting on a building’s performance. </strong>The idea of a building passport is not new. Indeed, the European Union through the European Commission’s Directorate-General for Energy is providing technical support to investigate the feasibility of introducing optional <a href="https://op.europa.eu/en/publication-detail/-/publication/a38ea088-aead-11ea-bb7a-01aa75ed71a1/language-en?WT.mc_id=Searchresult&amp;WT.ria_c=37085&amp;WT.ria_f=3608&amp;WT.ria_ev=search">building renovation passports</a> (BRP) in the EU. Following Article 19a of the Energy Performance of Buildings Directive (EPBD), the relevance, feasibility and potential impact of BRPs was studied and the results showed that there is low awareness of the benefits of energy renovation and insufficient knowledge of what measures to implement and in which order.</p>



<p>Existing building passports are able to store historical information about the design, construction and fitting out of a structure that could be made available on demand to restricted users, such as the fire services. The desire for safer built environments has been the impetus for the creation of organisations like <a href="https://www.buildingpassport.com">Building Passport</a>. For example, in the light of the Grenfell Tower tragedy and subsequent Inquiry and <a href="https://www.grenfelltowerinquiry.org.uk/phase-1-report">Phase 1 report</a>, a vital use case for building passports is making floor plans and information that could exacerbate fire risk instantly available to rescue services.&nbsp;</p>



<p>A climate-ready building passport could go further than providing specific information to rescue services.<strong> To enable the widest possible adoption, the concept needs to be enabled by a standards-based approach to data sharing.</strong> The <a href="https://ib1.org/seri/">Standard for Environment, Risk and Insurance</a> (SERI) is looking to develop open standards to enable insurers to access shared environmental, financial and risk data across organisations and silos. <strong>Capturing additional environmental data will provide incentives that could support more meaningful actions to reduce GHG emissions and so underpin net-zero goals.</strong></p>



<p>There are several other uses of the climate-ready building passport that could provide credible reasons for all stakeholders to collectively agree on a shared data infrastructure to support more comprehensive access to information about a building, in a secure environment with the appropriate governance structure in place. For example, the rich data captured in <a href="https://en.wikipedia.org/wiki/Building_information_modeling">Building Information Modelling</a> (BIM) does not get shared as exposure input data used in risk assessments or the catastrophe modelling process used in insurance pricing. Data standards could assist asset owners where there is no normalised process for capturing and reporting climate-related disclosures, which will soon become <a href="https://assets.publishing.service.gov.uk/government/uploads/system/uploads/attachment_data/file/933783/FINAL_TCFD_ROADMAP.pdf">mandatory</a>.</p>



<figure class="wp-block-image"><img decoding="async" loading="lazy" width="800" height="778" src="https://ib1.org/wp-content/uploads/2021/03/Building-Passport-Use-Cases.png" alt="" class="wp-image-4010" srcset="https://ib1.org/wp-content/uploads/2021/03/Building-Passport-Use-Cases.png 800w, https://ib1.org/wp-content/uploads/2021/03/Building-Passport-Use-Cases-600x584.png 600w, https://ib1.org/wp-content/uploads/2021/03/Building-Passport-Use-Cases-768x747.png 768w, https://ib1.org/wp-content/uploads/2021/03/Building-Passport-Use-Cases-230x224.png 230w, https://ib1.org/wp-content/uploads/2021/03/Building-Passport-Use-Cases-350x340.png 350w, https://ib1.org/wp-content/uploads/2021/03/Building-Passport-Use-Cases-480x467.png 480w, https://ib1.org/wp-content/uploads/2021/03/Building-Passport-Use-Cases-45x45.png 45w" sizes="(max-width: 800px) 100vw, 800px" /></figure>



<h4><strong>How would the data be used?</strong></h4>



<p>Creating a digital building passport would open up a wealth of opportunities, but it does pose an expanding hierarchy of questions depending on the user. To narrow the scope, key questions need to be answered from each stakeholder:</p>



<p><br> &#8211; What are you trying to do?<br> &#8211; What data are you using to do it?<br> &#8211; What data do you need?<br> &#8211; What data elements are missing?<br> &#8211; What data formats are missing?<br> &#8211; What data do you not have access to?<br> &#8211; Would a digital passport be the right tool to capture open / shared data?</p>



<p><strong>For SERI, our goal is to encourage the development of innovative insurance products that incentivise carbon net-zero behaviours.</strong> Insurers use a wide range of data inputs to assist in pricing decisions and risk management. This data is captured from individual buildings and residential properties, through to massive schedules of information from corporate buyers (such as hotel or fast food chains). None of this data is currently structured to be captured and shared easily. </p>



<p>While third-party catastrophe model vendors are beginning to make their proprietary standards open, and open exposure data standards exist through the work of platforms like <a href="https://github.com/OasisLMF/OpenDataStandards/">Oasis Loss Modelling Framework</a>, the data that is captured is limited. Data on age, construction, number of stories together with primary modifiers like occupancy and location are supplemented by secondary modifiers such as construction quality and cladding. This data is mostly captured in spreadsheets, CSV formats or worse in PDF files. The industry is looking at new tools that could capture additional data elements leveraging more scalable software solutions such as JSON. This allows for a more powerful ability to capture hierarchical and relational data. For example, for buildings this could include:</p>



<p>&#8211;&gt; Physical characteristics including its structure, orientation, materials, locations, neighbourhood<br>&#8211;&gt; Use and building performance characteristics including occupancy, services &amp; utilities, critical dependencies<br>&#8211;&gt; Legal and financial characteristics &#8211; owners, portfolio relationships, leases</p>



<h4>How to get involved!</h4>



<p>We believe that there is an opportunity to leverage the work that was originally achieved for Open Banking, and now being used for <a href="https://energydata.org.uk/">Open Energy</a> and help crystalise a &#8220;Shared Data Infrastructure&#8221; that could provide utility for many downstream activities. </p>



<p><strong>Icebreaker One is looking for representatives from diverse organisations that are involved either in the supply or use of data to assist in developing a use case for creating a shared data infrastructure that is aligned with the goals of SERI. </strong></p>



<p><strong>We&#8217;re currently building Advisory Groups that will meet over the next few months to do this. Being part of an Advisory Group means meeting occasionally with other sector leaders, and providing insight and feedback on what Climate-Ready Building Passports could be most valuable. </strong></p>



<p><a href="https://forms.gle/RESgGjbm4G8naPY78"><strong>To share feedback or express your interest in joining the Advisory Groups, fill out this short form.</strong></a><strong> </strong>Alternatively, write to <strong>seri@ib1.org</strong>.<br></p>



<p>Meanwhile,  join Icebreaker One <a href="https://icebreakerone.us14.list-manage.com/subscribe?u=98659f7dab2581ba8678a549f&amp;id=8b91792b91">here</a> and help us deliver a net-zero future! </p>



