New and richer flows of data from organizations in the public space could enrich democracy and might improve effectiveness and efficiency. More public knowledge (one definition of "transparency") could stimulate debate about services and money, increase vigilance and arm scrutineers. But more and better data will not in and of itself bring more accountability or improve services. We must not reduce volume of information with better decision making. Data must become information: it must be grasped and absorbed. Information has then to be applied. Accountability and public satisfaction could move together in a virtuous circle, provided the public understands the data proffered; provided those releasing the data themselves understand it and its potential; provided its quality and accuracy are guaranteed.
Open Data prompts questions about public capacity. The government's response to proposed changes in the school curriculum allowing many more young people aged over 16 to continue studying mathematics and stats shows the government itself accepts the public need to be better equipped. Open Data abuts the contention that those leaving education have to be better prepared to deal with data and numbers, for their own sake as employees as well as in their lives as citizens and family builders (dealing with energy tariffs, insurance, pensions and broadband offers). Open Data links with moves to improve the quantitative skills of university graduates.
As important as the volume of data are presentation and "visualization", the discipline of making data more intelligible. In the jargon this means paying attention to metadata and data polishing. It puts emphasis on intermediaries to help the public make sense of data. Statisticians and academics are fond of the term "metadata". This directs attention to the explanatory material that ought to accompany data release. Another missing term is narrative. What the public want is data to tell a story about the performance of schools, crime in their area and so on. Open Data needs to look at who writes and who puts out these stories. Another key term is visualization – covering the many ways in which data, especially quantitative data, can be projected, for example exploiting the graphical resources of the web.
Data release should anticipate the sense the public will make of what is presented and how they might use data. Each department and agency should subject itself to a "data challenge": is the information intelligible? Translating data into information that is fit for public consumption requires good analysis and interpretation, which is lacking in many councils. The question does not capture the dynamism and spirit of opportunity and innovation that ought to accompany data release.
Source: https://ebookschoice.com/an-enhanced-right-to-open-data/
We Consider Open Data To Be Part Of A Broader Trendnoblex1
We consider open data to be part of a broader trend towards “open government” where open data combines with social media, mobile technology and other feedback mechanisms to transform the relationship governments have with citizens, delivering better, more relevant public services (which we could broadly term “citizen-centric” open data). Open data also has the power to improve individuals’ lives through private or third sector innovation on the back of publicly-available data sets, resulting in valuable services and economic growth (which we could term “consumer-centric” open data).
Source: https://ebookschoice.com/we-consider-open-data-to-be-part-of-a-broader-trend/
The DATA Act: A Revolution in Federal Government TransparencyOmar Toor
On May 9, 2014, the Digital Accountability and Transparency Act (DATA Act), was signed into law. The Act, drawing some lessons from both the Federal Funding Accountability and Transparency Act of 2006 (FFATA) and the American Recovery and Reinvestment Act of 2009 (ARRA), is the nation’s first legislative mandate for data transparency. It requires the Department of the Treasury (Treasury) and the White House Office of Management and Budget (OMB) to transform U.S. federal spending from disconnected documents into open, standardized data, and to publish that data online.
www.pwc.com/publicsector
My presentation to "Transparency Camp 09", about how to go beyond transparency to an integrated strategy based on "democratizing data" (structuring and syndicating it and providing social media analysis tools to share it). This integrated strategy will provide transparency, give workers the real-time information they need, reform government regulation, cut corporate paperwork, and crowdsource innovation. It may, or may not, cure the common cold under certain conditions.
Disclosure of information about government actions and spending puts government and public officials under the constant watch of the public, allowing them to track what resources are spent, who contracts are awarded to and so on.
When designing proactive disclosure systems or voluntary disclosure has five principles governments should follow. Information needs to be: available, findable, comprehensible, low cost or free, up-to-date and relevant.
As Governments world over embrace Digital- First strategies, we at Intense Technologies help transform citizen services by innovatively connecting processes and people while empowering #departments for #digitalization. Read the article to know more. #government #govt #digitaltransformation #technology #customerexperience #informationtechnology #customersatisfaction #citizens #citizenexperience #citizenengagement #analytics #data #datascience #ai #iot #artificialintelligence #technology #publicsector #publicservices
We Consider Open Data To Be Part Of A Broader Trendnoblex1
We consider open data to be part of a broader trend towards “open government” where open data combines with social media, mobile technology and other feedback mechanisms to transform the relationship governments have with citizens, delivering better, more relevant public services (which we could broadly term “citizen-centric” open data). Open data also has the power to improve individuals’ lives through private or third sector innovation on the back of publicly-available data sets, resulting in valuable services and economic growth (which we could term “consumer-centric” open data).
Source: https://ebookschoice.com/we-consider-open-data-to-be-part-of-a-broader-trend/
The DATA Act: A Revolution in Federal Government TransparencyOmar Toor
On May 9, 2014, the Digital Accountability and Transparency Act (DATA Act), was signed into law. The Act, drawing some lessons from both the Federal Funding Accountability and Transparency Act of 2006 (FFATA) and the American Recovery and Reinvestment Act of 2009 (ARRA), is the nation’s first legislative mandate for data transparency. It requires the Department of the Treasury (Treasury) and the White House Office of Management and Budget (OMB) to transform U.S. federal spending from disconnected documents into open, standardized data, and to publish that data online.
www.pwc.com/publicsector
My presentation to "Transparency Camp 09", about how to go beyond transparency to an integrated strategy based on "democratizing data" (structuring and syndicating it and providing social media analysis tools to share it). This integrated strategy will provide transparency, give workers the real-time information they need, reform government regulation, cut corporate paperwork, and crowdsource innovation. It may, or may not, cure the common cold under certain conditions.
