Insurance Europe response to a consultation by the European Commission on Data Governance Act. Insurance Europe welcomed the overall objective of creating a single market for data, where data from public bodies, business and citizens can be used safely and fairly for the common good.
      
    
    
      For insurers, a greater availability of data could lead to improved 
risk monitoring and assessment, better customer experiences and 
increased fraud detection. The more data that is available for the 
common good, the better the digital solutions and analytical models can 
be.
Insurance Europe also welcomed the acknowledgement by the Commission 
that sector-specific legislation can add new and complementary elements 
to this data framework, such as the envisaged legislation on the 
European health data space and on access to vehicle data.
At the same time, the insurance industry supports the overall 
approach set out in the Commission’s data strategy, which recognises 
that sector-specific legislation on data-sharing should only be 
introduced where there are identified market failures; the focus should 
otherwise be on strengthening the conditions for data collaboration and 
data partnerships.
There should also be greater clarity regarding the nature of the data
 sharing services that fall within the scope of the proposed Regulation.
 While the Commission’s proposals offer some important clarifications in
 this regard, this could be made more explicit through the provision of 
concrete examples.
The proposed rules also need to be designed in a way that fully 
complies with all data protection requirements, and that ensures that 
data subjects remain fully in control of their data and can freely 
choose between different providers.
Full Response
Insurance Europe
      
      
      
      
        © InsuranceEurope
     
      
      
      
      
      
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