<p><em>Photo credit: City of London Skyline by </em><a href="https://flickr.com/photos/trinesyv/"><em>Trine Syvertsen</em></a><em> CC by 2.0</em><br></p>
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		<title>Open Energy gets UK Government backing</title>
		<link>https://ib1.org/2021/01/27/open-energy-gets-uk-government-backing/</link>
		
		<dc:creator><![CDATA[Laura Townshend]]></dc:creator>
		<pubDate>Wed, 27 Jan 2021 15:57:30 +0000</pubDate>
				<category><![CDATA[Updates]]></category>
		<category><![CDATA[data sharing]]></category>
		<category><![CDATA[innovation]]></category>
		<category><![CDATA[open banking]]></category>
		<category><![CDATA[open energy]]></category>
		<category><![CDATA[UKRI]]></category>
		<guid isPermaLink="false">https://ib1.org/?p=3702</guid>

					<description><![CDATA[Icebreaker One has won a major UK Research and Innovation competition for the Open Energy project, which aims to revolutionise [&#8230;]]]></description>
										<content:encoded><![CDATA[
<p><a href="https://ib1.org">Icebreaker One</a> has won a major UK Research and Innovation competition for the <a href="http://energydata.org.uk/">Open Energy</a> project, which aims to revolutionise the way data is shared across the energy sector to make sure the UK achieves its net-zero goals. <br></p>



<p>It means the project will receive £750k in UK Government funding to continue developing a standard that all organisations in the energy data ecosystem can use to search, share and access data. It’s also developing a prototype governance platform to make sure data is shared securely.&nbsp;<br></p>



<p>Icebreaker One will host a webinar on <strong>16 February at 10am</strong> to share more information about its progress so far and plans for the future.</p>



<div class="wp-block-image"><figure class="aligncenter is-resized"><a href="https://www.eventbrite.co.uk/e/open-event-transforming-energy-data-sharing-to-achieve-net-zero-tickets-138581614339"><img decoding="async" loading="lazy" src="https://ib1.org/wp-content/uploads/2021/01/ib1-button-webinar-registration-1.png" alt="" class="wp-image-3851" width="300" height="87" srcset="https://ib1.org/wp-content/uploads/2021/01/ib1-button-webinar-registration-1.png 300w, https://ib1.org/wp-content/uploads/2021/01/ib1-button-webinar-registration-1-230x67.png 230w" sizes="(max-width: 300px) 100vw, 300px" /></a></figure></div>



<p>Open Energy aims to transform the way organisations exchange the information they need to phase out fossil fuels and implement renewable energy technology. Icebreaker One is aiming to roll out the Open Energy standards, guides and recommendations across the energy sector over the next year.<br></p>



<p>Open Energy has been guided by industry advisory groups across the UK which include representatives from Ofgem, Scottish Power and SSE. It’s led by Gavin Starks, one of the key figures behind the Open Banking Standard that has revolutionised the banking sector over the past five years.<br></p>



<p>Icebreaker One worked with project partners <a href="https://openclimatefix.org/">Open Climate Fix</a>, <a href="http://www.raidiam.com/">Raidiam</a> and <a href="https://www.passivsystems.com/">PassivSystems,</a> to win the <a href="https://innovateuk.blog.gov.uk/2020/05/29/modernising-energy-data-access-and-the-winners-are/">Modernising Energy Data Access (MEDA) </a>competition, run by <a href="https://www.gov.uk/government/organisations/innovate-uk">Innovate UK</a> as part of the Industrial Strategy Prospering from the Energy Revolution programme.&nbsp;</p>



<p><em>Gavin Starks, founder and CEO at Icebreaker One, said,</em><br></p>



<p> “We’re delighted to have this backing to continue developing the data infrastructure to help unlock access to data to deliver efficiency and innovation across the energy sector. <br><br>This will have a material impact on the UK’s ability to make the most of decentralised energy supply and consumption, help address the coming challenges of the transition to electric vehicles and catalyse the delivery of our net-zero targets. <br><br>Our work will help unlock data discovery by enabling energy data search and usage by delivering a trusted ecosystem for decentralised data sharing.” </p>



<p><em>Rob Saunders, Challenge Director, Prospering from the Energy Revolution at UKRI, said:</em> </p>



<p>“The MEDA competition was designed to accelerate innovative ways for energy data to be open-sourced, organised and accessed, providing a platform for new technology, services and more agile regulation within the energy sector.&nbsp;<br></p>



<p>“The Icebreaker One project showed exactly what can be achieved through collaborative thinking and will help create a framework for all stakeholders to share data further for the common benefit &#8211; and ultimately for the UK’s net-zero ambitions. We are looking forward to working with them closely as the project develops further.”</p>



<p>David Manning, Head of Data Management at SSE plc, said: “At SSE we recognise that becoming a data driven organisation is critical to our role in helping achieve a net zero world.”</p>



<p>“Readily accessible and trusted data will be essential to building the decarbonised energy system of the future; ensuring flexibility, customisation and personalisation for energy users, large and small. It’s exciting to see the progress being made in this space.”</p>



<div class="wp-block-image"><figure class="aligncenter is-resized"><a href="https://www.eventbrite.co.uk/e/open-event-transforming-energy-data-sharing-to-achieve-net-zero-tickets-138581614339"><img decoding="async" loading="lazy" src="https://ib1.org/wp-content/uploads/2021/01/ib1-button-webinar-registration-1.png" alt="" class="wp-image-3851" width="300" height="87" srcset="https://ib1.org/wp-content/uploads/2021/01/ib1-button-webinar-registration-1.png 300w, https://ib1.org/wp-content/uploads/2021/01/ib1-button-webinar-registration-1-230x67.png 230w" sizes="(max-width: 300px) 100vw, 300px" /></a></figure></div>



<h4 style="text-align:center"><a href="http://energydata.org.uk/">Read more about Open Energy</a><br></h4>



<p><br></p>
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		<title>UK National Data Strategy &#8211; Icebreaker One Response</title>
		<link>https://ib1.org/2021/01/26/uk-national-data-strategy-icebreaker-one-response/</link>
		
		<dc:creator><![CDATA[Jannah Patchay]]></dc:creator>
		<pubDate>Tue, 26 Jan 2021 15:30:23 +0000</pubDate>
				<category><![CDATA[Briefing]]></category>
		<category><![CDATA[data infrastructure]]></category>
		<category><![CDATA[data sharing]]></category>
		<category><![CDATA[strategy]]></category>
		<category><![CDATA[UK government]]></category>
		<guid isPermaLink="false">https://ib1.org/?p=3687</guid>

