DigitalFilipino: An E-Commerce Guide for the eFilipino by Janette Toral

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description

[June 10, 2000] Digital Filipino is a book about electronic commerce that covers a multi-disciplinary approach. It tackles the building blocks of electronic commerce, the developments in the Philippines and neighboring countries reflecting the latest research.Using in-depth case studies of companies that have used unique strategies to win the trust and confidence of the Internet community.A comprehensive analysis on the challenges, opportunities, and lessons learned of companies and the government.There a lot of e-commerce books available in the bookshelves but are mostly published in Western countries and covers only situations in their part of the world. There's a need for a book that speaks more about our country that can be used as a reference by aspiring entrepreneurs who wanted to venture in e-commerce.The book can be used by students and SMEs in understanding the e-commerce paradigm and make them aware beyond the theories that they may have already read.Why do we need a book on e-commerce? You might say, "There's a lot of information already on the Internet. A book on e-commerce might just become useless in a short span of time." Well, I disagree on that. True, there's a lot of information on the Internet and we're now even experiencing information overload. But note that only those who has access to information and know how to use them to their advantage will be the ones to succeed. The information is there but how you organize and analyze it to come up with bright decisions is a different story.To the best of my knowledge, e-commerce has never been covered this way. Most schools and universities around the world are gearing up to offer an e-commerce course and curriculum as early next year. I believe there will be a very big demand for an educational and reference material such as this.Table of ContentsI. Foreword by Senator Ramon B. Magsaysay Jr.II. Introduction * What is e-commerce? * Why do some refer to e-commerce as B2B and B2C? * How long has the Philippines been practicing e-commerce? * Why should companies do e-commerce? Is this only for big companies? * What is the implication of e-commerce to the supply chain? * What are the ways of doing e-commerce? * What are the media used in doing e-commerce? * How can SME benefit from e-commerce?III. Doing E-commerce Through EDI * What is EDI? * What is a trading partner? * What does a VAN do? * What do I need to do EDI? * What does a VAN do? * Dealing with trading partners in a B2B environment. * Who are the companies using EDI locally? * What makes an EDI/e-commerce projct successful? * What makes an EDI/e-commerce project fail? * What is the different between EDI and the Internet? Which is better? * Which is better? VANs or Internet? * Are standards such as EDI important? How is it different from other free form data structures? * How many VANs do we have in the Philippines? Who are they?IV. Establishing Your Presence on the Internet * What is a domain name? * Registering a domain name * Choosing a web site hosting service * Building your site * Collecting payment * Securing your site * Getting venture capital * Marketing your site * Case studies on Internet-based sitesV. Legal Issues on E-commerce * FAQ on the E-commerce BillVI. E-commerce initiatives by government * An interview with President Joseph EstradaVII. StatisticsVIII. Opportunities and challengesAppendix A Senate Bill 1902Appendix B House Bill 9971Appendix C Senate Bill 2025Appendix D The DigitalFilipino WebringAppendix E The eFilipino Web AwardeesYou can also order this book online at Inq7 Store.Corrections in the BookWe would like to take no

Transcript of DigitalFilipino: An E-Commerce Guide for the eFilipino by Janette Toral

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written byJANETTE TORAL

Windows user*

edited byDANNY ESCASA

Linux & OS2 user*

layout, cover and logo design byANTONIO BUCU

Mac user*

* This book was conceptualized on a Windows PC, edited on a Linux/OS2 environment and laid-out on a Mac.

Marketing SecretariatFIERA DE MANILA, INC.

Zen Bldg. 8352 Mayapis St.San Antonio Village, Makati City

PHILIPPINES TEL. (632) 896-0637, 896-0639FAX (632) 890-2101, 896-0637

WEB: http://www.fmi.com.phEMAIL: [email protected]

An eCommerce Guidefor the eFilipino

Copyright © 2000 Janette Toral. All rights reserved. No part of this book can be used, copied or reprinted

in any form without the written consentfrom the author.

Renaissance Digital font used for the Digital Filipino logoand page elements Copyright © 1999 Antonio Bucu.

Visit the Digital Filipino Website:http://digital filipino.com

email: [email protected]

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CONTENTS

Foreword ................................................................ 3

Chapter 1: Introduction ............................................... 5

Chapter 2: E-Commerce Through EDI ......................... 15

Chapter 3: Establishing Your Presence on the Internet ......................................... 31

Chapter 4: Frequently Asked Questions on the Proposed E-Commerce Bill ................ 45

Chapter 5: E-Commerce in the Philippines: An Interview with President Joseph Estrada ........................... 55

Chapter 6: Statistics ................................................. 65

Chapter 7: Opportunities and Challenges: Making the Philippines an Ideal Environment for E-Commerce ....................................... 75

Annex A: SENATE BILL 1902 An Act Providing for an Electronic Commerce Law and for Other Purposes .................................................. 83

Annex B: HOUSE BILL 9971 The Electronic Commerce Act of 2000 .............................. 99

Annex C: SENATE BILL 2025 An Act Providing Protection against Computer Fraud and Abuses and other Cyber-related Fraudulent Activities, Providing Penalties Therefore and for other Purposes .................................................117

Annex D: The Digital Filipino Webring .......................123

Annex E: eFilipino Web Awardees ............................129

Acknowledgement ........................................................135

About the Author .........................................................136

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FOREWORD

A few months Ago, I ordered some Raul de Blasio CDs and a book on trust written by Francis Fukuyama over the Internet simply to try out the service at Amazon.com. As I was checking out Amazon’s search engine, I was impressed at how quick and easy it was to find titles that are otherwise very hard to find in ordinary bookstores. Amazing, tempting, and a breeze!! Paid of course by credit card. Right then and there I decided I would keep on using Amazon.com as long as it would give me good, swift, and secured service.

The field of Information Technology (IT) increasingly widens as doors of opportunities are continuously being opened. The advent of the Internet and e-commerce, for instance, has paved the way for convergence of technologies. The Philippines, like the rest of the world, will have to change its ways of doing business, sooner or later, because of these rapid developments.

In my previous dialogue with different interest groups, I have learned more about e-commerce and how it can be used to improve our business processes. Our present systems pose certain inefficiencies that can be streamlined effectively through e-commerce and result in major cost savings and better use of time. A retail chain, for instance, will not have to fax hundreds of purchase orders every day by paper if it will use e-commerce instead and save on time and resources. An aspiring entrepreneur can become an online merchant and sell his goods electronically through credit card payments.

Our country has all the potential t DFNN.com, which was launched recently by a young US-trained Filipino financial analyst named Ramon Garcia, is showing a lot of promise as a national or even a regional player. DFNN.com has put together an impressive array of services that are easily accessible.

As Janette told me, this book report is designed for the reader who may be a student, a small business entrepreneur, or someone just starting up his own business. I urge you to harness the power of the Internet and e-commerce and use it to your advantage. It offers a lot and makes way for so many opportunities that the only things that will limit its potentials are your own inhibitions and our country’s infrastructure. This is where government and private sector must work hand-in-hand to overcome obstacles.

Our government educational institutions have devised programs that would make the Internet and e-commerce reach down to the grassroots level. Higher learning institutions in the country are now in the process of coming up with an e-commerce curriculum which they will begin offering by this year. There are government programs that would allow computers to be present even in the countryside. We have brought down all duties and taxes on all information-related equipment, including computers and telecommunications equipment. The private sector is doing its best to put together packages that will make the computer accessible as in cybercafes that have been hugely successful in provincial cities.

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THE DIGITAL FILIPINO

Yes, e-commerce is very promising. This book report, The Digital Filipino, is one of the many ways of educating you about it. The Filipino is considered one of the highly skilled nationalities in the world. We have the brains, the skills, and the character to succeed. We have the capability to be at the forefront of all of these developments. We have the opportunity to actively participate in e-commerce, perhaps even lead, instead of being passive consumers.

So read, enjoy, and heed it!

RAMON MAGSAYSAY, JR.SenatorRepublic of the Philippines

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CHAPTER 1

INTRODUCTION

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this book is all about e-commerce in the Philippine and Asian marketplace. Yes, there are a lot of e-commerce books available in the bookshelves but most are published in Western countries and cover only situations in their part of the world. There’s a need for a book that speaks more about our country that can be a reference for aspiring entrepreneurs who want to venture into e-commerce.

The book should be useful as well to students in understanding the e-commerce paradigm and giving flesh to the theories that they may have already read. Most schools and universities around the world are gearing up to offer an e-commerce course. I hope this book will be a useful educational and reference material.

Why do we need a book on e-commerce? You might say, “There’s already a lot of information on the Internet. A book on e-commerce might just become useless in a short span of time.” True, there’s a lot of information on the Internet and we’re now even experiencing information overload. But note that only those who have access to information and know how to use it to their advantage will be the ones to succeed. The information is there but how you organize and analyze it to come up with bright decisions is a different story.

To the best of my knowledge, e-commerce has never been covered in this way. But I hope that through this book, more individuals and businesses will appreciate e-commerce more and realize how it will play a pivotal role in this millennium.

What is ElEctronic commErcE?

Electronic Commerce (e-commerce) is the paperless exchange of business information by using any form of electronic business communication. This includes Electronic Data Interchange (EDI), Electronic Mail (E-mail), computer bulletin boards, fax, Electronic Funds Transfer (EFT), and other similar technologies.

Simply put, any transaction that takes place using electronic means can be referred to as e-commerce. The idea is that instead of printing a purchase order and sending it to your supplier, for example, you send its details from your computer to your supplier’s computer. The latter would route the information to the appropriate departments.

Why do somE rEfEr to E-commErcE as BusinEss-to-BusinEss (B2B)and BusinEss-to-consumEr (B2c)?

There are two types e-commerce. Let me use a simple analogy. When you purchase your groceries at the supermarket and pay them over the counter, that type of service is what we would refer to as Business-to-Consumer (B2C). So when you buy books, food, groceries, CD, software, or hardware from your favorite shopping web sites, you’re doing B2C, electronic commerce between businesses and consumers.

INTRODUCTION

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The supermarket on the other hand, will need to purchase the goods on the grocery shelves from its suppliers. The business transactions that take place on this end is what we would refer as Business-to-Business (B2B). So when supermarkets, bookstores, computer stores, restaurants, music outlets purchase their goods from their suppliers either via fax, EDI, email, and other means, that is B2B, electronic commerce between businesses.

hoW long has thE PhiliPPinEs BEEn Practicing E-commErcE?

We’ve been practicing e-commerce since the emergence of computers and telecommunication technologies. It even became more prevalent as fax machines entered our lives; retail shops implemented point of sales (POS) systems and bar coding; the banking system introduced automated teller machines (ATM). Each of these are a step towards a full-blown e-commerce system where human intervention is becoming less and less.

EDI has been widely used in some form in the Philippines on a domestic and international level. It is used by retail chains like SM Supermarket and Makro to communicate with their suppliers.

With the emergence of the Internet commercially, as it started in the Philippines in 1994, e-commerce took a new manifestation and businessmen can now sell their goods through their Web sites and close sales transactions either online or through e-mail. Web sites like Chow.net, Grocerific.com, Magoos.com, and Powerbooks.com.ph, are just some sites that sell goods and services online.

Why should comPaniEs do E-commErcE? is this only for Big comPaniEs?

Small- to medium-sized companies should consider e-commerce more and even have a much greater need for it than larger companies. With the advent of expanded global trade (GATT, ASEAN, and APEC initiatives), it is imperative that small- to medium-sized companies automate their businesses to compete with foreign brands, as international and intra-regional trade will increase exponentially. Manual processes in the supply chain that are slow, redundant, unreliable, and inefficient can be replaced with more efficient ones.

The entrepreneur who wants to sell goods and services to a greater audience can exploit the Internet to promote them. With less human intervention, Internet-based businesses are open 24 hours a day, seven days a week and can accommodate any customer regardless of their time zones. But of course, an Internet-based business is not just about building Web sites and expecting profits to just come; the infrastructure to complete the sales cycle must be all covered from B2B to B2C.

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What is thE imPlication of E-commErcE to thE suPPly chain?

Perhaps the best way for me to explain this is to give you a real world implementation of e-commerce in the various industries. In a supply chain, there are the buyers and the suppliers. A tier 1 buyer can be the SM Supermarket retail chain or a major garments importer. Both tier 1 companies are what we would consider as the 10-thousand pound gorilla or a power buyer that has the clout and influence in directing the standards or means of trading to its suppliers. Companies below tier 1 are not in the same enviable situation. These companies dealing with multiple power buyers have to adjust their respective systems and processes as instructed by the multiple power buyers. This results in a complex e-commerce solution and implementation for these companies. They also end up having multiple e-commerce systems just to meet the requirements of these power buyers.

A lot of companies still have the mistaken notion that e-commerce is merely credit card transactions. It is much more than that. It is also not just the transfer of data from one company to another. A full-blown e-commerce implementation encompasses the entire supply chain: from the supplier delivering the goods to buyers through transportation partners, managing logistics, up to collecting payment. Figure 1 illustrates some of these processes.

There are three business information flow layers. In the product specifications and purchasing layer, the intent is to communicate required data to request, establish, and modify product pricing, packaging specifications, and contract information for purchased parts and tooling. The intent of the scheduling and delivery layer is to provide two-way communication between the customer and the supplier. The customer provides the required data to plan, authorize, and schedule the delivery of material. The supplier communicates shipment information. If discrepancies exist, the customer communicates them at the time of receipt. There’s the payment layer, where one communicates billing and payment information.

INTRODUCTION

Car ManufacturerTier 1

CAR MANUFACTURING

Car Seat SupplierTier 2

Car Seat CoilTier 3

Fig 1 . E-Commerc e f l ow be tween manufacturer, suppliers and third level suppliers.

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There are also big companies with shorter product life cycles that build products and release new ones every six months. Cases like these are printer and cellphone companies where new products have to be built and released every six months in order to survive fierce competition and stay in the lead. Its relationship with its lower tier suppliers are tight and in order to keep up with schedule, everything has to be automated.

Suppliers whose back-end systems are sophisticated enough to meet the demands of these companies are the ones who will survive. In order to keep up with hectic competition, companies can no longer say that they don’t need to innovate in this industry. E-commerce is now a necessity for competitiveness. We are no longer competing merely with local companies. We are now beginning to be challenged by companies based in other countries. Retail trade liberalization has heightened the need for power buyers and suppliers to do e-commerce. Those who refuse to do it may find themselves excluded from participating in a powerful purchasing community for not being e-commerce ready.

Ways of doing E-commErcE

There are so many ways that e-commerce can be defined, one of which is how information is transmitted. A lot of people have limited the definition of e-commerce through Internet transactions. There is more to that. When planning in building e-commerce systems, you have to consider all forms of media as how documents can possibly flow in the organization. Let’s discuss how documents are transmitted in various forms.

1. Value Added Network (VANS) - These are private network that transmit documents to various trading partners. Most EDI implementations go through a VAN. Documents such as purchase order or invoice are being converted to EDI format through a translator, then sent through a VAN.

The same thing happens when you are about to retrieve invoices or functional acknowledgments for the documents that you’ve transmitted. You will connect first to the VAN and download the EDI messages. The translator will convert these EDI messages to a more readable form and feed it to the back-end application. Please note that XML-based messages can be transmitted this way as well, which is ideal for high volume document transmission.

2. Internet FTP - The process works the same way as the VAN system except that instead of using a private network, you will transmit the document via FTP through the Internet.

3. Internet SMTP/MIME/X.400 - Similar to #1 and #2 except that you transmit the file as an email attachment.

4. Internet Web/HTML/XML - In this process, users transmit and receive documents through the browser interface or web site. Translation happens at the back-end.

5. RJE/Direct Connect - This is a direct connection between the two parties trading using communication software such as CrossTalk, HyperLink, etc.

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6. Mass storage such as floppy, CD, tape, optical drive, or hard drive - This happens to companies where mass storage devices are shipped from one location to another. Upon retrieval of data, this is translated and feed into the back-end system.

