{"id":103077,"date":"2024-03-27T16:32:45","date_gmt":"2024-03-27T20:32:45","guid":{"rendered":"https:\/\/cdt.org\/?post_type=insight&p=103077"},"modified":"2024-03-27T16:32:46","modified_gmt":"2024-03-27T20:32:46","slug":"cdt-comments-to-ntia-on-open-foundation-models","status":"publish","type":"insight","link":"https:\/\/cdt.org\/insights\/cdt-comments-to-ntia-on-open-foundation-models\/","title":{"rendered":"CDT Comments to NTIA on Open Foundation Models"},"content":{"rendered":"\n
The Center for Democracy & Technology (CDT) submitted comments in response to the National Telecommunications and Information Administration’s (NTIA) Request for Comment<\/a>, regarding the risks and benefits of, and potential policy approaches to, so-called \u201cdual-use\u201d foundation models for which the model weights are widely available, or as referred to in the RFC, \u201copen foundation models.\u201d Through this proceeding, required by section 4.6 of the U.S. Executive Order<\/a> on the Safe, Secure, and Trustworthy Development and Use of Artificial Intelligence, CDT shared its perspective on how the NTIA should advise the President on whether and how to regulate such models.<\/p>\n\n\n\n