| Dr. Clough, thanks very much for inviting me to appear
before you today. I am feeling a bit like an honorary PCAST member,
with this my third appearance before your technology transfer working
group. I remain honored to contribute to such an important effort,
and I credit the multiple invitations to the outstanding work and
thought put into these issues by the professional staff in my office,
most particularly Mark Boroush, John Raubitschek and Karen Laney-Cummings.
Once again I will try and balance my three perspectives:
- An Administration official who works with technology industry
leaders on a daily basis;
- The leader of the office chairing the Interagency Working Group
on Technology Transfer with statutory responsibility for federal
tech transfer reporting and regulation; and
- A Presidential appointee charged with identifying and promoting
policies that maximize technology's contribution to American economic
growth and global competitiveness.
I first testified before you last year May 9, when you were examining
the Bayh-Dole Act. At that time I suggested that PCAST should "first
do no harm," the Bayh-Dole legislative framework was not broken,
and substantial overhaul was not warranted. I urged PCAST to focus
on the entire technology transfer system (not just one element,
university licensing, in isolation) and to consult extensively with
federal labs, universities and industry.
On December 12, at the RAND forum, I suggested that PCAST's final
recommendations should include:
1. seeking better analysis of how the unprecedented global competition
for research and innovators is impacting the tech transfer process,
2. supporting efforts to develop more meaningful metrics and expectations
for tech transfer;
3. ensuring our federal labs have the resources and motivations
to prioritize tech transfer; and
4. studying the impact of increased licensing activity on University
research and partnering, especially in light of its growth and the
concerns of some in industry.
My team and I have reviewed the draft report and we are most gratified
that so many of our recommendations are included. We are also pleased
to see PCAST's confidence in the Commerce Department, with four
of the nine preliminary proposals tapping our expertise. We are
excited about the opportunity and, in the future, will be more careful
what we wish for!
With respect to the draft report, you have asked for the Technology
Administration's feedback on the recommendations that involve our
Department. (Regrettably we did not have time to consult across
all Commerce following the invitation to appear on Friday).
Recommendation Two says "Federal agencies, government contracting
laboratories and the Department of Commerce need to formalize their
oversight of and accountability for technology transfer." This
is an absolute necessity. Congress thought so too, as reflected
most recently in the Technology Transfer and Commercialization Act
of 2000 (TTCA). Among other things, TTCA requires all Departments
with federal labs to prepare annual plans and performance reports
on their technology transfer activities. These reports are supposed
to be submitted together with Department budgets, and the law mandates
that the Secretary of Commerce assemble these reports annually for
submission to the President and Congress.
So, by statute, Congress has already established some formal Commerce
oversight, and the annual report remains a promising vehicle for
enhanced accountability. In addition, Commerce's reporting effort
is enhanced through our leadership of the Interagency Working Group
on Tech Transfer (IAWG), a forum that shares metrics, challenges,
and best practices. However, Commerce cannot pull this train alone.
To gain greater oversight and accountability over tech transfer,
I would suggest two PCAST recommendations beyond what the statute
already requires and current practice. First, have OMB clarify the
importance of Department reports and require that they be provided
to Commerce at the same time that they (and Department budget requests)
are sent to OMB. A second idea would be for PCAST to recommend the
reconstitution of a senior-level group from federal Departments
(Assistant Secretary level or higher) to meet quarterly and ensure
the IAWG's recommendations and concerns are given appropriate management
consideration. Commerce could lead this effort as we have done in
the past.
With respect to other types of tech transfer activity - such as
university research activities under federal grants - Commerce currently
has no formal oversight authority, and I am not aware of any tech
transfer accountability reporting requirements. The Association
of University Technology Managers (AUTM) prepares an annual report
on university tech transfer, although without laws requiring universities
to keep and submit information. PCAST's broad recommendation does
not indicate whether you are seeking to expand university obligations
or federal oversight in this area, so this recommendation might
offer greater precision to avoid confusion.
Recommendation Four urges Commerce to "document 'Best Practices'
for technology transfer, as well as refine a set of metrics to better
quantify practices and their effectiveness." Again Congress
agreed, and the TTCA specifically instructs Commerce to document
"best practices" and work with the agencies to refine
metrics. See 15 USC Sec. 3710 (g)(2). Through the annual reporting
process and IAWG, we have begun to do just that, and we hope future
reports will offer even better guidance and thorough analysis.