7. Fax, phone, snail mail, paper - Traditional process of exchanging information whereby data gathered are entered into the application and processed. Some companies offer special services whereby companies who don’t have the infrastructure can fax a document and recipient will convert it to EDI format and transmit it to the VAN. The implementation appropriate to your organization can be a combination of the seven methods. But in building a major e-commerce system, you have to define the appropriate document flow, dependent on triggers, issues, and benchmarks.

mEdia

For the forms of media, e-commerce encompasses all forms of electronic data. It can include:1. Voice. Which can now be synthesized or digitized and have a voiceprint for establishing

identity for authentication.

2. Paper. Which can now be scanned and digitized and used in e-commerce.

3. Electronic media, which can be technical in nature. These are CAD/CAM,PDES/STEP, CITIS, SGML, IGES, etc. There are business documents as well. If it is an open standard document driven by industry, national, or international guidelines, it can either be ANSI or EDIFACT or XML, among others. Proprietary and other type of documents can include flat file, binary, e-mail, telex, BBS, voice, and video. These can be transmitted via Internet or VAN and be stored in tape, CD, cartridge, and floppy.

“hoW can small and mEdium sizEd EntErPrisEs (smE)BEnEfit from E-commErcE?”

The Internet has always been positioned as the leveler of the playing field between big companies and SMEs. I hope that in the next edition of this book, we will be able to focus more on SMEs.

A study was recently undertaken by Pricewaterhouse Coopers’ for the Asia Pacific Economic Cooperation (APEC), Telecommunication Working Group (TEL), Business Facilitation Steering Group (BFSG). The focus of the study was on SME Electronic Commerce Study; the final report came out last September 1999. In the rest of this chapter, we will give some highlights of the report and offer our own analysis in the Philippine context.

In the report, SMEs were classified as companies who have no more than 500 employees. The study was conducted across 21 member countries.

INTRODUCTION

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The study classified SME levels of e-commerce capabilities. Level 1 SMEs remained as they are, with no online capabilities or, at best, only the basic company email address (e.g., [email protected]). Level 2 companies have their own Web site, most likely an online incarnation of their company brochure. This year and in the years to come, we expect to see SMEs moving up to Level 3 and taking the challenge of online business by being able to take orders and provide customer support through their respective sites. With the growing availability of online payment, we can expect to see SMEs move up to Level 4 where they will start offering the complete transaction loop including the acceptance of payment through their site.

Some of the perceived e-commerce benefits were mentioned in the report:

1. Improved customer service and increased revenue. Take the case of Magoo’s Pizza (http://www.magoos.com). The Internet has allowed

this company to be the first to offer online ordering and coupons, a service that their competitors have not maximized till now. The ATM network cards such as MegaLink, BancNet, and ExpressNet are also examples of improved customer service where we are able to withdraw money from any of the member banks. And even where a company doesn’t realize an increase in sales, they enjoy savings from online transactions. An ATM withdrawal, for example, costs a bank a fraction of what an over-the-counter withdrawal would cost.

2. Enhanced company image, improved competitive position, access to international markets.

A Web site sets a company apart from the competition. When Jewelmer (http: /www.jewelmer.com) first went online, it immediatelyreceived foreign inquiries

for its pearls that are sold wholesale. No other Philippine jewelry company was able to tap this potential.

3. Customer information exchange, increased customer loyalty The Internet has allowed merchants to be more closely in touch with their customers.

When DFNN.com first started, it had a very simple Web site. But the site keeps evolving with its interface and functionalities which are all customer driven. DFNN solicits customer feedback, which it reviews and acts upon.

4. Reduced costs of information Remember before that if we wanted to be kept informed, we’d buy several newspapers.

Now, you can read three or more publications online.

5. Supplier information exchange Facilities such as buyer-supplier matching have enabled our SMEs to offer their

goods to anyone interested. These are facilities such as USAID’s Global Technology Network and Global Sources.

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6. Attract new investment With the right business concept and approach, one might just attract investments

to their company. Who would ever think that a Web development company, Fiesta Online, would attract investors such as WS Computer Publishing and Catcha.com. This makes yehey.com the Philippines’ first Internet success story.

7. Reduced procurement cost Through e-commerce, SM Supermarket, Makro, and Grocent are able to

communicate with their suppliers more efficiently in coordinating their orders.

INTRODUCTION

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CHAPTER 2

E-COMMERCETHROUGH EDI

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What is Edi?

If you’re an importer or exporter and have to deal with foreign principals, you are most likely to use EDI as a format for exchanging documents. It is frequently used in the B2B environment.

EDI, which is one form of electronic commerce, is the computer-to-computer exchange of business information between trading partners using a standardized electronic format. EDI was first used in the transportation industry in the mid-seventies. It was used by ocean, motor, air, and rail carriers and the associated shippers, brokers, customs offices, freight forwarders, and bankers.

EDI is a central part of e-commerce, because it enables businesses to exchange business information electronically, and more quickly, cheaply, and accurately than is possible using paper-based systems. This exchange of information in electronic form occurs by using a basic unit called a transaction set, which typically relates to standard business documents such as Purchase Orders, Requests for Quotations, and other business-related transactions.

The essence of EDI is that data can be transported from one application format to another in a structured, predetermined form. With EDI, there are no more stamps to buy, no envelopes to open, no data to re-key into your computer. Everything is handled by sending information between computers over the telephone network.

UN/EDIFACT and ANSI X12 are the popular standards being used to do EDI in Europe and the US. In the Philippines, UN/EDIFACT is the one being implemented. There are also sectorial EDI standards used by certain industries (e.g. EANCOM for retail).

In the Philippines, EDI started with Multinational Corporations (MNCs) with local offices or local trading partners. These EDI transactions are coursed through international Value Added Networks (VANs) like GE Information Systems (GEIS), IBM, and British Telecomms (BT). VANs are connected via network nodes. EDI engines were located in other countries and there was no local traffic then.

If Philippine importers and exporters cannot meet the requirements of buyers abroad in terms of electronic shipping documents, it would simply mean that the foreign buyer will turn to other suppliers outside the Philippines who can meet those requirements.

What is a trading PartnEr?

A Trading Partner is “a business that has agreed to exchange business information electronically.” This term describes any business that has been registered to conduct business electronically with the government and other businesses. You should note that this term is used in the government and commercial market place worldwide. For the importer/exporter, becoming a registered trading partner in the global marketplace provides a lot of opportunities and the needed edge to those who are EDI-enabled in competing for opportunities both here and abroad.

E-Commerce through EDI

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Parties who agree to transact using e-commerce means such as EDI normally enter into a Trading Partner Agreement (TPA). TPAs are needed to properly inform the trading parties of their rights, obligations, and liabilities, and protect them, if correctly followed. This includes: messaging standards such as UN/EDIFACT; communication methods; security procedures; record storage; message processing such as receipt, acknowledgment, technical errors; validity and enforceability of documents as evidence, contract formation; data confidentiality; liabilities; dispute resolution; and jurisdiction.

What do i nEEd to do Edi?

You will need hardware, two types of software, and an electronic mailbox via subscription to a VAN, a special online service that transfers EDI messages between the government’s computers and your computer or between Trading Partners.

You’ll also need a Communications Software package that allows your modem to dial out through a telephone to connect with another computer.

A Translation Software program converts the information you type into standard EDI formats to be sent, and translates incoming EDI messages into characters you can read on your computer screen. This can be integrated into your back-end applications for full-cycle implementation. If there is a large number of users utilizing the system either as a recipient or sender, and high volume of transactions, you may consider getting EDI Server/Gateway software.

What doEs a Van do?

VANs are companies that provide EDI services to their subscribers. A VAN has computers that receive EDI messages from their subscribers and pass them on to the recipient. It acts as a central post office for EDI forms and is used by trading partners to transfer electronic information. It eliminates the need for computer systems to be connected to a multitude of other systems in order to send and receive EDI messages. It offers services to connect all parties so that EDI users need only establish one single connection with the VAN in order to communicate electronically to all other parties connected to the VAN.

The essential services provided by a government-certified VAN include: • theexchangeofmanydifferenttypesofEDImessageswiththetradingpartners’

computers at whatever time is convenient for you; • thedeliveryof your tradingpartner registration to the government if joining a

government EDI network like the BOC Gateway; •themaintenanceofrecordsandcheckingoftheaccuracyofEDImessages

VANs are like telephone switchboards. A VAN has to connect the computer sending the message with the computer(s) that are supposed to receive it. If the receiving computer is not available, the messages will be stored in an electronic mailbox, the equivalent of an answering machine for your computer. When it is convenient on your end, you can retrieve the stored messages and decide which ones you want to respond to immediately, which

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ones you want to keep for later evaluation, and which ones you want to throw away.

Some VANs can convert a message that has been sent from one EDI standard to another. Others can convert a message written in a trade industry standard, like the Uniform Communications Standards (UCS) used by grocers, to EDIFACT, the international standard.

This illustrates a typical flow of EDI system connecting to a VAN. Business transactions such as Purchase Order, Accounts Payable, Treasury/Finance, Warehouse/Shipping, etc., are converted into their corresponding EDI Interface. The EDI interface allows the user to use data elements that are needed on a particular transaction and reformats the data in structured form, after which the reformatted data goes into the EDI Translator, which converts the information you type into standard EDI formats to be sent and translates incoming EDI messages into characters you can read on your computer screen. The converted information then passes through a communications program which is responsible fortransmitting that particular transaction to the selected VAN.

dEaling With trading PartnErs in a B2B EnVironmEnt/trading PartnEr information.

When dealing with potential trading partners, you need to create a profile as to what they are capable of doing and how mature their back-end systems are. If you are a company looking forward to doing business-to-business transactions with different companies, this is important for you. Companies who are e-commerce enabled will ask these questions:

1. Trading Partner Name2. Industry Type3. Business contact including mailing address, email address, fax, and phone number4. Technical contact including mailing address, email address, fax, and phone number5. Business documents and applications that you can process electronically using

EDIFACT or ANSI E-commerce Implementation Procedures

When implementing e-commerce systems, you now have to plan what will transpire as each transaction gets processed. This includes the activities and reports that need to be triggered at certain periods of time. For each trading partner, in a business to business transaction, take each daily interaction and follow document/procedural flows until the transaction sets processed are completed and later purged from the database. Further, you need to be able to cover the following:

1. Criteria for acceptance of a business document transmitted in thee-commerce system

2. Ownership of data.3. Recovery/Contingency plan in handling failures.4. Security measures.5. Transaction control numbers for audit and control.6. Error conditions to be accounted for such as mapping errors, wrong version, missing

E-Commerce through EDI

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information, mismatch with cross reference files, transmission errors, lost transmission, among others.

Successful strategies for using EDI include the following goals:

1. Provide the highest level of accuracy in the data being exchanged.2. Receive the EDI data directly into the business application, using the appropriate

edits. This is commonly referred to as EDI integration.3. Generate any EDI data directly from the business application. If the trading partner

has integrated the received EDI data into their system, then both systems will exactly have the same data.

4. Automate the processing of data by having the computer perform routine reviews of the data.

5. Eliminate any delays in the transmission of data into the trading partners. This applies as well to any internal delays in the processing of any received data.

Who arE thE comPaniEs using Edi locally?

There are several EDI implementations in the Philippines, namely:

1. GTEBNet The Garments and Textile Export Board (GTEB) (http://www.dti.gov.ph/gteb/index.html), a quasi-government agency attached to the

Department of Trade and Industry (DTI), issues the export clearance for garment, textiles, carpets, yarn, fiber, and other natural synthetic fibers for shipment to other countries.

The GTEBNet, a World Bank-funded electronic network for textile quota administration, export documentation, and import authorization, including the electronic visa information system (ELVIS) for the US Customs, was set up for the GTEB.

The project has been operational since December 1994 and is expected to service more than 1,500 garment exporters, with an estimated volume of 240,000 annually. The project started with four pilot garment exporters. Currently, the GTEBNet has over 90 exporting companies, in Metro Manila, Cavite Export Processing Zone, and the Mactan Processing Zone in Cebu as well as two service center facilities in Makati and in Cebu to service small garment exporters. It is targeting to increase its subscribers to 200% in a year.

The GTEBNet has adopted 13 EDI messages based on EDIFACT syntax and directories. Since December 1999, GTEB has been implementing EDI over the Internet.

Twenty percent of the processes and transactions of the GTEB is generated through the GTEBNet. Textile clearance and export visas to North America and Europe can now be obtained in less than 30 minutes. In the manual system, it would take 72 hours to secure a textile clearance and 48 hours for export visas.

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2. SSSNet The Social Security System (SSS) administers social security protection to workers

in the private sector. It handles three programs, namely: the Social Security Program, Medicare Program, and the Employee’s Compensation Program. At present, there are 18 million SSS members nationwide, 60% of whom reside in Metro Manila. Its employer base is more than half a million.

SSSNet is an EDI community for the SSS and its trading partners consisting of hospitals, 700 employers, and 15 banks that started in April 1997. It currently transacts electronic monthly contribution lists, payment orders, and credit and debit advice notices. It is the first full-cycle EDI with financial settlement. The traditional reporting system, without EDI, took about three to six months resulting in delays of the release of benefits and loan privileges to individual SSS members.

SSSNet is adopting two proprietary EDI messages on SSS Collection List (SSMCL) and Acknowledgment (SSSMCA) and three UN/EDIFACT messages (CREADV, PAYORD, FINSTA).

SSSNet not only speeds up the collection but also improves the information flow from the employer to the employer’s bank interfaced through the SSS bank and copied by the SSS main office.

The network will be piloting the Salary Loans Repayment and Pension Remittance Modules starting June of this year. It started implementing EDI-over-the-Internet last January 2000.

3. Bureau of Customs (BOC) EDI Gateway After a bidding process in November 1997, the Philippine Chamber of Commerce

and Industry (PCCI) decided to tap GEIS to set up the EDI Gateway for the BOC as an interface between the BOC’s Automated Customs Operating System (ACOS) and accredited VAN service providers.

In 1998 (as per Customs Memorandum Order No. 15-98, signed by Commissioner Guillermo L. Parayno Jr., June 11, 1998), the BOC in cooperation with an association called BIDA launched and implemented the Direct Traders Input (DiTI) facility for remote entry lodgment and the BOC-EDI Gateway to cater to warehousing entry lodgment. This system eliminated the need to submit declarations for encoding at the entry-encoding centers and thereby reduced clerical errors.

EDI allows users to transact with the BOC from remote computer workstations. Unlike DiTI, however, where users dial up the BOC directly and use the BOC’s system to make a declaration, EDI users make use of their own computer application systems and communicate with the BOC through commercial communication networks or VANs. All these methods of filing the import entries eliminated the face-to-face interactions between the importers and brokers on the one hand and Customs personnel on the other which are characteristic of paper-based and manual operations. These new methods add to the speed and efficiency of the Customs clearance process, as well as eliminate opportunities for graft and corruption.

On cargo releases process, some 10 or more paper documents must be reproduced in triplicate or more copies. These must pass through many desks and offices, be scrutinized, initialed, approved, recorded in 20 or more logbooks, compared with each other, etc. In one study, these documents undergo some 91 steps.

E-Commerce through EDI

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In DiTI and EDI, the cargo release process will be truly paperless. Only important data in the documents are entered into a Single Administrative Document, then encoded into the Bureau’s computers which then take care of the release process. The documents are no longer used in the release process. The DiTI and the EDI are expected to spur Customs brokers to be more efficient to remain competitive.

The BOC-EDI gateway will do the following: facilitate document preparation and reduce data encoding errors; use the communications networks of the VANs; allow the client to lodge a declaration anytime of the day, and day of the week; increase the speed and efficiency of information lodgement and exchange; and provide access to the other global connectivity and markets.

The BOC is in the process of implementing the Super Green Lane (SGL) facility. The top 100 importers will be allowed ship-to-truck release of goods, no documentary check, no physical inspection, and post-release submission of documents. They can also be entitled exemptions from the truck ban. The qualified importers will pay PhP2,000 per transaction.

Top revenue contributors to the BOC with a track record of good and honest dealings are the prime candidates for the SGL. The objective of the SGL is to achieve a global Customs practice that is the 90-10 rule -- i.e., 90% of revenue is derived from 10% of the importers. Out of the 25,000 importers, 100 of them will be pre-qualified to join the initial stage. BOC will gradually add users to the system until it reaches its target of 2,500 importers. By that time, BOC will be operating on 24x7 basis to provide quality service to its clients.