Disclosure of information about government actions and spending puts government and public officials under the constant watch of the public, allowing them to track what resources are spent, who contracts are awarded to and so on.
When designing proactive disclosure systems or voluntary disclosure has five principles governments should follow. Information needs to be: available, findable, comprehensible, low cost or free, up-to-date and relevant.
As Governments world over embrace Digital- First strategies, we at Intense Technologies help transform citizen services by innovatively connecting processes and people while empowering #departments for #digitalization. Read the article to know more. #government #govt #digitaltransformation #technology #customerexperience #informationtechnology #customersatisfaction #citizens #citizenexperience #citizenengagement #analytics #data #datascience #ai #iot #artificialintelligence #technology #publicsector #publicservices
PRIVACY Does informations availability justify its useGovernme.pdfkennithdase
PRIVACY: Does information\'s availability justify its use?
Governments collect massive amounts of data on individuals and organizations and use it for a
variety of purposes: national security, accurate tax collection, demographics, international
geopolitical strategic analysis, etc. Corporations do the same for commercial reasons; to increase
business, control expense, enhance profitability, gain market share, etc. Technological advances
in both hardware and software have significantly changed the scope of what can be amassed and
processed. Massive quantities of data, measured in petabytes and beyond, can be centrally stored
and retrieved effortlessly and quickly. Seemingly disparate sources of data can be cross-
referenced to glean new meanings when one set of data is viewed within the context of another.
In the 1930s and 1940s the volumes of data available were miniscule by comparison and the
\"processing\" of that data was entirely manual. Had even a small portion of today\'s capabilities
existed, the world as we now know it would probably be quite different.
Should organizations\' ability to collect and process data on exponentially increasing scales be
limited in any way? Does the fact that information can be architected for a particular purpose
mean it should be, even if by so doing individual privacy rights are potentially violated? If data
meant for one use is diverted to another process which is socially redeeming and would result in
a greater good or could result in a financial gain, does that mitigate the ethical dilemma, no
matter how innocent and pure the motivation?
Solution
Yes the organiztion ability to acces personal information of the citizens must be restricetd to
national security and government approved national interest programs. Any use outside the field
of national security and threat must only be allowed after written permission of the vulnerable
party, otherwise the information must strictly be denied, be it any purpose.
No barely because the information is vailable does not mean that it should be. Rather the
authorities should assign individuals of high repute to monitor the potential violation of the
private information use.
The information if used for social welfare must only be used after taking written permission from
the vulnerable party that they allow such use after being satisfied that the program is in the
interest of the welfare of the nation and society as a whole. No matter how pure the motivation
the permission should be made compulsary even if the refusal causes financial loss..
Rebooting Public Service Delivery: How can open government data help to drive...OECD Governance
Study outlining how OECD countries are dealing with the challenges of Open Government Data with a special chapter on the policy context of OGD in the United Arab Emirates. For more information see http://www.oecd.org/gov/rebooting-public-service-delivery.htm
Rubrix is a biannual newsletter with brief analytical pieces which covers recent national policies and other emerging issues affecting the Malay/Muslim community in Singapore.
Highlights:
1. The Social Sector and its Data Imperative
2. Design Thinking for the Social Good
3. Beyond Academics: Fostering 21st Century Competencies in Young Children
4. The Importance of Critical Thinking in Future Proofing our Early Learners
5. Dawn of the Smart Nation
6. Post-Budget Policy Forum: Stronger Together, Forging Ahead
On a few hours notice, due to another presenter's "volcano-cancelled" flight, I was asked to fill an empty slot at the Norwegian GoOpen 2010 conference. On the background of the freshly proposed data.norge.no site, I decided to present a high level motivation for open data and linked open data in context of government, briefly compare and contrast its predecessors, data.gov and data.gov.uk, and suggest a possible middle ground between "anything goes" and "one format only" (in Norwegian).
Deling av data: ”Tenke det, ønske det, ville det med, men gjøre det...?”Stian Danenbarger
Presentation on sharing of open data held for the Norwegian government's "Forum for Large Public Web Sites", early in June 2009, soon after Data.gov went live. The talk was in Norwegian, but the PPT actually contains more English than Norwegian text...
We’re entering a new era of digital government that could transform how citizens feel about their state. Here’s what research needs to do, to make it happen.
Trust and Public Policy: How Better Governance Can Help Rebuild Public Trust ...OECD Governance
Highlights brochure from the OECD publication "Trust and Public Policy: How Better Governance Can Help Rebuild Public Trust", which examines the influence of trust in policy making and explores the steps governments can take to strengthen public trust. oe.cd/trust-and-public-policy
Will Price Transparency Help Patients Find Lower Cost Care Mary Tolan
At the close of July, the Trump administration proposed new policies that would create greater price transparency among healthcare providers. The driving idea behind the new proposal is that patients will be better able to shop around for care and choose options that fit within their budgetary limits instead of seeking care from the nearest provider and hoping that the bill they receive after the fact isn’t out of their financial reach. It’s a measure meant to empower and facilitate cost-savings for overburdened consumers — and given the current sky-high state of healthcare prices in the United States, it may well be a welcome one.
Wrote a Memorandum to inform my supervisor on California OpenData and GovOps policy, this memo was designed to crafted the language for an upcoming publication by OPR "Connected Communities".
The CIPR Manifesto aims to provoke an open and informed debate ahead of the 2015 UK General Election. The document focuses on seven issues and challenges for the next UK government to address:
- lobbying
- the future of corporate governance
- independent practitioners and future skills needs
- the gender pay gap
- data protection
- internet governance
- broadband
The paper aims at exploring the consequences of the gradually increasing availability of Open Data for evaluation as we know it. Using concepts from the literature on evaluation and democracy, it contends that new technologies both require a new behavior by evaluators and open up possibilities in the very framework in which evaluation is done.
