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Original blockchain entrepreneurship must know which file?

Time : 31/01/2022 Author : hymi72 Click : + -
        It is almost a year since January 10, 2019, when the state Internet Information Office issued the regulations on the management of blockchain information services (hereinafter referred to as the regulations on blockchain information), which will come into force on February 15 this year. The filing work in various places is carried out in an orderly manner. Today, we re learn the blockchain information regulations together, in order to enable more friends to truly enter the formal, compliant and legal operation of blockchain entrepreneurship. The so-called "blockchain information service provider" refers to the subject or node that provides blockchain information services to the public, as well as the institution or organization that provides technical support to the subject of blockchain information services.
        At the same time, the so-called "blockchain information service users" refer to organizations or individuals that apply to blockchain information services. Let's review with you what is the core concept of "blockchain information service". According to Article 2 of the blockchain information regulation, "blockchain information service" refers to the provision of information services to the public through Internet websites, applications and other forms based on blockchain technology or systems. It can be seen that at present, all domestic blockchain related entrepreneurial projects are basically included in the regulation scope of this document. The national Internet information office is responsible for coordinating the supervision of national blockchain information services; The Internet information offices of all provinces, autonomous regions and municipalities directly under the central government are responsible for the supervision, management and law enforcement of blockchain information services within their respective administrative divisions.
        At the same time, blockchain industry self-discipline organizations have sprung up all over the country to encourage the establishment and improvement of industry self-discipline systems and industry standards, improve the professionalism of blockchain information service practitioners, and promote the healthy and orderly development of the industry. At present, the voice of self regulatory organizations is not big enough. The "trusted blockchain alliance" established a few years ago is relatively active, but it is mainly engaged in technical evaluation and other activities of blockchain projects; In addition, major colleges and universities also have private spontaneous alliances for blockchain projects, which still focus on training and exchange, and do not achieve real industry cohesion. According to Article 8 of the blockchain information regulations, blockchain information service providers should authenticate the real identity information of blockchain information service users based on organization code, ID card number or mobile phone number in accordance with the provisions of the network security law.
        If users do not authenticate their real identity information, blockchain information service providers shall not provide relevant services for them. The specific executive organ of the "network security law" is the local network police. Therefore, the public security organ is also one of the "substantive" regulatory organs. Here we raise a hidden worry. Officially, because of the anonymity of the blockchain platform, many fans are obsessed with it. Once all real names are required, according to the traditional blockchain technology, they should be published throughout the network. Isn't it the disclosure of citizens' personal information and privacy? This problem needs to be further weighed and solved. Submit filing materials to the national and provincial Internet information offices 20 working days in advance before opening; If the materials are complete, they should be filed and publicized on the blockchain information service filing management system of the state Internet Information Office within 20 working days. If they are not filed, they should be notified to the filer and explained within 20 working days;.
        The safety management responsibilities are not implemented in place (please note that serious cases will constitute "the crime of refusing to perform safety management obligations"); There is no emergency treatment, release of illegal content, etc; No platform convention; Opening new product applications without safety assessment; The changed items have not been filed; The record number is not publicized; There are hidden dangers of information security; Record backup is less than 6 months; Not subject to inspection by regulatory authorities. Let's add another knowledge point: with regard to the "security assessment" involved in the blockchain information regulations, China National Certification and Accreditation Administration has established a perfect system and has an accredited evaluation institution. Blockchain entrepreneurship projects can conduct security evaluation through their recognized evaluation institutions. The specific basis is the "provisions on security evaluation of Internet information services with public opinion attribute or social mobilization ability", and submit a security self-evaluation report through the "National Internet security management service platform" ().
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