Ford Motors, through its Customs broker Royal Cargo, made history by successfully submitting the first EDI Import Entry Declaration just last April 2000. Other importers -- Petron, Kodak, and Sony, should have submitted theirs by the time this book sees print.

BOC hopes that the SGL project will encourage payment of duties and taxes; effect secure, safe, and faster entry declaration; minimize congestion; and allow it to focus its resources on high risk shipments. It intends to be the standard of Customs operation in the future, not just a stop-gap process.

Information technology is playing a major role in this entire project. To qualify to be part of the SGL, importers must have the facility to do e-commerce through the use of EDI. To improve valuation studies, it will use statistical analysis software such as Metacube and SPSS for risk analysis and post audit.

Importers and exporters who wish to participate in the BOC DiTI/EDI program can contact:

Philippine Chamber of Commerce and Industry (PCCI) Ricci Estrella Assistant System Administrator Tel: 632-5276772, 5275092 Fax: 632-5275130 E-mail: [email protected] / [email protected]

4. SVINet Established in 1985, SVI is ranked 76th among Philippine corporations with sales

of over P6 billion in 1997, over P7 billion in 1998 and estimated over P10 billion in

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E-Commerce through EDI

1999. The company’s 2,000 employees are spread across six SM supermarkets, two Save More supermarkets, one SuperSale Club, and one central warehouse. Its EDI project is a small part of a bigger supply chain project that seeks to build “One Industry Serving the Customer”. Its business processes include marketing (purchasing, product, and supplier database); distribution (receiving deliveries and shipping store orders); warehousing (put away, picking, replenishment, adjustments, and physical count); store operations (merchandising, replenishment, point of sale, and customer service); promotions; and finance (payables/receivables).

Prior to EDI, the company would fax hundreds of purchase orders a day. Also, many products are supplied on a consignment basis. When products have to be returned for one reason or another, it would take almost two months before they could be pulled out, because of notification and scheduling time frames. New suppliers, for their part, have to go SVI and line up to be able to show their products.

EDI is critical in getting business communication across in an accurate and rapid manner, so that transactions like stock replenishments and payments can be processed in the shortest possible time. Without it, efficient replenishment is not possible, causing wrong decisions, wrong orders, delayed deliveries, wrong deliveries, out of stocks, overstocks, high inventories, and high costs to SVI and its customers.

SVINet started as a pilot project in 1994 with just five major suppliers. The first EDI purchase order transmission took place in April 1995. By this point, 11 suppliers had given their commitment. In the first two years from 1995, the number of suppliers grew to 22 but has since stalled.

Today, more than 150 suppliers are connected to SVINet. In the next few months, 500 suppliers will come on board. It has more than 300 suppliers in different phases of EDI implementation, connected either through a VAN or via the Internet.

Currently, the EDI messages being implemented through SVINet, using EDIFACT transaction sets (ECR Philippines subset), include Purchase Order, Credit Advice, Debit Advice, Payment Order, Debit/Credit Memo, Remittance Advice, Sales Report, Returns for Pick-up. The following are in various stages of development: Invoice, Price Catalogue, Order Response, Dispatch Advice, Order Change, and Receiving Advice.

5. MakroNet Established in 1995, Pilipinas Makro (http://www.makro.com.ph) is ranked 91st

among Philippine corporations in 1997 and 73rd in 1998 with 6.5 billion revenues. The company’s 1,000 employees are spread across its five branches (Cainta, Imus, Sucat, Novaliches, North Harbor) head office.

MakroNet started with 40 suppliers in 1997. It is currently doing EDI but will be moving towards Internet-based technologies.

6. Grocers Central Alliance Inc.

Big retail players in the grocery industry have always enjoyed the best deals from their suppliers especially on pricing and terms. With the looming implementation of retail trade and the continuous expansion of the big retail players, will our small and medium sized retailers soon be burned by the resources - technology, clout, and expertise - of the larger retailers?

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Fortunately, our SME grocery retailers are not allowing themselves to be left behind despite the limited resources. In 1995, several medium sized retailers banded together to share common facilities and agreed to form Grocers Central Alliance Inc. (Grocent). Jose Albert is the brains behind it. Its incorporators believed in having a distribution center (DC) to promote efficiency and take advantage of economies of scale to lower acquisition costs. At the same time, Albert immediately envisioned the e-commerce side of the business and rolled it out for the benefit of its members.

Grocent weighed the cost of hardware, software, and maintenance cost against the substantial inventory reduction, lower documentation cost plus speed, and accuracy in serving customer orders.

Through Grocent, members can avail of lower cost due to volume discounts, more efficient distribution, and higher availability of inventory due to buffer stocks in the distribution center. Members don’t need to invest as much in information technology since they share the resources for the warehouse management system. It built a central warehouse complete with staff for warehouse management, distribution management, and purchasing. All the member companies pay a subscription fee and membership dues to sustain the operations of Grocent.

Grocent’s business operations are currently limited to replenishment. So far, Grocent has been brokering orders between member stores and selected principals. When it started, Grocent acquired modern materials handling equipment. To realize the full benefits from these equipment, it needed an enabler and that was a good warehouse management system. Grocent then needed to link their customers to achieve efficiencies in documentation and making the merchandise available at store warehouses in less than 48 hours. The next area of development is linking the manufacturers themselves to Grocent.

There’s difficulty putting the system in place particularly in getting the organization used to the new procedures. There are steps that had to be followed and shortcuts are not allowed. For example, pulling out stocks from a pallet (the pallet location is identified so that should be the source) has two or three people working on one document when it should be one person so that accountability is established. And some customers send orders in trickles and with breaks so that when large orders arrive in between, their initial orders get delayed in shipment. But this has been remedied. Customers are asked to send in sizeable batches.

Grocent continues to evolve. When Grocent started its system, it was all EDI but they have decided to move on to an Internet based solution.

At present, Grocent has 47 grocery partners and 23 supplier partners. Only the multinationals are co-evolving with Grocent. According to Grocent, trading partners are enthusiastic particularly those with the capability and are working on their systems to be able to link to Grocent.

Grocent expects more competition especially with retail trade liberalization in the country. Grocent members will be better positioned for competition in terms of stock availability and cost of acquisition when that time comes.

Company Info: Company Name: Grocers Central Alliance Inc. Headquarters: 1238 EDSA, Go Soc Compound, Quezon City CEO: Jose A. Albert

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E-Commerce through EDI

What makEs an Edi/E-commErcE ProjEct succEssful?

There are several factors that can contribute to a project’s success. Here are some:

1. Before starting any e-commerce project, its project objectives and scope must be clearly stated. Preparation is everything!

2. The company’s commitment and support to the e-commerce project must be for the entire duration of the project. The determination must be there to complete it. EDI is about business rather than technology.

3. The project should have adequate funding and resources to complete and maintain it. Cost is not the only way to justify EDI. Its benefits to the entire business process or supply chain must be highlighted.

4. The company must have a capable implementation partner to ensure competent execution of the project.

5. Sponsorship, commitment, and support by the company’s top executives should be there.

6. A capable project team who truly understands the system from an organizational and technical perspective. Bringing trading partners on board is a complex project with many phases: education, equipping, software usage training, product installation, internal systems development, alignment/integration, parallel testing, and live implementation.

7. Willingness to streamline business processes. In any e-commerce project, there is a requirement to look at how existing business process is done and analyze whether this is acceptable and practical. Some processes will need improvement and change. The company’s willingness to re-engineer business process and improve is vital to the success of an e-commerce project.

8. Willingness of players to participate and shoulder costs in the project. Without that willingness, the project will not achieve quick growth. What you do internally sends a clear message to your EDI trading partners. If you can’t mandate your trading partners to do EDI, then pay for it. GTEB subsidized 40% of all one-time fees for the additional 200 new entrants! SSSNet subsidized only the transmission fees but the one-time entry fee remains the single biggest stumbling block. Fortunately, its EDI-Over-the-Internet initiative, which reduces the entry fee, is gradually encouraging trading partner participation.

To increase project participation by SME trading partners, companies must provide means for small suppliers to participate without being financially burdened with software and VAN investments.

9. Most big companies around the world that mandate the use of EDI have one thing to tell suppliers who would want to do business with them: “Do EDI or stop doing business!” It is a difficult stance but it’s the only way to go.

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What makEs an Edi/E-commErcE ProjEct fail?

We also have our own share of projects that never prospered for one reason or another. Here are some:

1. OSEDCNet The One-Stop Export Documentation Center (OSEDC) is an office composed of

the representatives of the Bureau of Customs and some other government agencies (Bureau of Animal Industry, Bureau of Plant Industry, Bureau of Fisheries and Aquatic Resources, Philippine Coconut Authority, Product Standard Agency, GTEB, Fiber Industry Development Authority, and DTI) issuing out commodity clearances to exporters. This office was set up to expedite the processing and approval of export documentation needed prior to the issuance of the Authority to Load by the Bureau of Customs.

OSEDCNet is a World Bank-funded project. Its objective is to automate the issuance of commodity clearances in the OSEDC. With EDI, it will facilitate transmission of electronic documents between government agencies. The project was completed in 1998 but the EDI transmission was not implemented.

2. BOC ETMS The Export Tracking and Monitoring Project (ETMS), a project of the Bureau of

Customs, will implement EDI in facilitation and monitoring of export declaration for all commodities. ETMS has piloted with BOC, Manila International Container Port (MICP), ICTSI, and selected GTEBNet users. The system was completed in 1998 but not implemented.

A project can fail if the following is bound to happen: 1. Lack of participation in front-end system development. Some companies rely and

entrust on the implementation partner to do everything for them then realize later on that the system developed was lacking and does not fit the requirements of the company. The implementation partner, on the other hand, does need inputs from the client, else the project will answer their needs, not the client’s.

2. Lack of push for trading partner participation. Some companies and government agencies do e-commerce related projects but did not have the determination to implement it in full extent, therefore realizing slow or no growth in terms of trading partner participation.

3. Lack of post-implementation agreement. When you plan for your project, create a provision on post-implementation. Else, you might end up encountering the mistakes of those who never had any provision for it and the project just died a natural death or stagnated in the sense of failing to upgrade the capabilities of the system.

4. Failure to add to initial e-commerce benefits. Never be contented with what your system is offering. Always look for ways to increase the benefits of the system. This will not only strengthen trading partner relationships but encourage those who are

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still hesitant in doing e-commerce into realizing its value. Trading partners, especially the SMEs that are not mandated or not subsidized to do EDI, should see very clearly the obvious benefit of EDI. That is the reason some believe that SSSNet will not grow as much, even with EDI-Over-the Internet and reduced fees, unless it adds other SSS modules especially those that benefit employers. A good example is the sickness and maternity benefit availment and reimbursement.

5. Constant changes in top-level project leadership. Changes in management always require rebuilding sponsorship, commitment, and participation, time that takes away from the momentum for the project.

6. Changes in project team membership. A loss of a team member more often than not affects the progress of the project, so make sure to document all phases of project execution and store the documentation properly.

7. Unwillingness of trading partners to innovate, streamline processes, and adopt e-commerce best practices. The mindset of trading partners needs to change. Investment in enabling technologies is not to be treated as an operating expense, but an asset investment that will drive new levels of service, competitiveness, and untapped business opportunities.

8. Lack of direction, plan, commitment, and funding for implementation.

9. Absence of service provider contract. A service provider contract demonstrates commitment on both parties on the extent of project implementation. It is mutually beneficial between the company and its service provider.

What is thE diffErEncE BEtWEEn Edi and thE intErnEt? Which is BEttEr?

Whenever EDI is being discussed, it can’t help being compared to the Internet. More often than not, it has caused confusion. The Internet is a public network while EDI is a messaging format or standard in exchanging electronic documents.

Which is BEttEr, Vans or intErnEt?

When EDI first started, it employed VANs to send messages across to trading partners. When the Internet became publicly available at a low cost, it provided means for EDI messages to be transported through the Internet rather than traditional VANs. That is why VANs are reinventing themselves by making their services available through the Internet as well.

But VANs will not be phased out. Big companies transmit hundreds, even thousands, of messages in a day. These are the companies that would still want to have their messages transported and maintained by a VAN, which they consider to be more secure, efficient, and reliable, justifying its cost.

SMEs who have limited trading partners and small budget can opt to receive and send EDI messages through the Internet.

E-Commerce through EDI

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arE standards such as Edi imPortant? hoW is it diffErEnt from

frEE-form data structurEs?

If your nature of business involves import and export of goods with trading partners who are already doing EDI both locally and abroad, then EDI matters a lot to you. Trading partners who comply with standards find it easier to do business with big companies who are already using it. Those who refuse to implement standards like EDI will find themselves, sooner or later, missing out on opportunities as big businesses will only deal with those who are EDI-capable.

But the SMEs who will not be doing with the big businesses of today can use free-form data structures where you’re in charge of how you want your data be presented, structured, and kept.

hoW many Vans do WE haVE in thE PhiliPPinEs? Who arE thEy?

There are several VANs in the country today. Two of which are:

1. EDINET Philippines, INC. MARK ANTHONY JAVIER President 6/F Ayala Life Building, 6786 Ayala Avenue, Makati City 1229 Tel:632-894-3896•Fax:632-894-5207 e-mail: [email protected]

There was no EDI happening in the Philippines until EDINet introduced it. The company, incorporated in May 1994, is a joint venture between Ayala Corporation and Singapore Network Services. It offers organizations all forms of electronic commerce services, particularly EDI at this stage, and its mission is to be a world-class provider of quality VAN services. Its goal is to spearhead and catalyze the growth of EDI and e-commerce in the Philippines. It has set up a lot of EDI communities from SSSNet, GTEBNet, SVINet, and MakroNet, among others.

The company saw then the strength and benefit of EDI as one of the most established methods of e-commerce. As the acceptance and reliability of the Internet have developed, EDINet has begun to combine the best of both worlds so that customers can have the choice.

EDINet started out with a single-server, single-node setup. All messages or transactions were exchanged using a single Unix server though a dial-up or leased line connection. It has now evolved into a multi-server environment and customers have the option to connect via direct dial-up, leased line, or through the Internet via their own ISP. It has also expanded its network through a nationwide frame relay network. It has points of presence in major provinces or cities nationwide. The company plans to have a total of 23 sites nationwide to expand the coverage of its VAN services and cater to other networking needs of clients such as connectivity to their own proprietary networks, intranets, and the like.

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2. INTERCOMMERCE NETWORK SERVICES, INC. FRANCIS O. LOPEZ General Manager Unit 1603, Antel 2000, 121 Valero Street, Salcedo Village, Makati City 1277 Tel:632-843-8050•Fax:632-843-8160 e-mail: [email protected]

G.E. Information Services started with a node of its global teleprocessing infrastructure in 1987, with the designation of Global Teleprocessing Services, Inc. (GTSI) as a local GEIS distributor. In the early 90’s, GEIS decided to change its network infrastructure from a very central system based in the US to a distributed system, or what is now the EC Center strategy - where an EC Center operated by a join venture company is established by GEIS in each country. The concept of the GEIS EC Center is part of GEIS strategy to provide local and global EC services to its growing number of trading partners.

GEIS started its EC business from the time-sharing era where computers were very expensive and yet very limited in capability. In the 80s and in addition to its EDI services, GEIS addresses the need for faster communication than cable and telex and provided email services globally - even before the Internet was heard of. Currently, the infrastructure is capable of WebEDI, web application hosting, multi-message format (any-to-any translation) in addition to the conventional EDI messaging, accessible via dial-up, frame relay, internet, VPN and leased line, on a 24x7 basis.

ICNS has an existing customer base, either with the multi-country support agreement with GEIS, or local companies with global transactions with their trading partners. It is the pioneer VAN in the BOC Gateway project.

E-Commerce through EDI

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CHAPTER 3

ESTABLISHINGYOUR PRESENCE

ON THE INTERNET

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What is a domain namE?

A domain name is your commercial address on the Internet. When putting up a Web site, one consideration that must be on top of the list is the registration of your domain name. This does not apply to those though who would rather avail of free Web hosting and subdomain pointers. Still, relying on another company for your Web hosting or domain name is like living in a virtual condominium. While an address at a physical condominium is a status symbol, it’s not the same in Cyberspace. Your own domain name is a sure sign that you have arrived on the Internet. Imagine an address at the same level as ford.com, chrysler.com, or ayala.com.ph.