The pressure to open up data changes the way governments and public sector offices conceptualize, produce, and disseminate data. Responding to this demand requires that internal procedures change in fundamental, still partially unexplored ways.
Issues arise also for citizens seeking information. They face a rapid growth of internet-based sources, which both creates opportunities for research and difficulties in assessing data quality, credibility, and usability.
It also implies that public interventions--be they programmes, projects, or services--are open to public scrutiny of a new, more informed type. It increasingly involves expert, non-expert, and differently-expert scrutiny.
It is highly unlikely that Open Data will ever provide all--or even most--information needed for an evaluation. There is a risk that, in addition to opening up new research avenues and framing new evaluation questions by new actors, the availability of great masses of data on public policies obscures the need to directly observe effects and to build credible theories about phenomena.
The very existence of open data, and the possibilities they open up to public scrutiny call into question the role of internal and external evaluators. This is even more so when thinking of the opportunities opened by the ability to conjure collective intelligence in evaluation processes--using concepts already developed in the participation tradition.
The paper explores these themes based on an on-going research project. The two authors are involved in the Open Data movement in Italy and will advance their research during the next months through their work, research on existing literature, and holding workshops (e.g. within the Sapienza Seminar on Classic Evaluation Theorists).
10th EES Biennial Conference
Unit 8 - Information and Communication Technology (Paper I).pdfThiyagu K
This slides describes the basic concepts of ICT, basics of Email, Emerging Technology and Digital Initiatives in Education. This presentations aligns with the UGC Paper I syllabus.
Exploiting Artificial Intelligence for Empowering Researchers and Faculty, In...Dr. Vinod Kumar Kanvaria
Exploiting Artificial Intelligence for Empowering Researchers and Faculty,
International FDP on Fundamentals of Research in Social Sciences
at Integral University, Lucknow, 06.06.2024
By Dr. Vinod Kumar Kanvaria
PRIVACY Does informations availability justify its useGovernme.pdfkennithdase
PRIVACY: Does information\'s availability justify its use?
Governments collect massive amounts of data on individuals and organizations and use it for a
variety of purposes: national security, accurate tax collection, demographics, international
geopolitical strategic analysis, etc. Corporations do the same for commercial reasons; to increase
business, control expense, enhance profitability, gain market share, etc. Technological advances
in both hardware and software have significantly changed the scope of what can be amassed and
processed. Massive quantities of data, measured in petabytes and beyond, can be centrally stored
and retrieved effortlessly and quickly. Seemingly disparate sources of data can be cross-
referenced to glean new meanings when one set of data is viewed within the context of another.
In the 1930s and 1940s the volumes of data available were miniscule by comparison and the
\"processing\" of that data was entirely manual. Had even a small portion of today\'s capabilities
existed, the world as we now know it would probably be quite different.
Should organizations\' ability to collect and process data on exponentially increasing scales be
limited in any way? Does the fact that information can be architected for a particular purpose
mean it should be, even if by so doing individual privacy rights are potentially violated? If data
meant for one use is diverted to another process which is socially redeeming and would result in
a greater good or could result in a financial gain, does that mitigate the ethical dilemma, no
matter how innocent and pure the motivation?
Solution
Yes the organiztion ability to acces personal information of the citizens must be restricetd to
national security and government approved national interest programs. Any use outside the field
of national security and threat must only be allowed after written permission of the vulnerable
party, otherwise the information must strictly be denied, be it any purpose.
No barely because the information is vailable does not mean that it should be. Rather the
authorities should assign individuals of high repute to monitor the potential violation of the
private information use.
The information if used for social welfare must only be used after taking written permission from
the vulnerable party that they allow such use after being satisfied that the program is in the
interest of the welfare of the nation and society as a whole. No matter how pure the motivation
the permission should be made compulsary even if the refusal causes financial loss..
Rebooting Public Service Delivery: How can open government data help to drive...OECD Governance
Study outlining how OECD countries are dealing with the challenges of Open Government Data with a special chapter on the policy context of OGD in the United Arab Emirates. For more information see http://www.oecd.org/gov/rebooting-public-service-delivery.htm
Rubrix is a biannual newsletter with brief analytical pieces which covers recent national policies and other emerging issues affecting the Malay/Muslim community in Singapore.
Highlights:
1. The Social Sector and its Data Imperative
2. Design Thinking for the Social Good
3. Beyond Academics: Fostering 21st Century Competencies in Young Children
4. The Importance of Critical Thinking in Future Proofing our Early Learners
5. Dawn of the Smart Nation
6. Post-Budget Policy Forum: Stronger Together, Forging Ahead
On a few hours notice, due to another presenter's "volcano-cancelled" flight, I was asked to fill an empty slot at the Norwegian GoOpen 2010 conference. On the background of the freshly proposed data.norge.no site, I decided to present a high level motivation for open data and linked open data in context of government, briefly compare and contrast its predecessors, data.gov and data.gov.uk, and suggest a possible middle ground between "anything goes" and "one format only" (in Norwegian).
Deling av data: ”Tenke det, ønske det, ville det med, men gjøre det...?”Stian Danenbarger
Presentation on sharing of open data held for the Norwegian government's "Forum for Large Public Web Sites", early in June 2009, soon after Data.gov went live. The talk was in Norwegian, but the PPT actually contains more English than Norwegian text...
We’re entering a new era of digital government that could transform how citizens feel about their state. Here’s what research needs to do, to make it happen.