					<description><![CDATA[Icebreaker One welcomed the opportunity, in December 2020, to participate in and respond to the UK Government’s very timely Consultation [&#8230;]]]></description>
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<p><strong>Icebreaker One welcomed the opportunity, in December 2020, to participate in and respond to the UK Government’s very timely <a href="https://www.gov.uk/government/consultations/uk-national-data-strategy-nds-consultation">Consultation on the UK National Data Strategy</a>.&nbsp; </strong></p>



<p><strong><em>A.</em></strong> &nbsp; &nbsp; <strong><em>Introduction – Icebreaker One</em></strong></p>



<p>Icebreaker One (IB1) is a global non-profit dedicated to making data-at-scale work harder to deliver innovative financing for a carbon-zero future. It is focussed on creating frameworks and open standards for robust and secure data sharing across environmental &amp; financial data;&nbsp;understanding the use-cases, business models, policies, processes, principles and practice that will unlock value at scale; developing &amp; sharing expertise to provide knowledge and insight that will enable climate-specific interventions across the financial ecosystem.</p>



<p>We’re working to help everyone understand how to instrument change: where there is scope for material, transformational, rapid change—and how to implement it—that will help us all address the greatest challenges of our time. In 2020 we will be designing and testing climate-ready financial products and helping take them to market with our <a href="https://ib1.org/membership">Members</a>. We are connecting policy, strategy, risk management and investment to real-world data to:</p>



<p>· &nbsp; &nbsp; &nbsp; Enable climate-ready financial instruments</p>



<p>· &nbsp; &nbsp; &nbsp; Enable climate-aware risk management</p>



<p>· &nbsp; &nbsp; &nbsp; Enable climate-credible deployment of robust, long-term solutions</p>



<p><strong><em>B.</em></strong> &nbsp; &nbsp; <strong><em>Overall</em></strong></p>



<p><em>We want to ensure that we produce a forward-looking strategy that takes into account public opinion and delivers real change. These questions will help to inform future work that the government will take in this space. They will provide evidence for the government to target areas for intervention in future policy.</em></p>



<p><em>Please find a diagram below of the NDS pillars, missions and opportunities for reference.</em><br></p>



<p><strong><em>Q1.</em></strong><em> To what extent do you agree with the following statement: Taken as a whole, the missions and pillars of the National Data Strategy focus on the right priorities. Please explain your answer here, including any areas you think the government should explore in further depth.</em><br></p>



<p><strong>IB1 Response:&nbsp; </strong>Icebreaker One is somewhat in agreement that the missions and pillars of the National Data Strategy focus on the right priorities. Below are the areas which we think the government should explore in further depth:<br></p>



<ol><li><strong>Environment</strong> &#8211; Given the UK government’s stated commitment to tackling climate change, and in light of HM Treasury’s announcement, on 9th November 2020, of the intention to make position the UK at the forefront of green finance, and to mandate disclosures in line with the Taskforce on Climate-Related Financial Disclosures (TCFD) recommendations across the economy, we believe that there is a strong case for Environment and the Transition to a Net-Zero Economy to be added as an Opportunity for the NDS to address.&nbsp;</li></ol>



<ol><li><strong>Distributed data strategy</strong> &#8211; consistent, cost-effective mechanisms for sharing and accessing data are required, as a core component of any national data strategy. We therefore recommend that “Adoption of a consistent national distributed data strategy’ be added to the Missions of the NDS. This should encompass an agreed common approach to sharing data, whether business-to-business (B2B) or business-to-consumer (B2C).&nbsp; Furthermore, we believe that Open Banking and the Open Banking Implementation Entity (OBIE) model and infrastructure provide a template and springboard for developing cross-sector national data infrastructure.&nbsp;</li></ol>



<p><strong><em>Q2.</em></strong><em> We are interested in examples of how data was or should have been used to deliver public benefits during the coronavirus (COVID-19) pandemic, beyond its use directly in health and social care. Please give any examples that you can, including what, if anything, central government could do to build or develop them further.</em></p>



<p><em>For question two, we are only looking for examples outside health and social care data. Health and social care data will be covered in the upcoming Data Strategy for Health and Social Care.</em></p>



<p><strong>IB1 Response:&nbsp; </strong>Open Banking provides valuable examples that demonstrate how an effective data sharing ecosystem can respond to rapid market changes. The Fintech developer community &#8211; is characterised by agile working practices that continually test and learn as they meet customer needs. During the Covid-19 pandemic, this particular ecosystem proved to be highly collaborative and quickly developed a new tool to support self-employed people claiming financial relief from the government using transactional data to provide evidence of past earnings. <br></p>



<p>Good examples can be found through the Open Banking #powerofthenetwork page (<a href="https://www.openbanking.org.uk/insights/power-of-the-network/">https://www.openbanking.org.uk/insights/power-of-the-network/</a> ), as well as the clear pivot demonstrated by several of the participants in the Nesta Open Up 2020 Challenge: Explore the Apps — Open Up 2020 (<a href="https://openup2020.org/explore-the-open-banking-apps">https://openup2020.org/explore-the-open-banking-apps</a> ) which helped consumers to build financial resilience, plan for the future, address problem debt, improve their credit score or access short term credit at fair rates.&nbsp;</p>



<p>The key learning from this is that building new well functioning ecosystems that can respond to market needs quickly can provide very significant benefits, and generally respond much faster than incumbents. This, therefore, must be supported by forward-looking regulation and government policy decisions.&nbsp;</p>



<p><strong><em>Q3.</em></strong><em> If applicable, please provide any comments about the potential impact of the proposals outlined in this consultation may have on individuals with a </em><a href="https://www.equalityhumanrights.com/en/equality-act/protected-characteristics"><em>protected characteristic</em></a><em> under the Equality Act 2010?</em></p>



<p><strong>IB1 Response:&nbsp;</strong>There is a need to ensure that individuals with a protected characteristic under the Equality Act 2010 &#8211; but also including vulnerable consumers &#8211; are effectively protected, with consideration of aspects such as data ethics and unintended consequences from algorithms etc. The NDS creates an opportunity to enhance consumer protections across the board, and to close regulatory gaps associated with data and its applications.&nbsp;<br></p>



<p>The Open Banking Implementation Entity has taken a lead by including Customer Experience Guidelines, that includes a section on vulnerable customers (Customer Experience Principles | Open Banking Documentation &#8211; <a href="https://standards.openbanking.org.uk/customer-experience-guidelines/introduction/design-and-experience-principles/latest/">https://standards.openbanking.org.uk/customer-experience-guidelines/introduction/design-and-experience-principles/latest/</a> ) as well as Operational Guidelines for Third Party Providers which address data governance and ethics (Data Ethics – General | Open Banking Documentation &#8211; <a href="https://standards.openbanking.org.uk/tpp-operational-guidelines/data-ethics-gdpr/latest/">https://standards.openbanking.org.uk/tpp-operational-guidelines/data-ethics-gdpr/latest/</a> ) These are areas that should be consistently applied and included within the scope of cross-sector guidance through BEIS Smart Data Initiatives.</p>