A s i d e f r o m U R L s , y o u c a n a l s o g e t a n “ I n t e r n e t K e y w o r d ”(http://www.realnames.com) to facilitate easy access to your web site. Go to your favorite international search engine and see how it works. Janette Toral is a registered Internet Keyword.

I. Domain name registration

Domain name registrations in the .ph namespace cost US$70 (for two years’ registration) and US$25 annual renewal after the second year. Registrations for .ph names go through dotPH, Inc. (http://www.names.ph or http://www.dot.ph), except for .gov.ph and .edu.ph, which are handled by the DOST and PHnet, respectively. Applications for .ph names typically take two to three days. The .ph names available are both hierarchical (.com.ph, .net.ph, .org.ph, .mil.ph, .ngo.ph, .gov.ph, and .edu.ph) and flat, which don’t have the .com or .net before the .ph.

The .com, .org, and .net names, on the other hand, are handled by Network Solutions Inc. (http://www.nsi.com) or their authorized resellers. Registrations cost US$70 for the first two years, and U$35 annually after the second year. Some of NSI’s resellers also have arrangements with country-code Top Level Domain (ccTLD) administrators, so that you can have domain names in several countries if you choose.

It is important that you read the legal terms of agreement before proceeding from hereon. Ignorance and the lack of due diligence in reading the terms of agreement prior to accepting any online service does not excuse anyone from liabilities resulting from gross negligence.

II. Choosing a Web Site Hosting Service

It is hard to identify an honest, competent, and legitimate host company. While most local ISPs provide hosting services, a big bulk of Philippine Web sites are hosted in the US for reasons such as downloading speed, affordable rates, and availability of software and tools, among other things. As of this writing, digitalfilipino.com is hosted at www.affinity.net. Nevertheless, the Web hosting business is becoming more and more competitive.

ESTABLISHING YOUR PRESENCEON THE INTERNET

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If you’re planning to put up your site and have many hosting services to choose from, several criteria can help you decide as to which. Web hosting service is best for you. The criteria used by the Web Host Guild primarily influenced the criteria mentioned here. Please note that these are probably the minimum criteria that you should draw up. Your needs will be more sophisticated if your Internet requirements are far more complex.

• TechnicalSupport

Do they have a pager or personnel available 24 hours a day, seven days a week (24/7)? What one must realize is that putting up an e-commerce site requires you to be ready on a 24/7 basis especially if your products are targeted to global Internet audience. Does the Web hosting service offer guaranteed response times on emergency support requests and emails to technical support? The Web hosting service should be able to provide information as to how soon can they act on technical support related matters or any other queries. At the minimum, there should direct telephone support available for at least eight hours. If phone calls are answered by an answering machine system, response time should be mentioned. Incremental backups should be done at least once every 24 hours, with full backups weekly. In case your Web host’s server crashes, they should have the capability to restore its content. As a precautionary measure, make sure that you have back-up copies of your site. A Web page on the site where customers can check network/system status will be a nice feature as well but it is optional.

• Background

The company must have been in business at least 12 months. Start-up companies can also be considered provided they can demonstrate their stability in terms of resources and infrastructure. Ask for a 30-day or longer no-questions-asked money-back guarantee as added insurance. If the Web hosting service is offered by a reseller, it must offer full-time hosting support and meet other criteria mentioned here. It will be good to see that the Web hosting company already has a track record. Check their current hosted professional Web sites with contact emails as references so you can verify them.

• Reliability

The Web hosting service must be able to provide you the details of their connections: T-1, T-3, etc. They should be able to identify their Internet backbone providers with contact information for verification purposes. Web hosting companies who are hesitant in providing such information are highly questionable in terms of reliability. You should find out as well if the Web hosting service has a backup power system if normal electricity goes out. These are some nice to see, non-essential features such as Year 2000 compliance statement, downtime statistics for past year posted on site and kept up to date, and information on speed of internal network. You can also check for yourself and do comparisons on different Web hosting services using the simple tool traceroute, which you can also ask your friends to try from different ISPs.

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• Features

The Web hosting service should offer intermediate-to-advanced services, although this may vary, such as auto-responders, unlimited alias forwarding, upgrade options, client’s use of own CGI Scripts, DNS parking, Web-based account management area, secure server for e-commerce, and NT and/or UNIX hosting.

• Usage/AccessLogs

Access logs must be available for client’s information. The log analysis software can be provided by the Web hosting firm and there should be a minimum time that these access logs are kept and accessible.

• PaymentOptions

Web hosting services should be able to provide a variety of options where clients can make payments. They can either be online, check/money order, credit card.

III. Building Your Site

When putting up a Web site, the need for you to plan ahead is very important. The challenges that the Internet has brought have denied us a fixed decision in our Web sites over a period of time. You can’t cast your plans in stone.

Think long term. What do you want your Web site to be? If you intend to build an online store catalogue, you will have to exert the necessary market study and look for the different Web sites on the Internet with concepts similar to yours. Look at their features. What’s hot and what’s not? What will make your site different from theirs?

On the technical side, find out what are the different strategies you can take to build the Web site and the process of maintaining it, from the simple to the sophisticated and the costs involved.

Depending on your technical resources, you may opt to build the site from the ground up or lease an application on the Internet. Example, digitalfilipino.com offers free @efilipino.org email. I did not create or code the email facility from the ground up, instead I availed of a free service from everyone.net. If you intend to put up an online store and don’t have the infrastructure to build the catalog, you can opt to lease instead at http://store.yahoo.com or http://www.icatmall.com. Here, Boombayan.com tried offering the service. As of this time, the site is currently under renovation.

On the programming and Web development aspect, don’t ever take anything for granted. Realize that your vision, especially the great ones, can be more complicated than you think in terms of execution - meaning the nitty-gritty part of it, programming.

The Web site part of your business should be integrated with your back-office operations. It is the only way you can be efficient. Right now, if someone orders at your site, you might at first check manually if you have sufficient inventory. But soon, you need to be able to interactively tell your site visitor right away, or risk losing a sale.

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Fulfillment is also a very important issue that a lot of companies tend to ignore or underestimate. You must plan and decide the area of coverage where you could do business. What is your return policy? What are the terms and conditions that you offer? If the product gets lost in transit, will you replace it? How will you monitor your delivery shipments? These and more are the things that you have to take care of before offering any offering any product or service online.

• CollectingPayment

If you are opening an online store and want to give your customers the convenience of paying through credit card, then you need to sign up for a merchant account and get your company accredited. There are now at least four companies that you can approach and negotiate for possibly accepting payment over the Internet:

Authoriz.Net JJ Soriano ([email protected])

Equitable Card Network (http://www.equitablecard.com/ecnhome.html) Robert Silerio ([email protected])

First E-com (http://www.firstecom.com/) Anders Green ([email protected])

Cybersource (http://www.cybersource.com.sg/) Jeat Wong ([email protected])

Please note though that an online store merchant must be able to present his concept to the credit card merchant and it has to be approved like everybody else’s. The store merchant has to sit down with credit card merchant and defend his model based on certain criteria. There are technical issues and business issues the store merchant has to comply with.

Credit card merchants follow a certain procedure. The local companies are following a very deliberate (i.e., slow) approach and would like to work on models that they think can work in their favor (as merchants and acquirer/issuer), considering that it is not (yet) protected by any laws.

For Authoriz.Net, Philippine merchants pay a registration fee of US$350 to become part of the system. It collects 5% to 8% per transaction. Currently, the system accepts international VISA and Mastercard. Soon, it will also accept Diners Club and BPI.

Depending on the number of products that you’re going to sell, I suggest that you think twice whether you wanted to sell your products directly or go through other channels.

If you’re still starting, I suggest that you join existing online sites and offer them commissions to sell your products. This way, you don’t have to worry about the infrastructure immediately. This can be a good alternative until you’re able to set up your own and you’re satisfied with the response of the market. Sites such as E-Store

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Exchange, I-EZ.Com and AsiaWorldOnline are open to this arrangement. If the product is ideal for gift-giving, you can also Turoturo.com and Ayalaecenter.com.

• SecuringyourSite

Security can mean a lot of things. On the site operation aspect, ensure that you protect yourself from any damages and liabilities that may arise. Have your disclaimer notice, privacy policy, copyright notice, and terms and conditions reviewed by a good lawyer. On the technical side, if you don’t have the expertise to guard your site 24 hours a day, you may opt to have it hosted with third-party service providers who have security procedures, tools, and personnel in place. Make sure that all agreements that you enter into are all properly reviewed and to prevent future disappointments and regrets.

Once you cover the security, operations, collection, market, technical, and design aspect it is now time to assess your capital resources.

• GettingVentureCapital:Doyouneedone?

One way to get rich is to start a company. The Internet presents opportunities to aspiring entrepreneurs whether big or small, to the experienced professional or new graduates.

What business models will click on the Internet and what will not? When is a project proposal worth bringing to a venture capitalist?

As a potential entrepreneur, you must present an idea or concept with a business plan, a simple document that explains the business concept is and how will it operate, and how much money it can make. Then present it to VCs and business angels.

One good piece of advice that I got is, “Don’t waste valuable time thinking about raising venture capital until you have convinced yourself that your venture will generate substantial wealth for yourself and your investors. You must have the burning desire to build an enterprise that will seize every opportunity for profitable growth and provide liquidity for your investors. The venture must be positioned in markets that provide such opportunities.”

The regular VC writes an equity fund and goes into business. The VC invests money into the business and maybe in about three to five years, the VC pulls out. On the other hand, a business angel puts its equity and value-added services, gives ideas, and provides funding. The business angel exits after a certain period of time. The business angel is in there actively helping the business, while the venture capitalist is there putting in the money and taking a look at how much they are making on their investment.

VCs and business angels can invest as high as 50 million pesos. Unlike in the bank’s pawnshop mentality (meaning it can lend you money but you must pawn your land title), the VC takes a look at the project or concept and takes a look at the person sponsoring the project. Then the VC will put its money as equity but not as a loan,

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and negotiate how much the entrepreneur will give the on the VC’s equity. Now the VC and business angel become part owner of the business.

As much as possible, aim for middle-market to high- potential ventures to really make a difference especially now that the Internet VC battlefield is dependent on the viability of the proposition.

From our side of the world, no matter how good your product is, you may rely on bootstrap financing and from individual investors who believe in your concept and start building the product. Finding these people who will finance and back you up technically is not that easy but disappointments and failures can make you stronger and wiser.

When the right time comes, you can start tapping big venture players and put yourself in a better position since you already have something to show that can be the next generation’s super sites and intelligent, innovative products.

There are also many reasons why entrepreneurs fail in their dot.com proposals and

projects. These reasons, incidentally, may apply also for non-dotcoms.

- absence of a well-defined business plan; the investor’s unfamiliarity with products, processes, or markets.

- in the case of angels, the business’s unattractiveness to the investor. - lack of confidence in management. - unsatisfactory risk/reward ratios.

• MarketingYourSite-RegisteringYourSitewithSearchEngines

Once you have that Web site up and running, the next step is for you to register your URL with different Philippine and international search engines.

Typically, you browse the registration Web site and look for a link named Add URL, Add Web Site, or Register Web Site.

What are you waiting for? Register your web site now and let the whole cyberspace know about it!

• PhilippineSearchEngines

Yehey (http://www.yehey.com) EDSA Philippines (http://www.edsa.com.ph/) Sentro (http://www.sentro.com/) Tanikalang Ginto - Filipino Links (http://www.filipinolinks.com/) PinoyCentral - (http://www.pinoycentral.com/) Go Pinoy - (http://www.gopinoy.com/) Online Metro - (http://www.onlinemetro.com/index2.html) Cybertambayan - (http://www.cybertambayan.com/) Owey - (http://www.owey.com/)

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RPLink - (http://www.rplink.com/) Pinoywebsites - (http://www.pinoywebsites.com/) Philinks - (http://www.philinks.org/) Orientation Philippines - (http://ph.orientation.com/) PhilShop - (http://www.philshop.com/) RPDir - (http://www.rpdir.net/) The Pinoy - (http://www.thepinoy.com/) Global Pinoy - (http://www.globalpinoy.com/search.htm)

• Directories

E-YellowPages.ph - (http://www.e-yellowpages.ph/) PhilYellow - (http://www.philyellow.com/) PinoySearch (http://www.pinoysearch.com/)

• InternationalSearchEngines

Hotrate - (http://www.hotrate.com) (Get paid when you submit your site here as a reviewer. I’m currently a level 3 editor here.

You can contact me via my id, Janette_Toral.)

Yahoo! (http://www.yahoo.com/) Altavista (http://altavista.digital.com/) Excite (http://www.excite.com/) Hotbot (http://www.hotbot.com/) Infoseek (http://www.infoseek.com/) Lycos (http://www.lycos.com/) WebCrawler (http://www.webcrawler.com/)

• UsingEmailandMailingLists

Using email as a tool for marketing can be a little bit tricky and is not as easy as it seems. Sending unsolicited bulk email can be damaging for you and earn you a reputation as a spammer. I never missed a day without receiving junk email. Do I read them? I hardly do, and they almost always go directly to the trash bin. I’m sure most people just ignore them.

One thing that you may try instead is a mailing list to promote your products and service. This way, those who you send email to have given consent that they want to hear more from you. It’s easy enough to add a mailing list subscription link on your Web site. But in order to make a mailing list click, consider putting value-added information or service to your subscribers like informative articles and special subscribers-only promotions.

Egroups.com and listbot.com are very popular in offering these services for free.

• AffiliateMarketingandAdvertising

Internet developments in the country are still very new and for that reason, there’s little market for Internet advertising at this stage as well. This is why Webmasters and content managers will have to be creative in making earning opportunities to make their site pay just enough to maintain its cost per month, at the least.

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Affiliate partners offer commissions in terms of flat rate or percentage fee. It is wise to partner with the right affiliate partner to avoid scams, among others. When shopping for the right affiliate partner, don’t just insert any advertisement in your site. Choose the one that will appeal to your readers. Perhaps what can strike your interest and encourage you to click might encourage your readers as well.

I only hope that time will come when our Filipino merchants will also realize the importance of this viral affiliate marketing strategy, where merchants will only pay those that deliver results and Webmasters can have the option of whom to partner with.

Advertising in Philippine web sites is not that expensive actually. You can get a prime space in a web site from 2,000 to 40,000 pesos per month. But the number of traffic, hits and visitors will not always be the barometer as to where one should place their advertisements. What matters more is the quality of people that one drives to their site.

Affiliate programs like linkshare.com, reporting.net, commissionjunction.com, and flycast.com can be a good stop for you. Our best lesson learned in this area is to have some form of consistency with your advertisement. If each page of your site has a different banner ad, chances are, the banners that you inserted will never be clicked.

These affiliate networks have hundreds of merchants in their roster, each one ready to offer revenue opportunities. It is best that you get the one that is most appealing to your site visitors.

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casE studiEs on intErnEt-BasEd sitEs

Pinoymail.com

Pinoymail.com is the country’s first free email service. The site started with the firm conviction that in spite of Hotmail and other US-based free e-mail providers, Filipinos would subscribe to a Filipino free e-mail service. It got 2,000 registrations on its first day, March 9, 1998. From 135,000 subscribers, it now has 271,000 subscribers. It plans to reach 1 million Internet users before the end of the year 2000.

Pinoymail’s strategy is to invest in building communities of users and developing alliances that cater to the Filipino worldwide population. Pinoymail.com subscribers are generally young and literate and possess spending power. Seventy-five percent of Pinoymail.com subscribers belong to the 18-30 age bracket; 60% are professionals, college graduates or college students. Pinoymail.com’s monthly page views average at 2 million a month, attesting to the popularity and high usage of the site. Pinoymail.com will be available soon in seven major Philippine languages within the month: Tagalog, Cebuano, Ilocano, Ilonggo, Kapampangan, Bisaya, and Pangasinense.

The company intends to generate its revenues through advertising. It will have at least 10 paying advertisers in the next three months although positive bottom line revenues are not expected to be gained this year. Soon, the site will introducing its Pinoymail.com greeting cards project which may operate as a separate site. It is also going to launch a points program, Pinoymail Points. This means users earn points by logging in. There will be a prize for those points like a free drink at some popular place in town.