Trust and Public Policy: How Better Governance Can Help Rebuild Public Trust ...OECD Governance
Highlights brochure from the OECD publication "Trust and Public Policy: How Better Governance Can Help Rebuild Public Trust", which examines the influence of trust in policy making and explores the steps governments can take to strengthen public trust. oe.cd/trust-and-public-policy
Will Price Transparency Help Patients Find Lower Cost Care Mary Tolan
At the close of July, the Trump administration proposed new policies that would create greater price transparency among healthcare providers. The driving idea behind the new proposal is that patients will be better able to shop around for care and choose options that fit within their budgetary limits instead of seeking care from the nearest provider and hoping that the bill they receive after the fact isn’t out of their financial reach. It’s a measure meant to empower and facilitate cost-savings for overburdened consumers — and given the current sky-high state of healthcare prices in the United States, it may well be a welcome one.
Wrote a Memorandum to inform my supervisor on California OpenData and GovOps policy, this memo was designed to crafted the language for an upcoming publication by OPR "Connected Communities".
The CIPR Manifesto aims to provoke an open and informed debate ahead of the 2015 UK General Election. The document focuses on seven issues and challenges for the next UK government to address:
- lobbying
- the future of corporate governance
- independent practitioners and future skills needs
- the gender pay gap
- data protection
- internet governance
- broadband
The paper aims at exploring the consequences of the gradually increasing availability of Open Data for evaluation as we know it. Using concepts from the literature on evaluation and democracy, it contends that new technologies both require a new behavior by evaluators and open up possibilities in the very framework in which evaluation is done.
The pressure to open up data changes the way governments and public sector offices conceptualize, produce, and disseminate data. Responding to this demand requires that internal procedures change in fundamental, still partially unexplored ways.
Issues arise also for citizens seeking information. They face a rapid growth of internet-based sources, which both creates opportunities for research and difficulties in assessing data quality, credibility, and usability.
It also implies that public interventions--be they programmes, projects, or services--are open to public scrutiny of a new, more informed type. It increasingly involves expert, non-expert, and differently-expert scrutiny.
It is highly unlikely that Open Data will ever provide all--or even most--information needed for an evaluation. There is a risk that, in addition to opening up new research avenues and framing new evaluation questions by new actors, the availability of great masses of data on public policies obscures the need to directly observe effects and to build credible theories about phenomena.
The very existence of open data, and the possibilities they open up to public scrutiny call into question the role of internal and external evaluators. This is even more so when thinking of the opportunities opened by the ability to conjure collective intelligence in evaluation processes--using concepts already developed in the participation tradition.
The paper explores these themes based on an on-going research project. The two authors are involved in the Open Data movement in Italy and will advance their research during the next months through their work, research on existing literature, and holding workshops (e.g. within the Sapienza Seminar on Classic Evaluation Theorists).
10th EES Biennial Conference
Unit 8 - Information and Communication Technology (Paper I).pdfThiyagu K
This slides describes the basic concepts of ICT, basics of Email, Emerging Technology and Digital Initiatives in Education. This presentations aligns with the UGC Paper I syllabus.
Exploiting Artificial Intelligence for Empowering Researchers and Faculty, In...Dr. Vinod Kumar Kanvaria
Exploiting Artificial Intelligence for Empowering Researchers and Faculty,
International FDP on Fundamentals of Research in Social Sciences
at Integral University, Lucknow, 06.06.2024
By Dr. Vinod Kumar Kanvaria
Synthetic Fiber Construction in lab .pptxPavel ( NSTU)
Synthetic fiber production is a fascinating and complex field that blends chemistry, engineering, and environmental science. By understanding these aspects, students can gain a comprehensive view of synthetic fiber production, its impact on society and the environment, and the potential for future innovations. Synthetic fibers play a crucial role in modern society, impacting various aspects of daily life, industry, and the environment. ynthetic fibers are integral to modern life, offering a range of benefits from cost-effectiveness and versatility to innovative applications and performance characteristics. While they pose environmental challenges, ongoing research and development aim to create more sustainable and eco-friendly alternatives. Understanding the importance of synthetic fibers helps in appreciating their role in the economy, industry, and daily life, while also emphasizing the need for sustainable practices and innovation.
How to Make a Field invisible in Odoo 17Celine George
It is possible to hide or invisible some fields in odoo. Commonly using “invisible” attribute in the field definition to invisible the fields. This slide will show how to make a field invisible in odoo 17.
Normal Labour/ Stages of Labour/ Mechanism of LabourWasim Ak
Normal labor is also termed spontaneous labor, defined as the natural physiological process through which the fetus, placenta, and membranes are expelled from the uterus through the birth canal at term (37 to 42 weeks
Francesca Gottschalk - How can education support child empowerment.pptxEduSkills OECD
Francesca Gottschalk from the OECD’s Centre for Educational Research and Innovation presents at the Ask an Expert Webinar: How can education support child empowerment?
Macroeconomics- Movie Location
This will be used as part of your Personal Professional Portfolio once graded.
Objective:
Prepare a presentation or a paper using research, basic comparative analysis, data organization and application of economic information. You will make an informed assessment of an economic climate outside of the United States to accomplish an entertainment industry objective.
June 3, 2024 Anti-Semitism Letter Sent to MIT President Kornbluth and MIT Cor...Levi Shapiro
Letter from the Congress of the United States regarding Anti-Semitism sent June 3rd to MIT President Sally Kornbluth, MIT Corp Chair, Mark Gorenberg
Dear Dr. Kornbluth and Mr. Gorenberg,
The US House of Representatives is deeply concerned by ongoing and pervasive acts of antisemitic
harassment and intimidation at the Massachusetts Institute of Technology (MIT). Failing to act decisively to ensure a safe learning environment for all students would be a grave dereliction of your responsibilities as President of MIT and Chair of the MIT Corporation.