<p><strong><em>Q4.</em></strong><em> We welcome any comments about the potential impact of the proposals outlined in this consultation on the UK across all areas, and any steps the government should take to ensure that they take account of regional inequalities and support the whole of the UK?</em></p>



<p><strong>IB1 Response:&nbsp;</strong></p>



<p>Government should encourage investment in data innovation and better data usage outside of London and the South-East, and should also build on existing opportunities and initiatives (for example, existing fintechs clusters in Manchester, Edinburgh etc.). This can be done through incentivisation towards investment in and development of data-driven businesses in the regions, and creation of regional clusters of data innovation.&nbsp;<br></p>



<p>There is also a need to look more holistically at the skills base required to support a more data-driven economy, particularly and more immediately with respect to Covid-19 economic recovery planning. Government should incentivise higher education institutions such as universities and colleges to create more academic courses around areas of technology and data innovation, including but not limited to data engineering, data standards, and artificial intelligence and machine learning techniques (AI / ML). Firms should also be incentivised to offer traineeships and apprenticeships in these areas, enabling the UK to grow these skills domestically. There is a need to focus on the wider skill sets required to support a thriving data-driven industry base &#8211; going beyond technology, to encompass the soft skills and creativity aspects required to drive innovation.&nbsp;&nbsp;&nbsp;<br></p>



<p>Initiatives such as the Global Open Finance Centre of Excellence (GOFCoE &#8211; <a href="https://ddi.ac.uk/case-studies/gofcoe/">https://ddi.ac.uk/case-studies/gofcoe/</a> ) provide a template and model for a holistic approach to skills and knowledge development and sharing, combining academic rigour and support with practical training and infrastructure in conjunction with industry, supported by government leaning in. We strongly encourage leverage of these models and replication in other regional contexts.&nbsp;</p>



<p><strong><em>C.</em></strong> &nbsp; &nbsp; <strong><em>Mission one: Unlocking the value of data across the economy</em></strong></p>



<p><em>Data is an incredibly valuable resource for businesses and other organisations, helping them to deliver better services and operations for their users and beneficiaries. However, there is increasing evidence to suggest that the full value of data is not being realised because vital information is not getting to where it needs to be.</em></p>



<p><em>Our first mission is to create an environment where data is appropriately usable, accessible and available across the economy – fuelling growth in organisations large and small. We will create a clearer policy framework to identify where greater data access and availability across and with the economy can and should support growth and innovation, in what form, and what government’s role should be, in the UK and globally.</em><strong><em>Data availability:</em></strong><em> For data to have the most effective impact, it needs to be appropriately accessible, mobile and re-usable. That means encouraging better coordination, access to and sharing of data of appropriate quality between organisations in the public sector, private sector and third sector, and ensuring appropriate protections for the flow of data internationally.</em></p>



<p><strong><em>Q5.</em></strong><em> Which sectors have the most to gain from better data availability? Please select all relevant options listed below, which are drawn from the </em><a href="https://onsdigital.github.io/dp-classification-tools/standard-industrial-classification/ONS_SIC_hierarchy_view.html"><em>Standardised Industry Classification (SIC)</em></a><em> codes.</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Accommodation and Food Service Activities</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Administrative and Support Service Activities</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Agriculture, Forestry and Fishing</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Arts, Entertainment and Recreation</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Central/Local Government inc. Defence</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Charity or Non Profit</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Construction</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Education</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Electricity, Gas, Steam and Air Conditioning Supply</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Financial and Insurance Activities</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Human Health and Social Work Activities</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Information and Communication</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Manufacturing</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Mining and Quarrying</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Transportation and Storage</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Water Supply; Sewerage, Waste Management and Remediation Activities</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Wholesale and Retail Trade; Repair Of Motor Vehicles and Motorcycles</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Professional, Scientific and Technical Activities</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Real Estate Activities</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Other</em></p>



<p><strong>IB1 Response:&nbsp;</strong>In the context of Icebreaker One’s work in developing the shared data infrastructure required to drive a transition towards green finance and a green economy, we identify the following sectors which we believe stand to gain significantly from better data availability &#8211; nevertheless acknowledging that other sectors may also benefit to an equally significant extent when viewed through this or other lenses. There are many opportunities that can be leveraged from better data availability in these sectors, and we have specifically highlighted those that arise in relation to climate change, understanding and management of climate-related risks, and the transition to a net-zero economy:<br></p>



<ul><li>Agriculture, Forestry and Fishing<ul><li>Data availability can support better understanding of the impacts of climate change at present and allow for better projection into the future.&nbsp;</li><li>Can also allow more granular assessment of the impacts of policy changes and new technologies on the sector.&nbsp;</li></ul></li><li>Construction<ul><li>Better data, particularly through enhanced use of sensors and other capabilities, can enable creation of feedback-driven systems and buildings.&nbsp;</li></ul></li><li>Electricity, Gas, Steam and Air Conditioning Supply<ul><li>Icebreaker One is currently working on Open Energy &#8211; a project to introduce shared data infrastructure, in the style of Open Banking, to the energy sector. This will enable better understanding of energy sources and consumption across the sector and enable development of new and innovative applications. See <a href="https://energydata.org.uk/">https://energydata.org.uk</a> for an overview of the Open Energy initiative and its benefits in opening up access to energy data.&nbsp;</li></ul></li><li>Financial and Insurance Activities<ul><li>Data availability is absolutely vital in order to assess the impact of climate change on firms, their activities and their asset and share prices, as well as in determining the climate-related risk associated with firms, which ultimately impacts factors such as creditworthiness and the cost and availability of capital finance and debt.&nbsp;</li><li>Data from all sectors is required in order for firms to develop better models of climate-related risk and understand its future impacts on the financial system and economies.</li><li>Data inputs from all sectors are required in order for firms to assess their own climate-related risk in line with TCFD and other recommendations &#8211; and soon-to-be regulatory requirements.&nbsp;</li></ul></li><li>Transportation and Storage<ul><li>Better data can help develop an understanding of the costs and impacts of transitioning to hydrogen and electric-powered vehicles.&nbsp;</li></ul></li><li>Water Supply<ul><li>Data will help build a better understanding of water availability and quality.&nbsp; </li></ul></li></ul>



<p><strong><em>Q6.</em><em> What role do you think central government should have in enabling better availability of data across the wider economy?</em></strong></p>



