Consultation participation and their own register declarations, side by side. Counts, not judgments — participation is not influence.
Counts here are a floor, never a total: they cover the 583 consultation files tracked so far (42,224 submissions, mostly 2025–26), so an organization's real filing history is larger, not smaller.
Register facts self-declared (snapshot 2 Sept 2026); cost bands are floors. Shared files are shared attention, not evidence of coordination.
What each said, in their own words
Their opening passages on the files they share, verbatim and in filing order. We do not summarize, compare, or characterize positions — read them at source.
The new document signals a shift in focus from building deep-tech ecosystems to addressing systemic barriers hindering scaling and commercialization of innovations. Key Observations: The 2022 Agenda outlined 25 actions supporting talent, deep-tech, and funding. The 2025 plan seems more like an operational arm of recommendations, aiming to harmonize regulatory conditions across the EU.
European Innovation Act response on the call for evidence DI, the largest Business Confederation in Denmark, welcomes the opportunity to reply on the call for evidence for a coming European Innovation Act. Overall assessment and remarks The Confederation of Danish Industry (DI) acknowledge the EU Commissions ambition to pro-mote innovation and strengthen European businesses (see DIs specific remarks in Annex 1…
As the Commission has opened consultations on the Cyber Resilience Act, the aim of this new initiative seems to be to improve the internal market’s functioning by streamlining and supplementing existing rules applicable to digital products and preventing further fragmentation of cybersecurity requirements for digital products and ancillary services in the market.
DI supports the ambition to strengthen cyberresilience in Europe. We are in favor of policy option 4 with the modification that we do not believe ancillary services should be included. From Option 5 we would support the inclusion of embedded software and also non-embedded (standalone software) with an intended use to be integrated into specific products, preferably only for critical software.
DI agrees there is a need to strengthen the cyber security of products in Europe and we support the proposed CRA regulation. We support a horizontal approach to cybersecurity and appreciate that the proposal aims at applying the NLF principles which will ease compliance for our member companies. Never-the-less, adaptations will be needed to clarify the obligations and make them more proportionate.
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