This Congress will not stand idly by and allow an environment hostile to Jewish students to persist. The House believes that your institution is in violation of Title VI of the Civil Rights Act, and the inability or
unwillingness to rectify this violation through action requires accountability.
Postsecondary education is a unique opportunity for students to learn and have their ideas and beliefs challenged. However, universities receiving hundreds of millions of federal funds annually have denied
students that opportunity and have been hijacked to become venues for the promotion of terrorism, antisemitic harassment and intimidation, unlawful encampments, and in some cases, assaults and riots.
The House of Representatives will not countenance the use of federal funds to indoctrinate students into hateful, antisemitic, anti-American supporters of terrorism. Investigations into campus antisemitism by the Committee on Education and the Workforce and the Committee on Ways and Means have been expanded into a Congress-wide probe across all relevant jurisdictions to address this national crisis. The undersigned Committees will conduct oversight into the use of federal funds at MIT and its learning environment under authorities granted to each Committee.
• The Committee on Education and the Workforce has been investigating your institution since December 7, 2023. The Committee has broad jurisdiction over postsecondary education, including its compliance with Title VI of the Civil Rights Act, campus safety concerns over disruptions to the learning environment, and the awarding of federal student aid under the Higher Education Act.
• The Committee on Oversight and Accountability is investigating the sources of funding and other support flowing to groups espousing pro-Hamas propaganda and engaged in antisemitic harassment and intimidation of students. The Committee on Oversight and Accountability is the principal oversight committee of the US House of Representatives and has broad authority to investigate “any matter” at “any time” under House Rule X.
• The Committee on Ways and Means has been investigating several universities since November 15, 2023, when the Committee held a hearing entitled From Ivory Towers to Dark Corners: Investigating the Nexus Between Antisemitism, Tax-Exempt Universities, and Terror Financing. The Committee followed the hearing with letters to those institutions on January 10, 202
1. An Enhanced Right to Open Data
New and richer flows of data from organizations in the public space could enrich
democracy and might improve effectiveness and efficiency. More public
knowledge (one definition of "transparency") could stimulate debate about
services and money, increase vigilance and arm scrutineers. But more and better
data will not in and of itself bring more accountability or improve services. We
must not reduce volume of information with better decision making. Data must
become information: it must be grasped and absorbed. Information has then to
be applied. Accountability and public satisfaction could move together in a
virtuous circle, provided the public understands the data proffered; provided
those releasing the data themselves understand it and its potential; provided its
quality and accuracy are guaranteed.
Open Data prompts questions about public capacity. The government's response
to proposed changes in the school curriculum allowing many more young people
aged over 16 to continue studying mathematics and stats shows the government
itself accepts the public need to be better equipped. Open Data abuts the
contention that those leaving education have to be better prepared to deal with
data and numbers, for their own sake as employees as well as in their lives as
2. citizens and family builders (dealing with energy tariffs, insurance, pensions and
broadband offers). Open Data links with moves to improve the quantitative skills
of university graduates.
As important as the volume of data are presentation and "visualization", the
discipline of making data more intelligible. In the jargon this means paying
attention to metadata and data polishing. It puts emphasis on intermediaries to
help the public make sense of data. Statisticians and academics are fond of the
term "metadata". This directs attention to the explanatory material that ought to
accompany data release. Another missing term is narrative. What the public want
is data to tell a story about the performance of schools, crime in their area and so
on. Open Data needs to look at who writes and who puts out these stories.
Another key term is visualization – covering the many ways in which data,
especially quantitative data, can be projected, for example exploiting the
graphical resources of the web.
Data release should anticipate the sense the public will make of what is presented
and how they might use data. Each department and agency should subject itself
to a "data challenge": is the information intelligible? Translating data into
information that is fit for public consumption requires good analysis and
interpretation, which is lacking in many councils. The question does not capture
the dynamism and spirit of opportunity and innovation that ought to accompany
data release. Departments and agencies should relish the chance to share their
work (knowledge) with the public and make explicit efforts to present it in ways
the public can grasp. The value for money of data release has to be denominated
in terms of accomplishing the organization's wider public purpose and be
accommodated in its notional or actual budget for accountability.
The public tend not to distinguish whether a service provider is public, non-profit
or private, though they need to know how it is paid for and how it accounts. A
rule of thumb for the application of Open Data is the ratio of public support to
turnover (including implicit public support): any positive figure would tip the
organization into the category where Open Data applies. We want a culture in
which elected representatives and service deliverers feel open data accomplishes
their purposes. Open data should not become a stick with public organizations are
beaten, by emphasizing the way data might be used to punish or find defects;
instead, it should be celebrated as the basis for "co-producing" services and
engaging the public.
3. We need incentives and awards celebrating data release and data sharing. Instead
of a (static) culture of rights, public organizations should make a dynamic
commitment to data collection, handling and release. We could draw on past
efforts to identify and praise organizations doing well to account for themselves
in the broadest sense, including data sharing.
The definition of the key terms, whilst providing a wide scope for interpretation,
should also include definitions of that which is not subject to the Open Data
approach so as to make it clear from the on-set what datasets (if any) are
considered out of scope for public sector organizations. In relation to non-
government bodies providing public services, information about aspects
unrelated to the delivery of their public service function are not in scope, does
that imply that ALL public sector data is in scope? We assume certain public
sector data will be considered out of scope and a clear definition of what can be
expected should be provided.