“Cellular phones and pagers are a part of many people’s lifestyles, and in like manner, we would like email to be up there too,” Pinoymail co-founder Dom Danao said. The New Pinoymail.com Pinoymail.com was sold last January 5, 2000, to New Net, a key person of whom is Orlando Vea. Danao has a nominal share holding of 10%. The site got a PhP100 million capital infusion which is now being used in improving the infrastructure and hiring of people on the technical and marketing field.

The site is running on a Linux server in tandem with the Apache Web server software to assure that they get Pinoymail when and where they want it. The facility is hosted in Virginia, US. The company started with two employees, then five, with Danao the only one who went full-time. There are currently 12 on the team.Trabaho.com

Trabaho.com, the Philippines’ first job site, was put up around October 1996. Setting up and establishing trabaho.com was difficult. Companies and people did not appreciate the value or the benefits of the Internet could bring at that time. The company has 30 staff running the Web site. Trabaho.com charges companies PhP700 for one position job advertisement for one week. The main criterion to have a job posting in Trabaho.com, aside from agreeing to terms of payment and duration, is the credibility of the business.

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Its concern is to avoid fictitious or fraudulent companies from posting want ads or to be a part of such schemes. It does some due diligence on the company itself before allowing those ads to be posted.

It offers customization of job openings to its clients. The client determines the design. It’s not a template type, it’s the client’s unique design. Thus, each company on Trabaho.com has their own distinct advertisements. With regard to security, applicants send an e-mail directly to the company should a job opening interest them. The client also appreciates the confidentiality rather than having a third party access to those materials.

Trabaho.com generated PhP375,000 worth of revenue on its first year (1997) and doubled for the past two years. It expects to achieve it again this year. Its sources of revenue depend on the clients which are charged based on how many positions they would like to post and on the duration of their advertisement.

Yehey.com

Yehey.com is the Philippines’ first search engine. Its story began in 1995 when Alistair Israel met with company vice president David Quitoriano and others from the Ateneo, got together in yuppie meeting places like Streetlife and Pancake House to debate concepts. Even in 1995 they felt the Internet would be big. To start off the company, they borrowed money from their parents and started with a capital of less than PhP500,000.

They incorporated as Fiesta Online in 1997, bought some hardware and software, and in February of 1997, Yehey.com went online. Yehey.com was Fiesta Online’s proof of concept that it could do database, programming, and Web development work. After the launch, the group realized that there was no outstanding, central collection of Philippine Web sites and links, so they decided to come up with a search engine focusing on Philippine Web sites.

The name, Yehey, is a take-off from Yahoo. Their idea of a Philippine version of Yahoo. Yehey’s traffic has risen steadily from the time it started. It started with something like 2,000 Web sites and a little less than 100 hits a day during the first week. By the end of 1997, it was already getting something like 4,000 hits a day and that many Web sites as well. In a span of few months, it doubled its traffic and content and it has been like that year after year. In 1997, it was basically David Quitoriano and Alistair Israel working in a rented apartment with two computers using a dial-up phone line - Yehey.com’s server is co-located in IPhil Communications. Then next year, they were approached by the WS Computer Publishing group, the company behind Philippine editions of PC World, Computerworld, and The Web. With new financial resources and management expertise, the company reincorporated as WS Fiesta Online with WS Computer Publishing owning 70% of` the company.

From two people in 1997, the company has grown to 25 people at present, expecting to be a 50-employee company by the end of the year. Bringing Catcha.com in as a partner

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in 1999 brought more expertise and resources and allowed faster growth. The vision of Yehey is to retain its lead as the number 1 Philippine search engine.

Yehey’s emphasis this year is the building of its community of interest among Yehey users. It also recently introduced Yehey Mail which provides free email to its Club Yehey members. In February, it launched Yehey eCards and Yehey Forums which enable club members to discuss topics of common interest. It aspires to have each and every Philippine Internet user as Club Yehey member. A points-based rewards system, City Guides to major Philippine cities and, by the end of the year, e-commerce opportunities will further increase the “stickiness” of the site.

Turoturo.com

Turoturo.com is an online store featuring entertainment and lifestyle products from the Philippines. It sells export quality products and its target market are Filipinos living abroad and foreigners who appreciate Asian arts and crafts. It brings specialty goods which are hard to find in the US. The site sells books, video, CDs of the Filipino Bookstore (Bookmark), souvenirs for wedding favors or corporate giveaways, and art prints.

It offers information as well through its calendar of events, customs and traditions, in the spotlight section sponsored by The Philippine Star and The Manila Bulletin USA. Payment is done via Visa and Mastercard through encrypted technology. It partnered with Escalate of Redwood Shores, CA to ensure that the shopper has a safe shopping experience. Currently, turoturo.com has 268 (as of March 1, 2000) purchasing clients, some of whom are repeat buyers. It seeks to grow the customer base to 2,000-3,000 by the end of the year. Target gross sales is from PhP 500-800 thousand pesos.

The site had a soft launch end of November 1999. Most of its advertising campaign is done outside the Philippines such as Fil-Am newspapers and newspaper websites. The site is not just geared towards Filipino buyers. It carefully selected video titles to those that would appeal to non-Filipinos as well (i.e., Rizal, who has an international appeal). Its souvenir products are “one of a kind” which is why it has a limited selection for now. It is careful with the products that it sells on the site, and careful with the suppliers they invite to join its network. Rather than have 10x the number products just to fill up its store, it sticks with few really good products. Its target buyers are not the people in the US who can order gifts for people in Manila. Instead, it “brings the Philippines” to their doorsteps.

The company currently ships to the US and will be shipping to more countries by mid-2000. Building good customer relationship is very important for Turoturo.com. When a customer buys the first time, its job is not done. When they come back a second, or a third time, it means it is doing something right. Soon, the site will also be offering reseller programs where people in the US can act as a reseller of turoturo products in their area. The program will be launched by June/July 2000.

Case Studies on Internet-based sites

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THE DIGITAL FILIPINO

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CHAPTER 4

FREQUENTLY ASKEDQUESTIONS

ON THE PROPOSEDE-COMMERCE BILL

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FREQUENTLY ASKED QUESTIONSON THE eCOMMERCE BILL

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this guide was created with the intention of helping you understand the E-commerce Bill better. It was collated by Atty. Rudy Quimbo based from the Senate interpellation on the Senate E-commerce Bill. Please refer to Senate Bill 1902 and House Bill 9971 for guidance on the current structure of the pending bills. Once the House Bill is finished, both chambers will take it to a bicameral conference and approve a final version of the bill for President Estrada to sign.

Authentication •Whowillperformthefunctionofauthentication? • What ensures reliability in the communication, transmission, and storage of

forms? •Howdoweensurethatthepeoplewearedealingwitharewhotheypurportto

be? •Giventhatweareusingelectronic/digitalsignatures,shouldwenotmandatetheuse

of third party intermediaries, e.g., certification authorities? •Mustnotthebillcontainaprovisionthatifitsprovenanceorsourceisnotidentified

with telephone numbers, etc., that such is illegal and will not be given legal effect?

Consumer Protection

•Asofnow,isthereclearprotectionforbuyersandthosewhomayhaveinterestine-commerce?

Contracts

•Howwillprovisionsinacontractbepreserved? •WhenthetitletogoodsbeingpurchasedpassestothebuyerinthePhilippines,who

will bear the loss? In case one orders through the Internet, who bears the loss, if such is lost in transit?

•Ifthereisavariancebetweentheelectronicrecordsofthesellerandthebuyer,whichone will prevail?

•Howdoweensurethatthereisnorepudiationofcontractsvalidlyenteredinto.Parties may later on say that, “I did not send that message!” What do we do now?

•Willnot thedefinitionofelectronicdata,when it says theremustbeanagreedstandard, not stifle the freedom to choose whatever software then available?

Coverage

•Whatarethedealingscoveredinthisbill? •Doesthebillintendtocovertherulesonwillsanddonations? •Whatisan“original”forthepurposesofthisbill? •Shouldtheterme-commercebelimitedonlytotheInternet?

FREQUENTLY ASKED QUESTIONSON THE eCOMMERCE BILL

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•Regardingretailtrade,arewenotallowingthedoingofbusinessinthePhilippinesby businesses not registered here in the Philippines?

Electronic Evidence

•Will ourbe judgesbe ready for the introduction andappreciationof electronicevidence?

Government

•Howwillgovernmentmonitorthetransactionsforrevenuepurposes? •Givenalotofunscrupulousbusinessmen,wouldtheBIRnothaveanevenmore

difficult time what with the absence of paper receipts? •Willthebillaffectthepowersofthelocalgovernmentunitstoimposetaxes? •Whoingovernmentwilloverseetheimplementationofthisbill? •Shouldwenotgoslowindraftingalaw,whatwiththenewnessofthebusiness?

Hacking

•Whyarewepenalizinghackingwhenhackerasatermdoesnotnecessarilymeanabad person?

Postal Service

•HowwillthegoodsorderedthroughtheInternetorthroughemailbedelivered? •Giventhedismalrecordofthepostalservice,whatwithseveralreportsofpilferage,

how do we ensure that such will not be the case here?

Service Providers

•Whataretheresponsibilitiesofaserviceproviderinthissituation?

•Whatifpiratedsoftwareismadetopassthroughthem,shouldnottheybearsomeresponsibility?

authEntication

Q Who will perform the function of authentication?A The parties themselves may. If the matter reaches the courts, the courts themselves will

ensure authentication. Such may also be handled by third-party authenticators, e.g., credit card companies, or service providers, or digital signature or certificate issuers.

Q What ensures reliability in the communication, transmission, and storage of forms?A Reliability is assured when the elements of unalterability, integrity, credibility, accuracy,

and originality are met.

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Q How do we ensure that the people we are dealing with are who they purport to be?A The responsibility of those who enter into e-commerce in identifying the other person

works both ways. One should not deal with another whom you have no confidence in. It would be folly for government to hold the hands of every business person for government is utterly incapable of doing such. To answer the question, there are several technologies available in the market from encryption to public key encryption technologies which grant a certain amount of certainty that what you are doing is secure, and that the person you are talking to is indeed that person who presents himself to be.

Q Given that we are using electronic/digital signatures, should we not mandate the use of third party intermediaries, e.g., certification authorities?

A The parties to the transaction must be allowed the freedom to choose the method in sending and receiving messages. We must respect their autonomy. If we require the use of certification authorities, we might be forcing the parties to a transaction to incur unnecessary expenses, especially when the amount involved in their transaction is minuscule.

Q Must not the bill contain a provision that if its provenance or source is not identified with telephone numbers, etc., that such is illegal and will not be given legal effect?

A This is the problem exactly of anonymity. But if we require provenance, supposing there is libel in cyberspace and the source is secret, do we not allow prosecution of that libel? We should. Secondly, despite what has been said, complete anonymity in cyberspace is hype. For whatever you try to do to render yourself anonymous, you always leave an electronic trail in the process of logging in, navigating the Web, etc.

consumEr ProtEction

Q As of now, is there clear protection for buyers and those who may have interest in e-commerce?

A This bill precisely tries to address such fears and uncertainty. If there is no delivery or mis-delivery, will I be able to seek relief in court? We are saying here in this bill that if and when you decide to go to court, we are assuring you that the evidence you may be presenting — in electronic form - will be admissible by courts. The weight of the evidence presented, of course, will be another matter, for that is addressed always to the sound discretion of the judges.

contracts

Q How will provisions in a contract be preserved?

A The same be stored electronically, and may employ encryption and digital signature technologies to ensure the integrity and unalterability of the documents in electronic from.

FAQ on the eCommerce Bill and other Legal Issues

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Q When the title to goods being purchased passes to the buyer in the Philippines, who will bear the loss? In case one orders through the Internet, who bears the loss, if such is lost in transit?

A The answer to this question will depend on the agreement entered into. For example, if you buy from amazon.com, you are immediately charged through your credit card once they ship the goods. Although this arrangement will tell us that the title of the goods has passed on to the buyer from that point, experience tells us otherwise. What amazon does is tell you when the goods will arrive. If, on that date the goods do not arrive, you tell amazon that they have not, so what they do is either re-send the goods or reimburse you through the same credit card. The same rules obtain in other e-stores. Therefore, from that point of view, it is always the seller that bears the loss. Nothing however will prevent the parties from stipulating otherwise.

Q If there is a variance between the electronic records of the seller and the buyer, which one will prevail?

A It will now be for the courts to decide which records appear to be more reliable.

Q How do we ensure that there is no repudiation of contracts validly entered into. Parties may later on say that, “I did not send that message!” What do we do now?

A This question is better left then to the courts to determine who is telling the truth. Even in transactions we currently undertake in the physical world, there still are some problems that ensue when one party repudiates an agreement. That is why the courts are there to decide who has the stronger evidence, or to determine when such has been violated. It will be impossible to legislate good manners and right conduct. What is important is that the courts are there to arbitrate an issue.

Q Will not the definition of electronic data, when it says there must be an agreed standard, not stifle the freedom to choose whatever software then available?

A Not really, because in fact it recognizes the freedom of the parties to agree to a particular standard that they will use in the transaction.

coVEragE

Q What are the dealings covered in this bill?

A Business and non-business alike.

Q Does the bill intend to cover the rules on wills and donations?

A As it is now phrased, the bill is supposed to cover only business transactions. But a closer reading will reveal that because we are dealing with electronic data messages, wills and deeds of donations that are created in electronic form may eventually be included.

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Q What is an “original” for the purposes of this bill?

A It is such if it provides an assurance as to the integrity of the information, and that it is capable of being displayed whenever required.

Q Should the term e-commerce be limited only to the Internet?

A No, it should encompass any commerce that is entered into or processed electronically: through the wires, or through wireless applications.

Q Regarding retail trade, are we not allowing the doing of business in the Philippines by businesses not registered here in the Philippines?

A What Amazon does is in a sense do business, but it is not doing business here in the sense that they do not have physical presence here which is the operating consideration when determining whether one is doing business here or not. Secondly, amazon only does have a Web presence. Its presence does not enter the Philippines unless a Filipino accesses its Web page while surfing from the Philippines.

ElEctronic EVidEncE

Q Will our be judges be ready for the introduction and appreciation of electronic evidence?

A I believe by and large that they are not yet ready. But it is the duty of the Supreme Court to make them ready. They must be trained in this new paradigm, otherwise how will be able to adjust to the new economy?

goVErnmEnt

Q How will government monitor the transactions for revenue purposes?

A This is the very problem that still is a subject of very heated discussion in the US. Even they have not been able to resolve the problem yet. That is why our bill is tax-neutral, because we should not impose new taxes on e-commerce, for that would be tantamount to taxing the way of doing business and not business itself. I believe that the bulk of things that have been ordered online will still pass through either our sea or airports, thus we may tax the goods that reach our shores through importation fees or tariffs, which is what is happening today.

Q Given a lot of unscrupulous businessmen, would the BIR not have an even more difficult time, what with the absence of paper receipts?

A The BIR itself in a position paper said, “electronic processing of transactions with the BIR will be more convenient on the part of taxpayers, and therefore will encourage

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compliance with our Rules and Regulations. Compared to manual processing, electronic processing on the part of the taxpayer will: a) enable the taxpayer to electronically file his return, thereby improving the accuracy and timeliness of the return; b) facilitate immediate posting of returns into the taxpayers’ ledger, and immediate processing of refund claims; c) make phone-filing possible for individuals with break-even and non-paying returns; d) minimize cost and effort; e) enable filing anywhere, anytime; and f ) minimize taxpayer contact with BIR personnel.

Q On the part of government, it will: a) lessen the unnecessary printing of forms; b) virtually eliminate encoding and verification costs; c) minimize administrative costs of receiving, handling, processing, and storing of paper returns.

Q Will the bill affect the powers of the local government units to impose taxes?

A It is not supposed to affect any tax provisions already extant. The goods when they arrive here are still subject to duties.

Q Who in government will oversee the implementation of this bill?

A The Department of Trade and Industry.

Q Should we not go slow in drafting a law, what with the newness of the business?