<p><strong>IB1 Response:&nbsp;</strong>Central government has a number of tools at its disposal to facilitate cross sectoral data sharing and sensible re-use of public sector data, be that via the creation of bodies to act as intermediaries in data sharing and assess requests for data access, or via the introduction of legislation which builds trust in the private sector for the sharing of industry or business data to reach common goals or for the greater good. It is key that the government uses these tools to ensure that data is shared appropriately and that interests in the data (whether that is personal data rights or ownership of intellectual property rights) are protected so that both individuals and businesses are incentivised to share quality data. With Brexit in mind, it is also key to ensure that the UK retains access to European data sources and the common EU data space so that the UK does not fall behind.<br></p>



<p>We highlight the following as specific recommended actions that could be taken by central government in promoting and enabling better availability of data across the wider economy:<br></p>



<ul><li>Creation of appropriate and well-funded central and sector-specific regulation, with clear oversight and supervision through leveraging existing regulatory bodies, or via the establishment of new regulatory bodies where appropriate.&nbsp;<ul><li>For example, cross-sector issues such as consent, digital identity and authentication, liability and redress etc should be looked after by a central regulatory body (either the CDEI or a new entity), whilst Ofgem, Ofcom, FCA etc. regulate for their specific sectors, managing regulatory authorisations and undertaking supervisory and enforcement activities.&nbsp;&nbsp;</li></ul></li></ul>



<ul><li>Creation of a dedicated data standards and implementation body – building on the OBIE model – that has the ability to develop both cross-sector standards (e.g. for consent) and sector-specific standards (e.g. for sharing of transportation data, or agricultural data).</li></ul>



<ul><li>Adoption of a distributed data strategy with appropriate governance, again building on the Open banking / OBIE model (which Icebreaker One is leveraging in developing the Open Energy initiative).&nbsp;</li></ul>



<ul><li>Ensuring that these regulatory, standards and governance bodies are adequately funded to drive successful outcomes, and have the necessary legislative mandate to operate effectively.<ul><li>At present, the ICO appears to be under-resourced and under-funded when one considers the pace of change and rapid move towards a more data-driven economy. Strong regulatory strategy and oversight is required, with appropriate levels of supervision and powers of enforcement. In this context, we see the Financial Conduct Authority (FCA) as representing a more appropriate example for such an agency to be modelled upon. </li></ul></li></ul>



<p><strong><em>Q6a.</em></strong><em> How should this role vary across sectors and applications?</em></p>



<p><strong>IB1 Response:&nbsp;</strong>Government should take a more interventionist role in sectors where there is a key public interest. For example, where there is a key public benefit,&nbsp; such as reaching the 2050 Net Zero target, Government may need to take more action in order to facilitate private sector data sharing or to make relevant public sector data available for re-use in order to reach the target (either by increasing requirements to share relevant data or to facilitate access requests). There are also some sectors in which data use and access should be more highly regulated, for example, where sensitive health data is involved.</p>



<p><strong><em>Data foundations:</em></strong><em> The true value of data can only be fully realised when it is fit for purpose, recorded in standardised formats on modern, future-proof systems and held in a condition that means it is findable, accessible, interoperable and reusable. By improving the quality of the data we are using, we can use it more effectively, and drive better insights and outcomes from its use.</em></p>



<p><strong><em>Q7.</em></strong><em> To what extent do you agree with the following statement: The government has a role in supporting data foundations in the wider economy. Please explain your answer. If applicable, please indicate what you think the government’s enhanced role should be.</em></p>



<p><strong>IB1 Response:&nbsp;</strong>We strongly agree with this statement.&nbsp;</p>



<p>We are also strongly in agreement with the NDS’ assertion that “<em>The true value of data can only be fully realised when it is fit for purpose, recorded in standardised formats on modern, future-proof systems and held in a condition that means it is findable, accessible, interoperable and reusable. By improving the quality of the data we are using, we can use it more effectively, and drive better insights and outcomes from its use.</em>” In this context, the UK Government clearly has a role to play in supporting data foundations in the wider economy, through supporting and promoting:<br></p>



<ul><li>Development and adoption of data standards, preferably through existing standards-setting bodies, but where these do not exist, through incentivisation and support for creation of standards-setting bodies.&nbsp;</li></ul>



<ul><li>Digitisation of data &#8211; storage of data in (preferably digital-native) formats that are both machine and human-readable, searchable, retrievable and electronically accessible.</li></ul>



<ul><li>Shared data infrastructure &#8211; enabling data to be held and updated at source, but shared on an open and accessible basis, rather than creating centralised, privately or publicly held databases. In this context we are great supporters, again, of Open Banking and the OBIE as a model.&nbsp;</li></ul>



<ul><li>Trust &#8211; trust is at the core of a successful national data strategy and in building out the data-driven digital economy of the future. Government and regulatory oversight with clear objectives is required in order to support this trust. We have closely followed the work undertaken by the Smart Data Working Group (SDWG) around areas such as consent, liability, authentication and participant authorisation, which, taken together, are at the heart of creating trust in a data economy. We are strongly supportive of the SDWG’s ongoing work in this area.</li><li></li></ul>



<p><strong><em>Q8.</em></strong><em> What could central government do beyond existing schemes to tackle the particular barriers that small and medium-sized enterprises (SMEs) face in using data effectively?</em></p>



<p><strong>IB1 Response:&nbsp;</strong>We would advocate for greater consistency of standards across sectors, so that SMEs are consistently using a familiar approach when dealing with and accessing service providers, be they banks, HMRC, energy providers or other entities. In this respect, we adopt a broad definition of the term “standards”, considering not only data specifications but also guidance around customer experience (with the SMEs being, in this context, the “customers”) and access to portals and infrastructure, which should be designed for familiarity and consistency across sectors. There is also a need to examine the shared services and infrastructure that underpin cross-sectoral and cross-functional multi-entity data access; for example, single sign-on mechanisms, and digital identities and identity management for SMEs, across platforms and sectors.&nbsp;<br></p>



<p>In terms of the benefits to SMEs that can accrue from adoption of a shared data infrastructure, based on Open Banking principles, we are also heartened by Andy Haldane’s speech on 18th November (<a href="https://www.bankofengland.co.uk/-/media/boe/files/speech/2020/seizing-the-opportunities-from-digital-finance-speech-by-andy-haldane.pdf?la=en&amp;hash=508F4972D17DE5A6DE3E0A1439A284BE904AC1C5">https://www.bankofengland.co.uk/-/media/boe/files/speech/2020/seizing-the-opportunities-from-digital-finance-speech-by-andy-haldane.pdf?la=en&amp;hash=508F4972D17DE5A6DE3E0A1439A284BE904AC1C5</a>). In this speech, the Bank of England’s Chief Economist stated that <em>“Breaking down those well-entrenched barriers calls for a new infrastructure, one which expands the scale and scope of Open Banking – an Open Data platform for SMEs. The Bank set out some ideas on the design of such an open platform for SMEs earlier this year. This would provide a standardised means of permissioned sharing of data about businesses. In addition to data held by banks, this could include data from insurance and utilities companies, credit rating and social media data companies, and Government sources such as the Passport Office, DVLA, HMRC and Companies House.</em><br></p>