In our opinion, existing legislation would still have a role to play with regard to the
publication of data. Tests with regard to the publication of salary and personal
information should also continue to be applicable in certain situations where the
publication of data may compromise personal or business relationships. The costs
incurred by private sector organizations in responding to management
information requests from public authorities, or requests directed at public sector
organizations is not considered by the individuals making these requests.
If it is Government's aim to establish a common data set against which all public
bodies would have to provide a base data set. Consideration should be given to
establishment of a baseline data set against which data is provided for free. Any
information requests outside of the defined datasets could be chargeable with a
proportion of the fees payable supporting the potential Public Data in support of
their activities and costs.
Whilst Government should ensure that the requirement to provide data does not
create unnecessary burdens on public bodies, particularly those organizations
working with small budgets. There is a view that any organization that is in receipt
of public funds should have a responsibility to account for how those funds are
spent. This would include all organizations and any other bodies in receipt of
public funds. The issue would be where to draw the line, i.e. in the event of
private suppliers to public bodies who engage sub-contractor organizations to
deliver work, should the subcontractor also be subject to such measures.
4. The opportunities for public bodies to hide behind claims of excessive time to
produce must be minimized and support through a regulatory framework that
compels publication in all but the most exceptional circumstances (i.e. to protect
national security, personnel information etc). If appropriate legislative and
regulative measures could be established by the responsible body to establish
industry wide reporting criteria (i.e. for education, health, defence etc).
Government should also consider a "published by default" scheme that could be
written into service provider contracts to those organizations supporting public
bodies, so long as the organization remains independent and is not seen to be at
the sole service of government. Any other option would require the
establishment of a new body and the associated costs of doing so should be taken
in to consideration in the current economic climate.
Data should only be relevant to the service being provided, anything that does not
directly influence an entitlement to a service or funding should not be collated.
Open data should not be cross-referenceable between data sets from different
organizations. Any information that would support an ability to cross-reference
information against another data set provided by another public body must be
carefully considered. Whilst the ability to cross-reference data is vital between
departments, the ability to make such comparisons using Open Data must be
removed to ensure privacy.
The potential to create additional burdens on public bodies as a result of
implementing Open Data needs to be considered carefully. The exercise should
encompass those bodies where the potential for creating unnecessary burdens is
greatest, and consideration should be given to this both informally and formally.
Whilst the need for transparency and visibility of how public funds are spent is
important, it should not be delivered so as to create a substantial increase within
public bodies or add to the costs they incur to ensure compliance. The only way to
ensure it does not is to benchmark the existing burden on these organizations
prior to the introduction of any supporting requirements under the Open Data
initiative. This could be achieved through taking a phased view to establishing
reasonable boundaries and limits in cost to produce. In summary, it would not be
possible to measure the impact of introducing Open Data unless there is a clear
understanding of what investment is being made in complying with existing
requests.
5. There are a large number of contracts already in existence with considerable time
left on them. Whilst introducing new Open Data standards with regard to new
contracts would be relatively straightforward (once the legal and regulatory
hurdles have been cleared), the legacy contracts should be amended to reflect
any new requirements in support of Open Data. The requirements could be
transitioned into existing contracts through change control. Where a supplier
refuses to adapt an existing contract, Government should seriously consider
whether or not the response is acceptable, and where this is not the case, the
potential to re-tender a particular contract in the public interest should be
considered.
Rather than undergo a costly exercise in defining a new set of high and common
data standards, government should consider identifying current areas of best
practice through the benchmarking of public bodies and existing data structures.
We should seek to agree definitions of data terminology so that all organizations
subject to the requirements of Open Data have a consistent understanding of
common definitions for data fields and the content within them.
Misinterpretation of information will be reduced and the ability to compare and
integrate cross departmental data analysis will be increased. Consideration would
also need to be given to the adoption of common reference standards.
Government provides many different public services, whilst some standards for
data collation can be made consistent to allow for greater comparison of
perceptions of individual services, consideration also needs to be given to specific
departmentally related data in order to identify local issues and areas of weak
performance across individual departments and other public bodies. There is a
need for balance so as to include the benefits of service providers and public
interest in the public services they receive. The public (and other interested
parties) require the localized information to make decision on services and in
order to support delivery of the big society. However, public service providers and
government itself has separate needs for consistent data in order to make
informed decisions and direct comparisons across public service providers,
markets and costs. Many organizations develop manage and analyze their own
user experience initiatives, there is significant cost in the localization of these
initiatives and government has an opportunity to centralize the definition of
information around user experience whilst also reducing the local development
costs associated with this.
6. The accreditation of information intermediaries will only work effectively if the
organization responsible for the delivery of that accreditation (1) has
enforcement powers to deal with ineffective or poor performance from
accredited suppliers, (2) has some influence over the maximum costs that
accredited organizations charge for access to information and (3) Maintains an
ability to adequately meet the needs of information providers (public sector and
related service providers) and also the needs of the proposed information
intermediaries. To support this objective would require an organization with
independence and impartiality so as to ensure that public bodies and public
service providers are treated mutually and identically. To support this objective a
set of detailed and coherent definitions and guidelines would need to be
produced to clearly communicate to organizations what is considered to be
private information and what would be considered as confidential with regard to
protecting national security.
In order to ensure consistency in application, it is essential that an independent
body or reviewer be appointed to oversee the application of privacy and
confidential data so as to ensure that public sector organizations are not using the
ability to withhold data under those categorizations unduly. This role could
potentially be fulfilled, but consideration should also be given to using an existing
organization to oversee delivery. Departments and public service suppliers should
be aligned to a common set of objectives and requirements related to the
provision of Open Data, and these should be applied and monitored
independently and with a consistent application of requirements, and where
required penalties to support compliance.