A The delay is precisely what is retarding the growth of e-commerce here. Many want to do business here but the lack of a legal framework and protection for electronic commerce is deterring many of them. They would rather go to Singapore or Malaysia where they are assured of legal protection.

hacking

Q Why are we penalizing hacking when hacker as a term does not necessarily mean a bad person?

A What basically we are punishing is unauthorized access with the intent to steal or destroy or do harm. We had to look for a term to encompass this activity. And ̀ hacker’ has become the most commonly used and accepted term for this activity. `Cracker’ may also be used as a term interchangeable with hacker.

Postal sErVicE

Q How will the goods ordered through the Internet or through email be delivered?

A It may be delivered through traditional means -- through the post office, or through private cargo handlers through land, air, and sea.

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Q Given the dismal record of the postal service, what with several reports of pilferage, how do we ensure that such will not be the case here?

A Actually, that problem cannot be resolved here. This bill does not seek to solve all problems of our bureaucracy. There are laws that are applicable to this problem: laws against theft, anti-graft and corrupt practices act, etc. It also needs be stated that even in a non e-commerce situation, the integrity of the postal system is the responsibility of all.

sErVicE ProVidErs

Q What are the responsibilities of a service provider in this situation?

A The service providers or electronic data exchanges are seen as mere conduits of the communications process. They are not allowed to alter or change the messages being sent through them.

Q What if pirated software is made to pass through them, should not they bear some responsibility?

A They should, but only if the passage or transmission through their system of the pirated software was done with their active cooperation. But we should not here create additional burden upon the ISPs, by making them responsible for the transit of such pirated software. The consequence is that we will be making it a requirement that they monitor the electronic traffic that passes through. The consequences may be more than what we are bargaining for -- invasion of privacy of communications. I would rather that they are held responsible only if they allow the traffic or participate in the traffic themselves. At least here the burden will be on those who will be suing them and not the other way around.

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CHAPTER 5

E-COMMERCEIN THE PHILIPPINES

An interview withPRESIDENT JOSEPH ESTRADA

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PhiliPPine President JosePh eJercito estrAdA sees electronic commerce as an important driving force that could fuel the Philippines’ economic growth and development. “For an emerging economy like the Philippines, this is a development we cannot afford to ignore since it presents a huge opportunity for us. This is particularly significant since we are positioning our country to serve as host to various service-oriented businesses, especially IT and related industries.”

E-commErcE Bill

The legal framework for the country’s participation in electronic commerce is also around the corner with the passage in the Senate of the E-Commerce bill. The bill defines Philippine policies on electronic transactions and will enable us to participate actively in this global trend for trade and commerce. Currently, the bill is at the deliberation stage at the House of Representatives. The Senate version was already passed last April 2000.

can thE PhiliPPinE goVErnmEnt adoPt E-commErcE?

One of the highlights of the bill seeks to mandate the government to become e-commerce-enabled by 2002 to allow it to compete with other countries in the region. But there has been a lot of skepticism about whether the government can do a full re-engineering of its business processes to competitively apply e-commerce. “I created last October 1999 the Presidential Committee for Effective Governance (PCEG), through Executive Order No. 165, which I have directed to immediately formulate and implement measures not requiring legislation, to streamline, simplify, and strengthen government business processes and speed up the delivery of key services to the public. One key area that the committee is now looking at is the wider application of information and communications technology (ICT) to improve business processes in government,” said Estrada.

There are already several initiatives in government in the application of e-commerce. The Garments and Textile Export Board of the Department of Trade and Industry set up the GTEBNet, an electronic network for textile quota administration, export documentation, and import authorization. The project has been operational since 1994. The Social Security System, on the other hand, is in the process of implementing on-line kiosks that will allow its members to do their transactions digitally, in lieu of the traditional over-the-counter transactions.

Last November 5, 1998, Estrada personally launched the first Internet-based low-denominated Philippine Treasury Issues Trading System. According to Estrada, “This will allow our small savers, anywhere in the country, to participate in this innovative treasury notes trading system. This is a project of the Bureau of the Treasury, in cooperation with the Bangko Sentral ng Pilipinas and the Bankers Association of the Philippines.”

E-COMMERCE IN THE PHILIPPINESAn interview with President Joseph Estrada

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arE thErE sPEcial factors holding Back thE PhiliPPinEs in doing E-commErcE?

One of the factors identified is the limited access to and high cost of telecommunications services. He said, “Under my administration’s Medium Term Philippine Development Plan, or “Angat Pinoy 2004”, we have set as our priority over the next 4-5 years the development of our Philippine Information Infrastructure (PII). The PII would consist of physical telecommunications links, multipoint multimedia distribution systems, and value-added services such as Internet access and e-commerce. We have also set as our target the establishment of local exchange services in all municipalities by the end of my term. To accomplish these, we are encouraging private and foreign investment in the telecommunications sector. We are studying the possibility of increasing foreign ownership in telecommunications and other utilities beyond the 40 percent limit.”

thE PhiliPPinEs’ adVantagEs and disadVantagEs on E-commErcE

The Philippines clearly enjoys a number of advantages in pursuing e-business, particularly with international partners.

Estrada highlights, “First, we have a policy environment fully committed to the principles of open market systems and which encourages creation and innovation, two factors that are very critical for e-business to flourish. This commitment is evidenced by the investment-related reforms that we have instituted and continue to pursue.”

Investment incentives have been rationalized with the passage of the Omnibus Investment Code in July 1987 and the Foreign Investment Act of 1992 increasing the allowable foreign equity participation in non-priority investment areas up to the limits set by the Constitution.

In the area of trade and industry, the Philippines continues to pursue two major strategies, which are trade liberalization and tariff reform. These are aimed at promoting more dynamic, efficient, and competitive industries.

“Regarding intellectual property rights (IPR) protection to encourage creation and innovation, particularly in software and multi-media development, R&D, and design, we have in place Republic Act No. 8293, otherwise known as the new IPR Code of the Philippines, which imposes stiffer penalties on IPR violations.” The Intellectual Property Office (IPO), considered the guardian of IPR in the Philippines, has also been established pursuant to the said Code.

“Over and above all this, the Philippines enjoys a strong competitive advantage over most of its Asian neighbors in terms of our highly educated, easily trainable, very creative, multi-skilled, English-speaking manpower and managerial pool, all of which are essential to e-business and other knowledge-based industries. Wage and salary levels remain competitive, while worker productivity, creativity, and a growing track record of successful IT work are the hallmarks of the country’s labor force as known and recognized worldwide.”

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Philippines main disadvantages at present are limited access to and high cost of telecommunications services. “We are now addressing these by further opening up our telecommunications sector to foreign direct investments and partnerships that will further spur the development of our telecommunications infrastructure. Such development will certainly redound to the benefit of the greater mass of our people and result in the wider use and application of e-commerce and other value-added services,” said Estrada.

PhonE mEtEring: to mEtEr or not?

Estrada directed the National Telecommunications Commission (NTC) to defer the implementation of the telephone metering scheme until a more comprehensive study is conducted. To date, the NTC is conducting public hearings and soliciting policy guidance from the Department of Transportation and Communication, which is responsible for developing telecommunications policy and for supervising the bureaucracy of the NTC.

arE filiPino BusinEssmEn EndangErEd With thE nEar imPlEmEntation

of thE rEtail tradE laW? Will it kill local BusinEssEs?

Estrada answers, “The entry of foreign retailers, with their global experience and technologies, should not be viewed as a threat to our local retailers, or to local business in general. I have in fact urged and continue to urge our local businessmen to view this as a challenge, to re-engineer their business processes, and bring to higher levels of efficiency their operations for them to compete in a rapidly globalizing marketplace. It is clearly to their advantage, and more importantly, to the benefit of the mass of Filipino consumers that they now start re-inventing themselves and prepare for the rapid changes in the use of information and communications technology, as well as the application of e-commerce in their operations.

“The government is, nonetheless, doing everything to put in place measures to make them compete on equal footing with these foreign investors. In terms of telecommunications infrastructure, I mentioned earlier that projects are underway to ensure access to the digital world. Old policies are being reviewed and at the same time, new policies are being drafted to ensure equal protection to the providers, consumers, and the government.”

The amendments to the Retail Trade Law provide safety nets to protect small retailers. These include among others, the following:

• CategoryCretailers (100%foreign-owned)shallberequiredaminimumpaid-upcapital of US$7.5 million; category B retailers (foreign equity for the first two years from effectivity of the law is limited to 60%, but thereafter, they shall be allowed to be 100% foreign-owned), US$2.5 million; or category D (100% foreign-owned retailers selling high-end luxury goods), US$250 thousand;

• Theforeignretailersshallmaintaintheminimum,prescribedcapitalwhileoperatingin the Philippines and its actual use shall be monitored by the Securities and Exchange Commission (SEC);

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• Foraperiodof10yearsfromeffectivityoftheAct,atleast30%oftheinventoryofretailers falling under Categories B and C and 10% for category D should be locally manufactured.

• Qualifiedforeignretailersshallnotbeallowedtoengageincertainretailingactivitiesoutside its accredited stores through mobile or rolling stores or carts, the use of sales representatives, door-to-door selling, restaurants, and sari-sari stores.

“I wish to specifically cite the efforts made by the SM group of companies in setting up the SVI-Net to connect SM Supermarket and its 150 suppliers,” Estrada commended. SM Supermarket uses the system for inventory control and to trigger the issuance of purchase orders to suppliers. The system is expected to provide electronic price catalogs, and provide dispatch and delivery scheduling and advice.

A number of large department stores and supermarkets have also banded together with five major suppliers and have set up SmartLink to handle electronic fund transfers, remittance and credit advice, and accounts reconciliation. On the supplier end, the electronic link will maximize the resources of the supplier at any given time. Upon delivery, the pullout of returns can also be done eliminating the need for special trips, translating into substantial savings in operating costs, and lower prices to their consumers.

thE E-commErcE czar

Estrada announced in the recent Knowledge Economy Conference, last May 8, 2000, that he has directed Department of Trade and Industry Secretary Mar Roxas to consolidate the number of dispersed e-commerce efforts of the national government under a reactivated and expanded E-Commerce Promotion Council, of which Roxas is Chair. Foremost on the agenda is to fulfill the mandate to formulate and coordinate the implementation of a national program and strategy for the promotion of e-Commerce in the Philippines. This plan is expected to be submitted by Secretary Roxas by the end of June 2000.

The Secretary of DTI, as Chairman of the E-Commerce Promotion Council, is effectively the E-Commerce Czar. E-Commerce activities are coordinated at the level of the Council. Estrada noted, “However, we need to further strengthen the Council by providing it with full-time technical, secretariat support and the necessary funding support. We also need to strengthen the linkage between the E-Commerce Promotion Council with the National Information Technology Council to ensure consistency in policy directions.”

Estrada’s Vision

The Estrada E-commerce agenda revolves around the IT21 framework, the transformation of the country into a knowledge center in Asia by the first decade of the 21st century. This strategy is defined in the country’s National Information Technology Plan for the 21st Century, or IT21, which calls for the exploitation of the country’s potentials to become a key player in the digital business world.

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These potentials consist mainly of the country’s rich human resources, as well as highly trainable, hard-working, and English-proficient professionals and workers. Moreover, the country’s strategic geographic location and our accessibility to large and potentially rich markets with high population densities further support and reinforce this strategy.

More specifically, IT21 presents the Philippines’ broad strategy to spur the country to global competitiveness through ICT. It sets down specific time frames for achieving its three specific goals:

• Bytheturnofthe21stcentury,thePhilippineswillhavelaidtheinfrastructuretoprovide opportunities for every business, every agency of government, every school, and every home in the Philippines to have access to information technology.

• Bytheyear2005,ITusewillbepervasiveindailylife.Philippinecompanieswillbeproducing competitive IT products for world markets.

• Within thefirstdecadeof the21stCentury, thePhilippineswillbe aKnowledgeCenter in the Asia-Pacific: the leader in IT education, in IT-assisted training, and in the application of information and knowledge to business, professional services, and the arts.

achiEVEmEnts to datE

At the policy level, the government has put in place the environment and clear directions to help develop and accelerate the use of ICT and the Internet and its applications, particularly e-commerce. It has now a more focused program for ICT development in the country with the adoption of IT21, which the President endorsed when he issued Executive Order (EO) No. 125 in August 1999. The EO intends to streamline and strengthen the institutional mechanism for coordinating ICT development in the country. This is done through the National Information Technology Council (NITC). Its membership is composed of key ICT players both in the government and the private sector.

The deregulation of the telecommunications industry starting in 1987, and which the government continues to pursue, paved the way for a hefty build-up in investments in this sector, estimated to exceed PhP130 billion over the next 5-10 years. By the end of 1999, telephone density per 100 people increased to 9.18 working lines from 1.21 recorded in 1993 and 4.66 in 1996. This is expected to reach 12.73 in 2004 as provided under our “Angat Pinoy 2004” Medium Term Philippine Development Plan to meet the growing demand for telephone and other value-added services like Internet access and e-commerce.

Internet usage in the Philippines has been increasing exponentially over the years since 1994. The number of Philippine Internet Service Providers (ISP) increased from 2 in 1994 to 130 in 1997 to over 180 by the end of 1999. The services offered include full Internet access, e-mail service, and walk-in access. Likewise, the number of local web sites has increased. Furthermore, more and more ISPs are expanding their services to include not

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only access but content provision and the provision of e-commerce and payment gateways as well.

The number of Philippine-related web sites is increasing by over 200% annually, from only a handful in 1994 to over 500 in January 1998. Internet subscribers reached 240,000 by year-end 1997, is expected to rise to 650,000 by the end of the year 2000, and to 1.3 million by the end of 2004.

The first Philippine Internet Exchange (PhIX) was launched in July 1997. PhIX is a network access point that allows local Internet service providers to exchange local Internet traffic within the Philippines without having to connect to servers overseas. Thus, local Internet users will have faster access to content and exchange of information. The PhIX was established by the Philippine Long Distance Telephone Company (PLDT) and interconnects the country’s largest ISPs.

Early last year, the first Electronic Claims System was launched in the Philippines by Medilink, a cooperative project of the Zuellig Group and the Equitable Card Network. Medilink is a computerized claims clearing house network system for hospitals, health management organizations (HMOs), health insurers, self-insured corporations, clinics, and independent physicians’ associations. It is the first to provide electronic eligibility, electronic claims processing, and electronic funds transfer in the Philippines. It is expected to directly benefit some 2.0 to 2.5 million Filipinos who are presently covered by HMOs and non-life insurance plans. The country at the moment has around 40 HMOs. This number is expected to double in a couple of years. The annual business turnover of the HMO sector is estimated at PhP 2 billion.

In October 1999, Estrada issued Proclamation No.171 creating and designating Eastwood Cyber City in Quezon City, as the first Information Technology (IT) Park in the country. This master-planned urban area, a project of Megaworld Properties, is strategically situated a few minutes away by car from Manila’s major universities and is also very accessible to the Makati and Ortigas business districts and major routes to the Manila international and domestic airports. Designed mainly to cater to locators engaged in IT software and multi-media R&D companies, which could avail of special incentives under Republic Act No. 7916 (Philippine Economic Zone Act of 1995), as amended by Republic Act No. 8748, it combines residential, business, commercial, and leisure components. Developers of the Cyber Park also plan to set up in the campus-like site a university of information and communications technology. “I have approved three so far, namely the Eastwood Cyber Park in Quezon City, the Northgate Cyber Zone in Alabang and the Fort Bonifacio-Silicon Alley IT Park in the Fort Bonifacio, Taguig, where competitive financial and tax incentives are offered. The first Software Development Park has also been established at the Subic Economic Zone. And the Ayala Group has announced the proposed development of an IT park in Cebu,” said Estrada.

On the hardware sector, the semiconductor and electronics industry has been growing at the rate of 30% - 40% per annum since 1993. Products worth nearly $20 billion constituted nearly 70% of the country’s total exports in 1998. Exports rose to $23 billion in 1999 and

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are expected to grow to over $47 billion in 2004. The nearly 512 companies involved in the industry have a total investment of over $7 billion and employ over 280,000 skilled and semi-skilled workers.

America Online operates a customer response system at Clark. Some 600 Filipinos, manning workstations in the Philippines, answer queries for AOL from all over the globe on a 24-hour basis.