With respect to tech transfer metrics, as you know, they are difficult
to define, and impossible to generalize across all research entities.1
One size does not fit all, particularly with respect to labs that
have different missions and different circumstances, so refining
"a [single] set of metrics" may prove less fruitful. The
"CRADA bubble" of the 1990s demonstrated the mistake of
treating all tech transfer efforts as one-and-the-same, as too many
folks pursued CRADAs not because they were the right tool but because
headquarters or OMB was counting. We must measure what we value
and not value what we measure, and we're working with all the agencies
through the IAWG to help agencies identify and improve the best
metrics for them.
PCAST might again want to specify whether this recommendation seeks
greater federal oversight of university tech transfer, or whether
it applies only to federal agency activity. As currently drafted
it is unclear.
Recommendation Five urges the Department of Commerce to "include
'education' as a part of its technology transfer mission and task
the individual agencies to disseminate related materials specific
to their research and development programs." Education is indeed
critical and an obvious corollary to best practice dissemination
and metric determination.
We agree that improved education and training of tech transfer
personnel at all levels should help to promote and improve their
effectiveness. Right now the most comprehensive efforts to educate
practitioners are led by professional associations including the
Federal Laboratory Consortium (FLC), AUTM, Licensing Executives
Society, and university Council on Government Relations, among others.
Without tasking new resources, if PCAST seeks greater Commerce engagement
in the education function it might consider recommendations that
bring existing efforts (such as those at the FLC) under Commerce
control, direction or supervision.
With respect to Recommendation Eight - Commerce "should study
and assess the implications for technology development and transfer
in a global environment" - we could not agree more. One of
the reasons we initiated the Innovation in America roundtable series
last year - a highly successful effort that included PCASTers Vest,
Fox, and Marburger, among others - was to study and assess more
fully the implications of innovation's globalization for U.S. competitiveness.
(We provided the transcripts to PCAST, published them on our web
site and continue to work on follow-up activities.) In the late
1960s, 70% of the world's R&D was performed in the United States.
In 2001, that percentage was down to 44%, and since we cannot corner
the market on smart people or good ideas it will inevitably fall
further.
America's ability to commercialize innovations and get the most
economic bang for research bucks will determine our future economic
strength and technology leadership. As our universities and federal
labs compete globally, their ability to attract and partner with
the best innovators may turn on the tech transfer terms, intellectual
property regime and administrative ease on which such collaborations
are based. Your recommendation is timely and important and we are
eager to work with you going forward.
In conclusion, I'd like to offer four additional activities we
are considering at the Department of Commerce's Technology Administration
relevant to tech transfer. We'd welcome PCAST's thoughts or feedback.
- First, we hope to improve and regularize our interactions with
industry groups such as the Industrial Research Institute and the
National Venture Capital Association. Industry input is essential
to getting tech transfer right, since commercialization is an inherently
private-sector function. If universities and labs are failing to
see their innovations commercialized, industry may have some good
ideas why.
- Second, we need more consistent, comprehensive and searchable
databases to support tech transfer and partnering.2 Universities
and labs are inconsistent in using the web to help private sector
parties locate tech transfer opportunities among the outputs of
federally funded R&D, especially small and medium enterprises.
This is huge logistical challenge, but also a true e-government
opportunity. PCAST might recommend that the outstanding e-government
task force under Mark Forman's direction at OMB study the issue
of federal R&D databases and tech transfer portals, consistent
with the E-Government Act recently signed by the President. Commerce
and the IAWG would be happy to serve as a partner in this effort.
- Third, we are developing better analyses of ways in which federal
labs can best contribute to regional technology-led economic development
(while staying focused on their missions). Labs' integration into
local economies will help develop the relationships critical to
tech transfer, and labs are well positioned to catalyze regional
job growth and industry competitiveness.
- Last, we hope to better assess the tech transfer implications
of emerging technologies, especially the more complex technologies
such as nanotechnology and life sciences. With sciences converging,
future partnerships will be more complex - multiple universities,
multiple labs, multiple companies in multiple countries. If we think
licensing arrangements are complex now, one can only imagine what
they'll look like tomorrow. PCAST is right to be concerned about
the implications of patenting potential research tools in life sciences,
and we hope to look at a range of other tech transfer issues across
emerging technologies.
Once again we appreciate your willingness to hear our thoughts
and input. We are available to help your staff finalizing this report,
and we look forward to carrying out your recommendations.
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