Whilst Board-level accountability already exists in support of a number of
initiative and requirements such as health and safety, it must be recognized that
it is not necessarily these individuals dealing with the day to day requirements
that supports the development and application of supporting policies within
organizations. The nature and scope of information that will be required to be
covered with regard to Open Data is likely to require considerable support within
public bodies and other organizations service providers. Unless we provide
considerable detail in relation to specific requirements, consistency of data sets,
consistency of interpretation, file formats etc., organizations will interpret
requirements differently, delegate responsibility and create multiple layers of
input and ownership. Board level responsibility would make sense, but it must
also be recognized that the need to comply with and provide Open Data will in
itself lead to increased costs in order to provide the information. Government
7. needs to carefully consider the impact with regard to man-days, overhead costs
and additional burden on the public purse that will be created as a result.
Without a sanctions framework it is hard to see how the Open Data agenda would
operate. There are many initiatives that have been tried and failed as a result of
ineffective or limited enforcement. Public sector consumption is huge, the
organizations that will be required to comply with the Open Data requirements a
large, complex and varied in the consumption of products and services. The scope
of Open Data is equally large, would require information analyst support and
given pressures to deliver business as usual, it is hard to see how public bodies
would maintain a focus on the delivery of Open Data if there was not some form
of sanctions framework in place. However, any such framework would need to be
consistently applied and enforced.
If a single organization would be responsible for overseeing data definition,
collation, publication and licensing, why would there be any need for dedicated
sector transparency boards? Surely, this is only creating another layer to
deliberate and interpret any public data definitions. Government should not
provide the opportunity for individual sectors to deliberate the confidentiality or
provision of data, as long as they have the correct legislative, sanctions and
frameworks in place support to ensure public bodies comply with and are bound
by the requirements of Open Data why would you need another layer to
deliberate sector transparency. The only exceptions should be those stated that
relate to private personal information and that withheld in the interests of
National Security.
There is a need to establish a clear and well defined framework of data sets and
date inventories that are applied consistently across public bodies and public
service providers. Comparisons and meaningful analysis of data can only be
achieved through the application of common definitions and measurements. The
objectives behind the consultation on Open Data will only succeed if there is (1)
an overarching body or organization with responsibility for delivery (2) A clear and
well defined framework of data sets (3) a body responsible for monitoring and
amending data requirements going forward and (4) establishment of a Open Data
"data warehouse" to support the collation, storage and access of information in
support of making it readily accessible. Failure to support the initiative
appropriately will result in data discrepancies, non-compliance, inappropriate
understanding of definitions and deterioration of confidence in the data from
users and consumers.
8. The main issue with this is establishing the baseline. What data should be made
"Open" across different Public bodies and departments? For all organizations in
the public sector there is a vast amount of data that is gathered and required to
support the effective delivery of those organizations. There are also a number of
data items that are required to support existing voluntary or statutory reporting
requirements. Herein lies the problem, not all of these data sets are in the public
interest, some are personal and confidential, and some are internal data sets used
locally. Under the auspices of Open Data, data which relates to the efficient and
effective performance of public services should be given priority as should that
which serves the public interest. The main issue here is the body or organization
responsible for the setting of priorities for data sets for inclusion in a data
inventory. The task is large and complex, a thorough understanding of how public
sector organizations and suppliers are structured, their ability to store access and
deliver data sets across the public services being delivered and the ability to
compel public bodies and service providers to supply data in an appropriate and
timely fashion all need addressing. Only an overarching organization would be
able to do so effectively and even that is assuming it has the correct expertise,
understanding and operational remit to do so.
Any organization operated through the use of public funds should fall under the
requirements to capture, store and publish open data except where this involves
the publication of personal data or data that is sensitive with regard to national
security. As soon as this definition starts being diluted, the impetus and
effectiveness of the Open Data requirements will be called into question. The
definition of personal data and particularly that withheld under the auspices of
national security must be clearly defined from the on-set.
The collation of data for the sake of it should be managed carefully. Individual
organizations should be encouraged to collect the data that is essential to the
delivery of their specific service. This will ensure that only pertinent data is
harvested. The ability to cross reference data based on a common identifier must
be minimized except for in relation to those services where such data is
meaningful. The purpose and use of individual data sets within public bodies
needs to be questioned. An overarching body could be the delivery agent with a
remit for considering which is required and that which is unnecessary and provide
appropriate guidance and if necessary, sanctions to ensure compliance.
9. Providers should not be allowed to "polish" data. Where appropriate,
commenting on data or listing assumptions etc., should be encouraged so that the
reliability and accuracy of data sets can be treated subjectively by the end user.
Holding data due to concerns over accuracy or quality should only be permitted in
cases where the data is so unreliable it would inappropriately affect comparison
with other data sets from within the sector to which it relates. In such cases a
body should retain the authority to work with that particular public body or
supplier to raise data standards so that data can be published. It would be
important though to ensure that such a body was given the appropriate authority
to intervene and compel the organization to change.
Part of the existing problem is the plethora of public sector organizations, their
respective websites and the inability to find data on them easily. Once defined,
the only way to store the data and make it accessible easily will be through a
centralized portal or repository. Any other solution would simply increase costs
and cause confusion to data consumers. Accepting the vision behind the exercises
relating to Transparency, Localism, and Open Data, government must ensure that
the combined impact is visibility, accountability and engendering of trust from the
public that government, public bodies and public service providers are spending
public fund effectively. Therefore, data sets should be published at national, local
and sector levels where public interest and the desire for data is highest.