Professional IT services are explicitly included in the investment priorities plan for FY 2000. This means that IT related activities will enjoy prime incentives from the Board of Investments.

Focused IT investment missions to the United States, Korea, Japan, Europe and Australia will be launched to promote the Philippines as the IT service hub in Asia.

An ICT innovation and development fund will be created to provide venture capital for ICT business start-ups and support for ICT research. The National Development Corporation under the DTI has already identified IT as a priority and is exploring mechanisms to reach techno-entrepreneurs.

Finally, IT related activities have been highlighted under the proposed amendments to the Omnibus Incentives Act. “Our legislators anticipate that these amendments will take effect by the 3rd quarter of this year, and will feature a number of non-fiscal incentives to match, if not surpass, that offered by others in the region,” said Estrada. DOST’s Comprehensive Program to Enhance Technology Enterprises or Project COMPETE seeks to develop two very important sectors of the knowledge economy: microelectronics and information technology. Over a period of five years, investments amounting to around PhP7 billion will be made for the operation of Virtual Centers for Technology Innovation, or VCTI, for the two sectors. The VCTI in microelectronics will catalyze research and development and original product design, and develop our capability in Application Specific Integrated Circuit (ASIC) design - while the VCTI in information technology will develop capability for content design and software development. In partnership with IT industry leaders like Oracle and Sun Microsystems, the project will produce at least 5,000 internationally certified IT professionals.

The DOST is also implementing a project that will enable Philippine research and academic institutions to participate in networking research and experimentation under a Japanese research initiative called the Asian Internet Interconnection Initiative. Through this, local researchers will gain operational experience that will be used in expanding the Internet and its use in the Philippines.

“This administration is firmly behind the effort of implementing e-commerce and boosting the knowledge economy. The key agencies have been empowered to get the job done. I am confident that we as a people are up to the task,” Estrada ended.

E-Commerce in the Philippines

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CHAPTER 6

STATISTICS

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there Are so mAny statistical reports coming out on the number of Philippine Internet users. This chapter intends to look at those reports to give you a picture of the state of the Philippine Internet situation.

i. intErnEt sErVicE ProVidErs

The Philippines’ Internet Service industry boomed from around 90 providers in 1996 to around 150 ISPs and walk-in service providers in 1999. Currently, there are an estimated 180 ISPs in the country and almost a thousand Internet cafe centers.

ii. intErnEt usErs

Metro Manila There are several estimates as to how many Internet users the Philippines has. ACNielsen’s NetWatch report, released first quarter of 2000, said that there are 554,000 Internet users in the Philippines. A total of 8% of the population are on the Internet, and 3% of its male and 2% of its female population use the Internet.

These statistics looked confusing since the figures did not match up with the country’s actual population. ACNielsen made the following clarifications via email:

1. The population base of its NetWatch refers to total individuals aged 15 and above from Metro Manila, projected to be 6.8 million (3.2 million males and 3.6 million females) in 1999.

2. Out of 6.8 million, 554,000 have used the Internet in the past year (thus, the 8%). Out of 554,000 past-year internet users, 359,000 were male and 195,000 were female (thus, the 3:2 ratio).

Cebu According to a report by Computer Science students of Cebu Doctors College last October 1999, Cebu province has 200,000 Internet users. The 200,000 figure includes those connected to the Internet through dial-ups, company networks, and Internet cafes. Typical users are college students and young urban professionals, aged 16 to 30.

The survey also found close to 150 Internet cafes, with typically 10 to 12 terminals per cafe and 16 to 18 operating hours per day. Net cafe access rates are from 10 to 40 pesos an hour, lower than those in Metro Manila.

The low cost of living and a Manila lifestyle that Cebu offers make it an ideal place to do outsourcing work. Several big companies have already located their software and

STATISTICS

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application development centers in this bustling province. In the business sector, Cebu has always been a trading hub in the Visayas and Mindanao area, and has the potential to become a trading hub for Internet activities for this part of the country.

Conclusion

It is now estimated that the total number of Internet users in the country is no less than 1 million. But a lot doubt this figure. Despite country’s low PC penetration, the growing number of Internet cafes provided the facilities needed to boost the number of Internet users. A lot of it would depend on how you define an Internet user. In most surveys, an Internet user is defined as one who uses the Internet at least one hour per week. Some would only classify those who have their own home computer with Internet access as the real Internet user.

The definition of an Internet user will evolve. Our mobile phones are becoming powerful enough to let us surf the Internet and send email. In the not-too-distant future, mobile phone users will also be classified as Internet users.

iii. usEr haBits

In April 1999, Web Philippines said in a study that one percent or 146,516 of Philippine households have Internet access.

•57percentofthePhilippineInternetuserpopulationismale.Abouteightoutoften fall within what is called “Generation X” (19-34 years old).

•67percentofInternetusersaresinglewithfourtofivemembersintheirhousehold.It is also an educated group as eight out of ten have finished at least a college undergraduate course. A considerable number (32 percent) are have had some graduate education. 16 percent of present Internet users have not yet entered the workforce, still at the high school or college levels.

•ThepersonalincomeoftheaverageworkingInternetuserisaroundPhP24,000permonth.

•E-mailistheprimaryreasonwhythelocalcommunityaccessestheInternet.30-38percent mentioned chat and updates from entertainment and business news.

•54percentofInternetuserspayfortheirownInternetaccessaveragingatPhP800a month.

•96percentofInternetusersownaPCwithamemoryof32MBandaharddiskspace of 2GB. 31 percent use a 56K modem. Windows 95 is being used by 6 out of ten computers that connect to the Internet. Microsoft Internet Explorer is the default browser of 52 percent of users, while Eudora is the default e-mail program of 31 percent of users.

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The DigitalFilipino.com survey

When DigitalFilipino.com did its online survey last November 1999, it was able to gather the following information:

Profile of people surveyed: •1.51%ofthetotalrespondentsaremale.25%ofthetotalmalerespondents

are in the 26-35 age group with an average income is PhP36,173.68 per month. 63% of them shop online. 53% have purchased products online at an average of PhP83,920 per online spender last year. 90% of transactions are done through the use of credit card.

•100%ofthemownapersonalcomputer.92%withInternetaccess.68%useMS-Internet Explorer.

•2.57%ofrespondentsarefromthe18-25agebracket.Ofthisagebracket,36%are female whose income is on the average of PhP15,384.50 per month. 38% of them shop online.

•19%havepurchasedproductsonlineatanaverageofPhP46,000peronlinespender last year. 20% of transactions are done through the use of credit card.

•96%ofthemownapersonalcomputer,88%withInternetaccess,and77%use MS-Internet Explorer.

•3.64%ofrespondentsarecollegegraduate.21%finishedgraduateschool.

•4.85%ofrespondentsaresingle.14%aremarried.Ofthosemarried,theaveragenumber of children is 2.

•5.36%ofrespondentsareITprofessionals.25%arestudents.

A more detailed survey result will come out in the next edition of this book.

iV. wAP And PdAs

Both Globe Telecomms and Smart Communications are active in the development and promotion of Wireless Application Protocol (WAP) technologies through its phones andservices.

The growing number of cellular phone users and all the information and conveniences offered by the Internet offer a whole world of possibilities for WAP users and developers.

Studies by Globe indicate that the number of GSM subscribers is projected to grow from two million today to eight million by the end of 2001. At a time when less than 1 million

Statistics

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Filipinos have accessed the Internet through PCs, mobile devices will be the preferred personal transaction medium.

There aren’t a lot of people who have WAP phones at the moment in the Philippines. There is only an estimated 3,000-5,000 people nationwide who have WAP-ready phones. This does not include WAP phones sold in the black market. The growth of WAP in the country will still depend highly on the commercial availability of WAP-enabled phones. Even worldwide, there is a shortage of WAP handsets.

The number of users of the Palm Pilot and the like is also expected to grow to 15,000 to 20,000 this year. These devices are becoming more and more popular as different vendors are coming with their own versions, with increasing levels of computing power.

This presents a huge opportunity and challenge to developers since they will have to think about these devices when they build Web applications. At this point, what is stopping its growth is price and availability, but we’re expecting this to be overcome in the near future as competition brings pressure to the players in this field.

V. WorldWidE intErnEt PoPulation

Nearly 120 million out of the estimated 300 million Internet users worldwide have already made a purchase or transaction online, with as many as one in four purchases made on impulse, according to an Angus Reid Group study of Internet users in 34 countries. Contrary to other studies, the vast majority of shoppers were very satisfied with their online experience and only a minority voiced concerns about fraud and security issues. Forty percent of all internet users -- about 120 million people worldwide -- have made at least one purchase online, the study shows. More than half (54%) of all online transactions were made in the U.S. The most frequently mentioned experience with e-commerce was using the Internet to gather information about products and services -- 52% of Internet users have tested the waters this way. Almost as many – 40% -- have taken the plunge and purchased a product or service directly online. Other commercial services, such as chat lines (37%) and sampling or downloading music (36%), have also drawn large followings, especially among younger Internet users. Financial transactions such as banking (20%) and stock trading (8%) also attract a sizable base of global users.

Global Internet usage is well on its way to reaching 1 billion users by 2005, with over 300 million people already logged on and as many as 150 million more people planning to do so this year. These results are from The Face of The Web, a new study from the Angus Reid Group, a global market and social research company.

The Computer Industry Almanac (http://www.c-i-a.com) has reported that by the year 2002, 490 million people around the world will have Internet access, i.e., 79.4 per 1,000 people worldwide, and 118 people per 1,000 by year-end 2005. The top 15 countries will account for nearly 82 percent of the these worldwide Internet users (including business, educational, and home Internet users). By the year 2000 there will be 25 countries where over 10 percent of the population will be Internet users.

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Top 15 Nations in Internet Use at Year-End 1999 Rank Nation Internet Users(000) 1 United States 110,825 2 Japan 18,156 3 UK 13,975 4 Canada 13,277 5 Germany 12,285 6 Australia 6,837 7 Brazil 6,790 8 China 6,308 9 France 5,696 10 South Korea 5,688 11 Taiwan 4,790 12 Italy 4,745 13 Sweden 3,950 14 Netherlands 2,933 15 Spain 2,905Source: Computer Industry Almanac

worldwide sAles

Business-to-business (B2B) e-commerce will grow at aggressive rates through 2004, causing fundamental changes to the way businesses do business with each other, according to the Gartner Group.

The worldwide B2B market is forecast to grow from $145 billion in 1999 to $7.29 trillion in 2004. By 2004, B2B e-commerce will represent 7% of the projected $105 trillion total global sales transactions.

The catalyst for B2B e-commerce is e-market maker activity. E-market makers are projected to facilitate $2.71 trillion e-commerce sales transactions in 2004, representing 37 percent of the overall B2B market, and 2.6 percent of projected worldwide sales transactions. An e-market maker is an organization that develops a B2B, Internet-based, e-marketplace of buyers and sellers within a particular industry, geographic region, or affinity group.

Gartner Group analysts say e-market makers will have a critical but subtle impact on transactions that flow through brick and mortars’ sell-side initiatives. These sell-side initiatives are defined as including extranets, B2B Web storefronts, EDI and flat file transfer over the Internet, and related e-commerce activity allowing a seller to leverage the IP network as a channel to buyers.

The worldwide B2B market is poised for explosive growth as the market is projected to reach $403 billion in 2000 followed by $953 billion in 2001. In 2002, the market will increase to $2.18 trillion, and at the end of 2003 worldwide B2B revenue is forecast to reach $3.95 trillion.

Statistics

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Business-to-consumer electronic commerce companies have learned their lessons from past years as the U.S. model of consumer e-commerce is being implemented on a worldwide basis, according to Dataquest Inc. Dataquest analysts estimate the worldwide business-to-consumer e-commerce market to reach $31.2 billion in 1999, up from $11.2 billion in 1998. The market will experience explosive growth through 2003 when revenue will surpass $380 billion.

Vi. AsiA PAcific

Market research firm International Data Corporation (IDC) recently completed the second of its biannual updates of Internet user forecasts and the revenue generated online for 13 Asia/Pacific countries in 1999. IDC noted at the end of 1998 that Asia/Pacific (excluding Japan) had an Internet user population of 12.9 million users, spending approximately US$722.7 million online. The new research from IDC predicts growth of the region’s online population to 21.8 million, spending over US$2.2 billion by the end of 1999.

The IDC report predicted that the compound annual growth rate of Internet users from Asia/Pacific (excluding Japan) for 1997-2003 would be 56%.

IDC forecasts a boom in Asia/Pacific’s Internet user population with an exponential increase in the number of Internet users reaching an astounding 95.2 million by yearend 2004. This will generate online revenue of US$87.5 billion. China, India, and South Korea, which experienced a rapid increase of Internet activity over the past nine months, were the key geographies that IDC identified as areas of opportunity; however, every country still saw consistent growth in Internet activities.

Asia Pacific Sales

Business-to-business (B2B) e-commerce in Asia/Pacific will grow at a compound average growth rate (CAGR) of 155 percent through 2004, causing fundamental changes to the way local companies conduct business with the world, according to the Gartner Group. The region’s B2B e-commerce market is forecast to grow from $9.2 billion in 1999 to $995.8 billion in 2004. By 2004, B2B e-commerce in Asia/Pacific (outside of Japan) will represent 13.6 percent of the forecasted $7.3 trillion in total global B2B e-sales transactions.

Over the next five years, e-market makers will be a primary driver of e-business transformation in the region. In Asia/Pacific, e-market makers are projected to account for $581 billion in non-financial electronic sales transactions in 2004, representing 29 percent of the overall value of the B2B e-commerce market in the region.

Gartner Group analysts observe that e-market makers in the region are creating new opportunities to develop spot markets for near commodity products, as well as products and services for which the search, selection, and purchase costs are significant, particularly for the region’s vast small-business sector. The Gartner Group anticipates the critical but

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gradual impact of e-market makers on transactions that flow through brick and mortars’ sell-side e-commerce initiatives in the region.

B2B e-commerce in Asia/Pacific is set for explosive growth as e-sales transactions are projected to reach $29.9 billion in 2000, followed by $93.4 billion in 2001. In 2002, the region’s market will increase to $258.5 billion, and, at the end of 2003, Asia/Pacific B2B e-commerce revenue is forecast to reach $510.7 billion.

Statistics

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CHAPTER 7

OPPORTUNITIES& CHALLENGES:Making the Philippinesan Ideal Environment

for E-Commerce

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for the PhiliPPines to nurture the growth potential of e-commerce in the country, it needs to rectify existing loopholes in its system. It is the only way to allow our entrepreneurs to catch up and keep pace with the rest of the world.

These challenges can be viewed as opportunities as well. Those who wish to venture into this arena and are currently scouting for projects to work on may find a gold mine here.

1. goVErnmEnt

There’s a provision in the proposed e-commerce bill that mandates the government to be capable of electronic transactions using e-commerce technologies within two years after its passage. But for government to do such, it needs to streamline and redesign its procedures to facilitate such implementation. If business process re-engineering is not carried out, there’s a big possibility that current inefficiencies will be automated without the procedures being changed due to legislative and administrative procedural technicalities. This is a good opportunity for consultants who specialize in this field.

Once the proposed e-commerce bill is passed, it will challenge us to look at all our existing laws and implementing rules and regulations to assess the role of electronic documents or data messages.

Creation and revision of policies and administrative framework will be needed to encourage businesses to set up the infrastructure to do e-commerce, including electronic settlement, inter-bank fund transfer, and special loans. It must encourage investments on e-commerce and related sectors.

The Philippine IT infrastructure is vast and diverse, sourced from different parts of the world. Integrating all of these is a big task and in some cases impossible. But to start going in the right direction, government needs to adopt and disseminate standards and best practices that the industry can consult when implementinge-commerce. For starters, standards can be in the form of data structures which could lead to information transfer across all government entities.

2. tElEcommunications

There’s need to have the telecommunications infrastructure necessary to support the growth of e-commerce in the Philippines by the year 2000. From most studies we read, the countries with the lowest telecommunication and Internet access costs have the highest number of Internet users. Conversely, those with the highest telecommunications costs have low Internet usage -- either a small number of subscribers, or a large number who don’t stay online long enough for e-commerce activity.