<p><em>The platform would run as a decentralised network of data providers using a standardised set of APIs. There would be no central data repository, physical credit file or central infrastructure. Instead, like the internet, the platform would be built around standard protocols that would enable interoperability between decentralised data providers and data users, with businesses having control of this process.At a practical level this would mean an SME could, at the touch of a button, permission an API call to a handful of data providers to instantly share specified data fields with a third-party, such as a lender. The data transfer would be close to real time and encrypted end-to-end. This would greatly expand the dataset, and shorten the application process, for SME loans.</em>”</p>



<p><em><strong>The </strong></em><a href="https://www.gov.uk/government/consultations/smart-data-putting-consumers-in-control-of-their-data-and-enabling-innovation"><em><strong>Smart Data Review</strong></em></a><em><strong> in 2019 consulted on ways to make evolving schemes more coordinated across banking, finance, telecoms and energy. The focus of Smart Data is citizens asking their providers to share information about them with third parties.</strong></em></p>



<p><strong><em>Q9.</em></strong><em> Beyond existing Smart Data plans, what, if any, further work do you think should be done to ensure that consumers’ data is put to work for them?</em><br></p>



<p><strong>IB1 Response:&nbsp;</strong>Icebreaker One believes that there is significant scope for putting consumers’ data to work for their benefit. Consumer data can be used to gain a better understanding of, and to develop plans for addressing, a number of major societal challenges such as financial exclusion, digital exclusion, fuel poverty and others. We would advocate for the incentivisation of innovation in these areas through such measures as creation of funded (e.g. via UKRI) challenges and competitions, better R&amp;D tax breaks for initiatives aimed at addressing such issues, and encouraging co-operation and partnerships between industry and charity sectors. At the same time, we would also advocate for greater transparency for consumers as to how their data is being used.  </p>



<p><strong><em>D.</em></strong>&nbsp; &nbsp; <strong><em>Mission two: Maintaining a pro-growth and trusted data regime</em></strong></p>



<p><em>Building on our status as a world leader in technological innovation and our robust data protection standards, we will maintain a data regime that supports the future objectives of the UK outside of the EU and promotes growth and innovation while maintaining public trust. This regime will not be overly burdensome for the average company, nor will it be unnecessarily complex or vague; it will help innovators and entrepreneurs use data legitimately to build and expand their businesses, without undue regulatory uncertainty or risk at both the domestic and international levels.</em></p>



<p><em>To encourage the widespread uptake of digital technologies, we will also work with regulators to provide advice and support to small- and medium-sized businesses to help them expand online, and develop sector specific guidance and co-regulatory tools to accelerate digitisation across the UK economy.</em></p>



<p><strong><em>Q10.</em></strong><em> How can the UK’s data protection framework remain fit for purpose in an increasingly digital and data driven age?</em></p>



<p><strong>IB1 Response:&nbsp;</strong>Problems that are shared across jurisdictions, such as Covid-19, require sharing and pooling of data resources across jurisdictions in order to identify common solutions. We agree that, in light of Brexit, the UK must seek to maintain access and interoperability with other data sharing regimes globally, particularly in light of the various data localisation rules that are emerging around the world.&nbsp;<br></p>



<p>With respect to personal data, the UK will need to keep on top of developments in new uses for personal information as well as new tools and technologies used to process it in order to ensure that individuals remain protected and are provided with a degree of control and incentivisation to share their data. We would encourage and support the push at governmental level toward the regulation of non-personal data sharing, such that businesses may feel more comfortable sharing data which they had previously treated as confidential and proprietary for other uses, including both commercial and altruistic purposes. Only by doing this can we ensure that the UK market benefits from access to large datasets of a good quality to enable growth in the UK economy and to stay aligned with our peers on the global stage.</p>



<p>Through Icebreaker One’s sister organisation, Dgen, we authored two reports on Consent and Liability. Our core recommendation is that the government should develop additional consumer protections and enhanced rights for consumers through a Smart Data Right and a Smart Data Consumer Agreement. This will be essential in ensuring regulatory consistency for consent and liability, and their management, in smart data initiatives across sectors. The link to these reports is here: <a href="https://www.gov.uk/government/publications/smart-data-research-on-consent-liability-and-authentication">https://www.gov.uk/government/publications/smart-data-research-on-consent-liability-and-authentication</a></p>



<p><em>In section 7.1.2 we lay out the functions of the Centre for Data Ethics and Innovation (CDEI), set up in 2018 to advise the Government on the use of data-driven technologies and AI.</em></p>



<p><strong><em>Q11.</em></strong><em> To what extent do you agree with the functions set out for the Centre for Data Ethics and Innovation (CDEI) &#8211; AI monitoring, partnership working and piloting and testing potential interventions in the tech landscape? Please explain your answer.</em></p>



<p><strong>IB1 Response:&nbsp;</strong>Icebreaker One strongly agrees with the functions set out for the Centre for Data Ethics and Innovation (CDEI), including AI monitoring, partnership working and piloting and testing potential interventions in the tech landscape. We are strong advocates for the adoption of&nbsp; data ethics principles on a more widespread basis, particularly with respect to the emerging and more widespread use of AI / ML techniques in combination with the opportunities afforded by Big Data. We would strongly recommend development and adoption of a set of UK AI Ethics guidelines, along the lines of the EU AI Ethics Guidelines ( <a href="https://ec.europa.eu/digital-single-market/en/news/ethics-guidelines-trustworthy-ai">https://ec.europa.eu/digital-single-market/en/news/ethics-guidelines-trustworthy-ai</a> ).&nbsp;<br></p>



<p>Specific areas for consideration with respect to an AI Ethics framework include, for a given proposed application of AI: what are the benefits of the application? What are the potential risks and detriments? How does it work &#8211; can it be explained? Is its application and implementation just and fair, and how are disputes handled?&nbsp;<br></p>



<p>We are also supportive of the ODI’s proposal (<a href="http://theodi.org/wp-content/uploads/2020/11/Getting-data-rightperspectives-on-the-UK-National-Data-Strategy-2020.pdf">http://theodi.org/wp-content/uploads/2020/11/Getting-data-rightperspectives-on-the-UK-National-Data-Strategy-2020.pdf</a>)&nbsp; to develop a professional framework for data scientists, with shared codes of practice and accreditation, as this will go some way as well to embedding ethical principles at the core of data science as an emergent field.</p>



<p><strong><em>Q11a.</em></strong><em> How would a change to statutory status support the CDEI to deliver its remit?</em></p>