Government should not publish data for the sake of it. Broadening the net of
what is captured and reported will only create additional burdens on already tight
budgets. The effort required to support several existing data sets in the public
domain is considerable and the quality and inability to effectively cross reference
or collate different groupings of such data already presents a considerable
challenge to all concerned. Publishing relevant data sets effectively will encourage
confidence and improve information access and usefulness. Get the existing stuff
correct and more refined first, then consider the gaps that still exist and how best
information can be delivered that enhances both the public's desire for
information and also provides a useful measure of an organizations effectiveness
when compared to others within the sector, region or nationally.
That role is for the American Government itself to become a savvy user of the
data being collated and generated. What data helps drive government policy on a
public bodies effectiveness? How does government measure and rate its own
performance? What data and in what format would provide the public and public
bodies with effective information on which to compare services or performance?
10. If the government itself does not make use of the information that will be
generated in order to deliver service improvements and delivery, what is the
point of having the data? This should not just be an exercise of "publish
everything and let others interpret it" government itself has a responsibility to
monitor, act on and improve data collation and development in order to provide
the public with confidence on its performance, otherwise the exercise will be
fruitless and simply another example of costly bureaucracy without delivering
improvements and benefits. The principles outlined as a part of the Open Data
consultation could provide benefit to the Government and the bodies seeking to
use Government information. However, the generation of a clear, coherent and
consistently applied scope for the data sets that are intended to be published
present a considerable challenge.
Whilst common and consistent data will support removal of barriers to entry for
Small Enterprises, publication of all data for the sake of it, in whatever format it is
collated will increase the risks of unreliable analysis and will create a burden for
Government with regard to cost and administration. To deliver this, it is essential
that sufficient consultation is included with information providers, industry and
other user bodies. Having a coherent regulatory framework will assist
Government and users.
The government should consider mounting - in collaboration with the research
councils – a campaign to counter the scaremongering that goes on about data use
by public bodies, especially those concerned with the advancement of knowledge.
The public should be encouraged to view two-way sharing data as beneficial
(economically and cognitively). Data sharing can save money and lead to better
policies. The apparatus of control should be filleted and prevented from blocking
for example the re-use of data collected by public organizations and data sharing
between public bodies.
Open data can lead to improved organizational performance and stronger
relations between the public, as citizens and service consumers, and providing
bodies. Therefore any additional costs associated with data release and data
sharing should be regarded as investment. The key link is between more
openness and more accuracy. The government should find out how the public are
using the data already released (for example on local authority spending) and
consider establishing a center of excellence (which might be based at an existing
public body) on "usability".
11. The best information intermediaries are public bodies themselves. They should
anticipate how data is going to be received and used and tailor presentation
accordingly. The value of invigilators of the quality of public data has already been
proven. Because independence is going to be a valued attribute of any
organization subjecting official releases to scrutiny or criticism, it will best be
situated at arm's length from the government. The government might consider
endowing a non-profit organization to do this work. Open Data should be part
and parcel of performance and monitored accordingly. Government's role
includes identifying and extolling good practice, which includes data and
information handling in the round – i.e. the ways in which information is collected
from the public as well as how it is passed out. Such government bodies have
made commendable efforts to open up operations and finance to public view,
and already release large quantities of data.
Data culture should be a board item, with responsibility diffused among non-
executive and executive directors. Non-executives in particular should constantly
be putting themselves in the place of the public and assessing the intelligibility of
data flows. Open Data should be characteristic of good public management. Its
value lies in interaction between public organization and public and "rights" could
ossify what will be a dynamic and evolving relationship. Data inventories are
probably best put together at a scale bigger than that of the individual
organization, since public organizations a) share common data sets and b) collect
similar or the same data from the public. The simple test is: is the data necessary
for achieving the organization's stated public purpose?
America needs a data strategy. One of the missing ingredients of the Open Data
initiative has been that – preparing a comprehensive analysis of what the states
(and its various dependencies, including private firms) need to know. Again, this is
a dynamic conception. The states need to anticipate knowledge needs for future
years and conduct studies and data interrogations with the population of the
future in mind. The contours of the state and public services change and with
them the "cognitive" bases of government. It follows that some data sets will be
anachronistic and should be subject to periodical review.
Would any self-respecting board calmly say we don't mind if performance data is
dubious? Data labelling is important. Polishing data costs money and takes time.
"Quick and dirty" data may do, on occasion. But it needs to be identified as more
or less reliable. It would not be hard to put together a "grid" attesting to the
quality of data, formed from the professional opinions of statisticians, and by the
12. views of those involved in assembling and processing data for government (chief
scientific advisers, networks of analysts).
The public are entitled to see an assessment of the reliability and accuracy of data
presented to them. They deserve, too, some account of the significance of data.
Low quality data can be significant just as high-quality material can be of trivial
importance. This returns to the question discussed above: those who release data
should be duty bound to comment on its worth – metadata matters as much as
data.
The question of departmental vs central portal is less pressing than putting
together a data strategy. A starting point is assessing government's knowledge
needs. The strategy would also embrace release procedures and archiving.
Storage protocols, access and search engines would be part of this. Much data is
held and is subject to release by government to local authorities and arm's length
bodies. Their release plans might be autonomous, but they could be required to
observe templates written as part of a national data strategy and organizations
should be allowed to prioritize datasets according to their business plans.
The government needs a "clever center" for Open Data, staffed in part by people
who understand the specifics of departments and their data economies and
government away from the center. A precondition for innovating in Open Data is,
to repeat, minimum levels of public understanding, both of the data people share
[to] government and [from] government.
Jeff C. Palmer is a teacher, success coach, trainer, Certified Master of Web
Copywriting and founder of https://Ebookschoice.com. Jeff is a prolific writer,
Senior Research Associate and Infopreneur having written many eBooks, articles
and special reports.
Source: https://ebookschoice.com/an-enhanced-right-to-open-data/