We believe that transformation is imperative and acknowledge that it has been an iterative journey, from narrow based transformation to broad-based transformation. We are of the view that broad-based empowerment is central to the achievement of meaningful transformation across the economy as equity acquisitions in firms demands access to capital. Access to capital is a significant barrier for many, especially for Black people due to our historical past.
Nadia_P
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The SACF reiterates its position that HDI ought to be replaced by the recognition of Broad-Based Black Economic Empowerment (BBBEE) due to its wider application. In this regard, we propose that the Authority, make recommendations to the DTPS to substitute the recognition of BBBEE instead of HDI. Comments on conformity standards.
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Submissions
Draft Code for Persons with Disabailities published in Government Gazette No.41265 on 20 November 2017
by Nadia_Pby Nadia_PPersons with Disabilities are an identifiable market segment, which our members strive to better serve as they do all other market segments with a culture of inclusion and understanding the challenges and barriers faced by disabled consumers towards improving the consumer experience. Innovation is key to achieving this.
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Submissions
SACF Written Submission on the Discussion Document: Equity Ownership by Historically Disadvantaged Groups and the Application of the ICT Sector Code in the ICT Sector in Terms of S4B of the ICASA Act 2000, as Amended
by Nadia_Pby Nadia_PThe SACF on behalf of its members would like to participate in any hearings or further engagements that the Authority may have in this regard. While, we acknowledge that as a country we still have a long way to go on our journey of transformation, our members have made and continue to make significant contributions to transformation and are committed to the goals of transformation.
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Submissions
Joint Industry Submission on the Cybercrimes and Related Matters Bill
by Nadia_Pby Nadia_PThe ICT ECSPs are concerned that the DoJ is in the process of finalising the Bill without clarifying government’s approach towards cybersecurity issues. This makes it difficult to contextualise the Bill against the challenges that it intends to address. In this regard, we request that the DoJ finalise the NCPF and advice on the extent to which it considered the draft NCPF when drafting the Bill.