<p><strong>IB1 Response:&nbsp;</strong>We believe that a change to the CDEI’s statutory status &#8211; for example, by giving it the status of a regulator with the ability to supervise and enforce regulations implemented with respect to data ethics &#8211; would be a welcome indication of the UK Government’s commitment to the development of an ethical base on which to build its foundations for a national data strategy. We would strongly advocate for the creation of a regulatory framework aimed at ethical governance of data and the firms that process them. This should, for example, encompass responsibilities on boards and directors to ensure that businesses are operating ethically. Additionally, if there is a role to be played by the CDEI in providing oversight of such firms, to hold them to account and to have enforcement capabilities, then it ought to have some registration requirements for organisations that are processing data, in order to ensure that they are not acting unethically, either consciously or unconsciously.&nbsp; <br></p>



<p>It has been noted from work in Open Banking that unconscious bias can be introduced through algorithms that have not been fully tested. Testing for and elimination of such bias should be a prerequisite before market launch, particularly where financial or other sensitive data is being used. For example, sandbox testing of algorithms using sensitive data or having applications that might have outcomes affecting the rights of individuals (such as facial recognition algorithms) should be mandatory prior to the live usage of these algorithms, and standard facilities for such testing be made available to the development community, which does not currently have easy access to such facilities. This is particularly true of smaller developers operating within very tight budget constraints. This could be provided through organisations such as the Global Open Finance Centre of Excellence (GOFCoE) or similar establishments.&nbsp; </p>



<p><strong><em>E.</em></strong> &nbsp; &nbsp; <strong><em>Mission three: Transforming government’s use of data to drive efficiency and improve public services</em></strong><br></p>



<p><em>There is massive untapped potential in the way the government uses data. We will implement major and radical changes in the way that the government uses data to drive innovation and productivity across the UK. In doing so, we will improve the delivery of public services, as well as our ability to measure the impact of policies and programmes, and to ensure resources are used effectively.</em></p>



<p><em>To succeed, we need a whole-government approach led by a Government Chief Data Officer from the centre in strong partnership with organisations. We need to transform the way data is collected, managed, used and shared across government, including with the wider public sector, and create joined-up and interoperable data infrastructure. We need the right skills and leadership to understand and unlock the potential of data – and we need to do so in a way that both incentivises organisations to do the right thing, as well as build in the right controls to drive standardisation, consistency and appropriate data use.</em></p>



<p><em>The government is going to set an ambitious package of work in this space and wants to understand where we can have the biggest impact.</em></p>



<p><strong><em>Q12.</em></strong><em> We have identified five broad areas of work as part of our mission for enabling better use of data across government:</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Quality, availability and access</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Standards and assurance</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Capability, leadership and culture</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Accountability and productivity</em></p>



<p>· &nbsp; &nbsp; &nbsp; <em>Ethics and public trust</em></p>



<p><em>We want to hear your views on any actions you think will have the biggest impact for transforming government’s use of data.</em></p>



<p><strong>IB1 Response:&nbsp;</strong>We are supportive of the Government’s plans to take a whole-government approach to improving the use of data for innovation, service delivery and decision-making. In developing a data infrastructure that is fit for purpose for Government’s needs, it is essential that the process is led by real-life use cases, in order to avoid the pitfalls of developing infrastructure for theoretical use cases that do not reflect real-life usage of data. We would therefore recommend that the Government undertake a comprehensive analysis of its needs and identify the core use cases that apply, prior to embarking on the design and development of such data infrastructure. This is essential in order to ensure that the data sharing solution both meets the requirements of the users, but also is designed in a way that allows easy use of the data regardless of the technical capability of the user.&nbsp;<br></p>



<p>We strongly recommend a trust framework, enabling participant management and data access control, as the basis for an effective data sharing solution. It is essential to enable users to find and access the data they require, and to enable a service layer to develop within this trusted environment. The core components for this are:</p>



<ul><li>Knowledge Graph &#8211; This allows users to search for datasets according to parameters that they set. It works by crawling metadata and understands the meaning and relationships between data sets, so that users can understand the full spectrum of information available to them.</li><li>Decentralised architecture &#8211; The architecture should have only the minimum required centralised components, removing a single point of failure and allowing rapid and low-cost system evolution. This approach has the major benefit that the data is maintained only by the relevant departmental holder, so requires no additional curation and is always up to date.</li><li>Directory &#8211; This is the critical enabler for the decentralised architecture as it provides a secure, trusted environment with strong governance. It enables data providers to verify the identity of the party requesting the data, ensuring that access control for authorised users can be effectively managed. It is used to signpost the API endpoints for data, and enables granular control over the specific data that is being accessed.&nbsp;</li><li>Standards &#8211; Once adopted a standardised approach reduces the effort, time and cost of integration. A metadata standard enables better data search and discovery used in a Knowledge Graph approach.&nbsp;</li></ul>



<p>We believe that adopting this approach will ensure security, access control, scalability, flexibility to meet government needs as they develop. &nbsp;<br></p>



<p>We would also advocate for the creation of a separate vehicle that can sit between data regulators and industry, with a focus on unlocking leadership, capability and a culture of responsible and innovative data usage whilst also facilitating an effective feedback loop between regulators and industry, given the emergent nature of much innovation in this space.</p>



<p><strong><em>Q13.</em></strong><em> The Data Standards Authority is working with a range of public sector and external organisations to create a pipeline of data standards and standard practices that should be adopted. We welcome your views on standards that should be prioritised, building on the standards which have already been recommended.</em></p>



<p><strong>IB1 Response:&nbsp;</strong>We believe that the development of Open Standards is of paramount importance and represents the foundation of data infrastructure in the UK. Icebreaker One’s founders were also involved in developing the Open Banking Standard, and the organisation is now building an Open Energy Standard based on the same principles.&nbsp; <br></p>



<p>Such development must be done collaboratively, with broad stakeholder engagement. They must encompass, at a minimum and based on user needs, frameworks for licensing, operations, policy and technology. </p>



<p><strong><em>F.</em></strong> &nbsp; &nbsp; <strong><em>Mission four: Ensuring the security and resilience of the infrastructure on which data relies</em></strong></p>



<p><em>In the UK, the government already imposes safeguards and enforcement regimes to ensure that our data is handled responsibly. But we will also take a greater responsibility for ensuring that data is sufficiently protected when in transit, or when stored in external data centres.</em></p>



<p><em>The government will determine the scale and nature of risks and the appropriate response, accounting for emerging trends in the market landscape. We will also determine whether current arrangements for managing data security risks are sufficient to protect the UK from threats that counter our missions for data to be a force for good. And we will consider the sustainability of data use, exploring inefficiencies in stored and processed data, and other carbon-inefficient processes.</em></p>



<p><em>The infrastructure on which data relies is the virtual or physical data infrastructure, systems and services that store, process and transfer data . This includes data centres (that provide the physical space to store data), peering and transit infrastructure (that enable the exchange of data), and cloud computing that provides virtualised computing resources (for example servers, software, databases, data analytics) that are accessed remotely.</em></p>



<p><strong><em>Q14.</em></strong><em> What responsibilities and requirements should be placed on virtual or physical data infrastructure service providers to provide data security, continuity and resilience of service supply?</em></p>



<p><strong>IB1 Response:&nbsp;</strong>No response.</p>



<p><strong><em>Q14a.</em></strong><em> How do clients assess the robustness of security protocols when choosing data infrastructure services? How do they ensure that providers are keeping up with those protocols during their contract?</em></p>



<p><strong>IB1 Response:&nbsp;</strong>No response.</p>



<p><strong><em>Q15.</em></strong><em> Demand for external data storage and processing services is growing. In order to maintain high standards of security and resilience for the infrastructure on which data use relies, what should be the respective roles of government, data service providers, their supply chain and their clients?</em></p>



<p><strong>IB1 Response:&nbsp;</strong>No response.<br></p>



<p><strong><em>Q16.</em></strong><em> What are the most important risk factors in managing the security and resilience of the infrastructure on which data use relies? For example, the physical security of sites, the geographic location where data is stored, the diversity and actors in the market and supply chains, or other factors.</em></p>



<p><strong>IB1 Response:&nbsp;</strong>No response.<br></p>



<p><strong><em>Q17.</em></strong><em> Do you agree that the government should play a greater role in ensuring that data does not negatively contribute to carbon usage? Please explain your answer. If applicable, please indicate how the government can effectively ensure that data does not negatively contribute to carbon usage.</em></p>



<p><strong>IB1 Response:&nbsp;</strong>The Government should make all endeavours to ensure that new data infrastructure and standards around data storage and use are designed with the Net-Zero Target in mind, and, where possible, encourage and motivate industry participants and businesses to make net zero-enabling choices in their selection of data storage and processing solutions and outsourcing providers. There is also scope for Government to go a step further with respect to its own data storage, usage and infrastructure &#8211; to ensure that all future procurement decisions have a net-zero requirement to fulfil.&nbsp; </p>



<p><strong><em>G.</em></strong> &nbsp; &nbsp; <strong><em>Mission five: Championing the international flow of data</em></strong></p>



<p><em>In our hyper-connected world, the ability to exchange data securely across borders is essential.</em></p>



<p><em>As the UK leaves the EU, we have the opportunity to develop a new UK capability that delivers new and innovative mechanisms for international data transfers.</em></p>



<p><em>Using our reputation as a world leader in digital, a champion of free trade and the rules-based international system, and an engaged, rule-abiding member of the global community, we will build trust in data’s use, creating the regimes, approaches and tools to ensure personal data is appropriately safeguarded as it moves across borders. We will also facilitate cross-border data flows by removing unnecessary barriers to international data transfers that promote growth and innovation. And we will seek to promote data standards, data interoperability, and UK values internationally.</em></p>



<p><strong><em>Q18.</em></strong><em> How can the UK improve on current international transfer mechanisms, while ensuring that the personal data of UK citizens is appropriately safeguarded?</em></p>



<p><strong>IB1 Response:&nbsp;</strong>Increasing numbers of international governments are putting in place localisation measures; measures which either mandate data to be kept locally or measures which impose conditions on the cross-borders transfer of data.&nbsp; There is an urgent need for the Government to work with other governments and international institutions to seek to reverse these trends and to foster trust in the sharing of data across borders.&nbsp; We repeat that problems that are shared across jurisdictions, such as Covid-19, require sharing and pooling of data resources across jurisdictions in order to identify common solutions.&nbsp;</p>



<p>Many of the ideas we have noted above aimed at encouraging the increased flow of data would be applicable to data sharing across borders. Additional safeguards may be necessary to ensure intellectual property rights are protected in accordance with international agreements and national security is maintained. In addition, uniform licensing frameworks should be designed and adopted.</p>



<p>As a first step, however, we urge the Government to ensure EU &#8216;data adequacy&#8217; to maintain free flow of personal data from the EEA. The UK should also engage with the EU in relation to its recent proposals for the sharing and re-use of non-personal data, ensuring access for UK businesses and institutions to the resources that foster innovation and enable digital services. For information see <a href="http://europeanmemoranda.cabinetoffice.gov.uk/files/2020/11/ST_13351_2020_INIT_en.pdf">http://europeanmemoranda.cabinetoffice.gov.uk/files/2020/11/ST_13351_2020_INIT_en.pdf</a></p>



<p><em>We will seek EU ‘data adequacy’ to maintain the free flow of personal data from the EEA and we will pursue UK ‘data adequacy’ with global partners to promote the free flow of data to and from the UK and ensure it will be properly protected.</em></p>



<p><strong><em>Q19.</em></strong><em> What are your views on future UK data adequacy arrangements (e.g. which countries are priorities) and how can the UK work with stakeholders to ensure the best possible outcome for the UK?</em></p>



<p><strong>IB1 Response:&nbsp;</strong>We are aware, anecdotally, of informal conversations between various data initiatives in the UK and other jurisdictions, such as Australia and New Zealand, around some of the issues raised around post-Brexit data adequacy, continuation of data access and accessibility / interoperability of data. These conversations cover topics such as the development of data consent mechanisms, which are crucial for data sharing and interoperability in a cross-border context. There is a need for these types of conversations to take place via more formal, Government-sponsored channels, if we are to truly collaborate with international partners in development of more robust common frameworks and open up opportunities for businesses, fintechs, and technology providers.&nbsp;<br></p>



<p>There is also a need, when considering post-Brexit trade agreements, to understand the full impact of their provisions on the UK’s data security and on data sharing, and the challenges for data adequacy and consent. For example, concerns exist that the recent UK-Japan free trade agreement (FTA) could create a back door for UK data to flow to third countries via Japan.&nbsp;</p>



<p>In this respect, we are in agreement with the ODI’s view that <em>“Furthermore, on the future of adequacy regime after Brexit, injecting free data flows in trade law is a questionable way forward, because this tends to crowd out other efforts around multi stakeholder governance that aspire towards a more rights-preserving and inclusive approach to safeguarding human rights. Instead, a more viable strategy would be, as mentioned above, to create a digital rights scaffolding, together with liberalising cross-border data flows while respecting data protection.” </em>(<a href="http://theodi.org/wp-content/uploads/2020/11/Getting-data-rightperspectives-on-the-UK-National-Data-Strategy-2020.pdf">http://theodi.org/wp-content/uploads/2020/11/Getting-data-rightperspectives-on-the-UK-National-Data-Strategy-2020.pdf</a> , p29)</p>



<p></p>



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