We need to look into telecommunication policies that will adversely affecte-commerce growth, such as phone metering and interconnection. Phone metering, if

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implemented on a mandatory scheme, has the potential of killing the entire Internet industry. Internet access through cable can cushion such impact, but it needs to be made available to more locations. The removal of the service area scheme is still an issue that is being studied. It is still a deterrent to the growth of telecommunication facilities in the country. Nevertheless, opportunities did arise from it and led to the growth of the mobile phone industry. Projects that will allow universal and affordable access have good chances of succeeding although the field will be very competitive.

The future of convergent technologies including voice and video over IP, cable Internet, and Internet via satellite by the year 2000 is still in doubt. Even if they are allowed to be rolled out, there are existing bureaucracies to deal with. Take the case of cable Internet companies who can’t install in some districts in the country. Even though the NTC granted them the license to install in the area, local government unit officials are giving them a hard time.

The NTC’s technical, legal, and enforcement capabilities should be strengthened to the protect the public interest. This includes the application of penalties for erring telecommunication carriers. As of now, its powers are not enough, and the position of its Commissioner is political, not constitutional, so he serves at thepleasure of the head of state.

The telecommunication infrastructure is expensive, and few local companies have the resources to invest in telecommunications. As much as foreign companies would like to come in and explore these opportunities, there are constitutional restrictions on foreign investment in public utilities and the ban on foreign investment in mass media. We need to fully upgrade our infrastructure to world-class standards if we want to compete in this field.

3. Education

Admittedly, a lot of people still don’t understand what e-commerce has to offer. There are those who are afraid of it or have wrong interpretations about it.

It is expected that there will be a big shortage of e-commerce professionals in the country. There’s a need to develop and offer an e-commerce education curriculum either as a special course or a degree course through various state colleges, universities, and learning centers. So far, there are schools who are taking advantage of this.

But the Commission on Higher Education (CHED) must relax its standards in regard to instructors’ qualifications. There’s a current requirement that they need to have Master’s units before they can teach. This should not apply to the IT and e-commerce industry since changes occur so quickly. Most of the top-notch practitioners do not have the education standard that the CHED requires.

Educating the youth on these technologies is also key to boost our competitiveness. Teaching e-commerce and related subjects in existing collegiate, secondary and elementary education can be of great help to our country.

There’s still the basic issue such as the lack of access to computers in public schools. Perhaps certain collections from telecommunication and Internet facilities can be earmarked to a

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government agency to procure computers and provide Internet access for schools. Special rates can also be provided to schools to facilitate this.

Seminars and briefings on e-commerce to the various government agencies and private groups are needed to boost further knowledge on this subject matter. Despite the many books, magazines, and newspaper columns that have been written to tackle this subject matter, seminars and briefings are still effective in spreading and clarifying perceptions and fears about e-commerce.

E-commerce resource and knowledge centers that will assist SMEs in conducting e-commerce with government, consumers, and private entities are another mechanism to promote e-commerce awareness.

4. sEcurity

The recent “I Love You Virus” incident has badly affected our country in terms of image and raised questions in regard to our capability to compete in this arena. No matter how much we dream of becoming a knowledge or e-commerce hub, we still need to address the issue of security for secure e-commerce transactions. The Internet operates so quickly that it has created its own concept of time -- Internet time”. Once news hits the wire, it can spread like wildfire anywhere in the world, similar to how the “I Love You Virus” spread and caused damage to the big economies and companies of the world. The incident also coincided with other political issues that have really hurt the image of the country. Victor B. Valdepenas, President and Chief Operating Officer, Union Bank of the Philippines, spoke about how there were new forms of warfare emerging during the ADTEX’99 event. Key points of his speech are mentioned here.

We have to be ready for the new forms of warfare, their implications on overall security risks, and suggested solutions to threats to national security and to the country, especially to our financial structure.

Information, especially negative information, whether valid or invalid, real or faked information, can slash nations’ wealth and purchasing power by 50%, and swell the ranks of the poor. An enemy or competitor can undertake a misinformation or sabotage operation targeting our financial information infrastructure. It is a new kind of warfare that attacks the integrity of information systems. It can be used as a first-wave weapon, to cause chaos and confusion in the financial markets before the actual, full-force attack begins.

As the economic crisis blows up and the prospect of recovery seems to be a distant possibility, the market panics and begins to doubt the ability of its political leadership to deal with the crisis. As doubt ensues, socio-political pressures build up. Political and social crises often happen at the height of an economic turmoil. The probability of a political fall-out subsides as economic conditions improve or at the least, as the prospect of recovery improves.

There are new forms of warfare emerging.

•ThefirstoneisInformationWarfare.Theseareactionstakentodegradeormanipulatean adversary’s information systems while actively defending one’s own.

•Second is Cybernetic Warfare. This is a distinct form of warfare involving operations

to disrupt, deny, corrupt, or destroy information resident in computers and computer

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networks. It defies traditional rules of time and distance, speed and tempo, and the conventional or traditional military capabilities of the opposing elements.

•Third,TransnationalInfrastructureWarfare.Thisisattackinganation’skeyindustriesand utilities, including telecommunications, banking and finance, water, government operations, emergency services, energy and power, and manufacturing. Because these industries have key linkages and interdependencies, an attack on a single component is magnified and renders significant damage.

Will it happen? It’s a distinct possibility. That is why the development of Filipino’s IT capabilities is very important not only to the economic development of the nation and its ability to compete on the world market, but also for the nation’s future security.

The warfare now and of the future no longer relies on physical force. Information technology is playing a critical role and is being used as a weapon to communicate strategies, mount a misinformation campaign, and attack other systems, among others.

It is time to devise systems that are secure from all kinds of security threats. To shield the country and businesses against financial threats, our security controlsmust catch up with the requirements of the “fast forward pace” of the times. Our law enforcers will have to take this challenge.

The establishment of incident response teams in both government and private sector is crucial especially for companies who are managing a group of companiesor government agencies. We can’t compete if we can’t defend our own infrastructure From anyone who may seek to challenge it.

Security experts, front and center! You will be major contributors in the new Internet economy.

5. financial markEts / inVEstmEnts

The Philippine Stock Exchange should improve listing conditions. Its rules are not competitive vis-à-vis those of the other countries in the region. The country can lose a lot of opportunities as countries like Hong Kong and Singapore are even inviting Philippine companies to list in their exchanges which are far more friendly than ours. It also needs to extend its trading hours to attract the interest of global players to invest.

Currently, BOI-registered IT initiatives have an Initial Public Offering requirement. This is not strictly implemented at this stage.

Although the number of venture capital and business angel companies increases, there’s still a need for bigger players in the region to get involved. Currently, the Philippines has three incubator networks.

is thE PhiliPPinEs Worth inVEsting in?

Export growth

According to the Department of Trade and Industry, Philippine exports grew between 1997 and 1999, despite the worst years of the financial crisis. Export growth was 23% in 1997, 17% in 1998, and 19% in 1999, to total US$35 billion. Total exports are again expected to increase in year 2000 to around US$40 billion.

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The performance of Philippine exports may be attributed to the restructuring of its export sector over the last 22 years. From a 49% share in 1976, agriculture now claims only 3% of total exports. From 3% of total exports, electronics claimed 67% in 1998 and 72% in 1999. In year 2000, it is expected to reach 75%.

This growth performance happened despite the Asian financial crisis -- a testimony to the resilience of the Philippine economy and tenacity of Filipinos as well in moving on despite tough times. Nevertheless, rehabilitating the economy of the country is ongoing.

Investment Opportunities

The Philippines is currently being packaged as Asia’s IT Services (E-Services) Hub. To start off, the Investments Priorities Program 2000 of the government is now being revised and will cover Information Technology Services. Companies who do software development projects (system software, middleware, applications software), IT-enabled services, support and knowledge-based services, and business process outsourcing are qualified to apply in this program.

IT services would include IT project management, application systems and development, applications services, web development and management, contentcreation and knowledge management, database design and development, computer networking and data communications, software development, and other services directly tied to the information technology industry. IT-enabled services would refer to other business lines which can be transformed through the means of information technology. These would include any business outsourcing and shared services as well as call centers, engineering and design centers, financial management and accounting records, healthcare and medical records, legal records, and travel services.

Globally, traditional outsourcing market revenues reached US$99 billion in 1998. This is estimated to increase to US$120 billion by 2002.

The Philippines is aggressive in targeting the outsourcing market. It has a positive track record that we could use to market the country. A big number of multinational IT companies are located in the Philippines doing back-office operations such as America Online (technical and billing support), Arthur Andersen (custom software), Barnes and Noble (inventory management and on-line purchasing), and James Martin (software development), among others. It has been estimated that there are about 100,000 people in the IT industry. There are about 8,000 Filipino firms engaged in outsourcing.

Incentives are now being revised to encourage the flow of foreign investment in the country. Forthcoming are: 12-year income tax holiday for IT projects; tax and duty exemption on imported capital equipment; tax credit on the purchased component of locally-produced equipment; double deduction on training and R&D;net operating loss carry over; accelerated depreciation; deferred imposition of 2% minimum corporate income tax; and investment/reinvestment tax allowance.

For service exporters, ecozone/freeport enterprises: 4-6-8 years income tax holiday (ITH); special 5% tax rate after the lapse of ITH; tax and duty exemption on imported capital equipment; unrestricted use of consigned equipment; additional deduction for training

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expenses; deduction for labor expenses; exemption from wharfage dues and any export tax, duty impost and fees; permanent resident status for foreign investors and immediate family; employment of foreign nationals; and simplified custom procedures.

For regional operating headquarters: only 10% tax payment on taxable income; exemption from contractor’s tax; exemption from local licenses, fees, dues and imports or any other local taxes and burden except from real property tax; and tax and duty-free importation of training materials and equipment without prior BOIapproval.

We are more than ever challenged by international competition. As globalization and the borderless economy emerge, the battle for the foreign investment cake is fierce. Estimates made by the Institute of International Finance say that China will capture US$43 billion of an estimated US$72 billion in net direct and portfolio investments in Asia’s emerging economies this year. A chunk of US$11 billion will go to South Korea. The remaining US$18 billion will be fought over by other Asian countries such as Malaysia, Indonesia, Thailand, India, and the Philippines.

The Philippines offers some advantage in pursuing the IT services strategy. First, there is availability of an English-speaking workforce in many field of business and professions. Second, a reasonably high-degree of education and literacy. Third, the country’s culture lifestyle, a blend of East and West, appeals to expatriates and multinational companies. Fourth, there is untapped creative skill and energy among people in both IT and non-IT field which can be nurtured.

But still, there’s still a lot of work that needs to be done to achieve our IT21 Vision to become Asia’s Knowledge Center.

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ANNEX A

SENATE BILL 1902AN ACT PROVIDING FOR

AN ELECTRONIC COMMERCE LAWAND FOR OTHER PURPOSES

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This is the approved E-commerce Bill at the Senate which was passed last April 12. The House of Representatives counterpart measure, The Electronic Commerce Act of 2000 (see Annex B), needs to be passed in order for Congress to proceed to the bicameral level and enact a final version for President Estrada to sign and become a law.

ELEVENTH CONGRESS OF THE REPUBLIC OF THE PHILIPPINESSecond Regular Session

SENATES.B. No.1902

Introduced by Senators Flavier, Ople, Magsaysay, Jr., Sotto III, Roco, Defensor Santiago, Drilon, Enrile, Honasan, Cayetano, Guingona, Jr., Revilla, Pimentel, Jr., and Aquino-Oreta

AN ACT PROVIDING FOR AN ELECTRONIC COMMERCE LAWAND FOR OTHER PURPOSES

Be it enacted by the Senate and House of Representatives of the Philippines in Congress assembled:

PART I. SHORT TITLE AND DECLARATION OF POLICY

SECTION 1. Short Title. – This act shall be known and cited as the “Electronic Commerce Act”.

SEC. 2. Declaration of Policy. - The State shall promote Philippine products in domestic and foreign markets through electronic commerce. For that purpose, the State shall supplement traditional means of trade and adopt the necessary and appropriate legal, financial diplomatic and technical framework, system and facilities.

PART II.

Electronic Commerce in General Chapter I - General Provisions

SEC. 3. Objective. - This Act aims to encourage and facilitate domestic and international exchange of information, dealings, transactions, arrangements, agreements and contracts through the utilization of electronic, optical and similar medium, mode and instrumentality, and to ensure security and recognize the authenticity and reliability of data messages related to such activities.

SEC. 4. Sphere of Application. – This Act shall apply to any kind of data message used in the context of commercial activities and other exchange of information, dealings, transactions, arrangements, agreements and contracts.

ANNEX A: SENATE BILL 1902

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SEC. 5. Definition of Terms. – For the purposes of this Act, the following terms are defined, as follows:

(a) “Addressee” of a data message means a person who is intended by the originator to receive the data message, but does not include a person acting as an intermediary with respect to that data message;

(b) “Computer” refers to any device or apparatus singly or interconnected which, by electronic, electromechanical, optical and/or magnetic impulse, or other means with the same function, can receive, record, transmit, store, process, correlate, analyze, project, retrieve and/or produce information, data, text, graphics, figures, voice, video, symbols or other modes of expression or perform any one or more of these functions;

(c) “Data” means representations, in any form, of information or concepts;

(d) “Electronic Contract” refers to all records generally processed, communicated or used for any purpose in any commercial or governmental transaction.

The term “commercial” should be given a wide interpretation so as to cover matters arising from all transactions whether contractual or not, to include, but are not limited to, the following: any trade transaction for the supply or exchange of goods or services; distribution agreement; commercial representation or agency; leasing; construction of works; consulting; engineering; licensing; investment; financing; banking; insurance; exploitation agreement or concession; joint venture and other forms of industrial or business cooperation; carriage of goods or passengers by air, sea, rail or road;

(e) “Electronic Data Interchange (EDI)” means the electronic transfer from computer to computer of information using an agreed standard to structure the information;

(f ) “Electronic Data Message” means data that is generated, recorded, sent, received or stored on any medium in or by a computer system or other similar device, that can be read or perceived by a person or a computer system or other similar device. It includes a display, printout or other output of that data;

(g) “Electronic Data Message System” means a system for generating, sending, receiving, storing or otherwise processing data messages. It includes the computer system or other similar device by or in which data is recorded or stored and any procedures related to the recording or storage of electronic data message;

(h) “Electronic Signature” refers to any distinctive mark, characteristic and/or sound in electronic form, representing the identity of a person and attached to or logically associated with the data message or any methodology or procedures employed or adopted by a person and executed or adopted by such person with the intention of authenticating or approving an electronic document;

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(i) “Information” refers to data, text, images, sound, codes, computer programs, software and database, or to a collection or combination thereof;

(j) “Intermediary”, with respect to a particular data message, means a person who, on behalf of another person, sends, receives or stores that data message or provides other services with respect to that data message;

(k) “Originator” of a data message means a person by whom, or on whose behalf, the data message purports to have been sent or generated prior to storage, if any, but it does not include a person acting as an intermediary with respect to that data message.

SEC. 6. Statutory Interpretation. - Unless otherwise expressly provided for, the interpretation of this Act shall give due regard to its international origin and the need to promote uniformity in its application and the observance of good faith in international trade relations and E-commerce. The generally accepted principles of international law and convention on electronic commerce shall likewise be considered.

SEC.7. Variation by Agreement. - (1) As between parties involved in generating, sending, receiving, storing or otherwise processing data message, and except as otherwise provided, the provisions of Part II, Chapter III, may be varied by agreement. (2) Paragraph (1) does not affect any right that may exist to modify by agreement any rule of law referred to in Part II, Chapter II.

CHAPTER II. LEGAL RECOGNITION OF DATA MESSAGES

SEC. 8. Legal Recognition of Data Messages. - Information as defined in this Act, shall not be denied legal effect, validity or enforceability solely on the grounds that it is in the form of a data message, or that it is incorporated by reference in the data message. For evidentiary purposes, a data message or electronic writing shall be the functional equivalent of a written document under existing laws.

This Act does not modify any statutory rule relating to the admissibility of records, except the rules relating to authentication and best evidence.

SEC. 9. Legal Recognition of Electronic Writing. - (1) Where the law requires information to be in writing that requirement is met by a data message if the information contained therein is accessible so as to be usable for subsequent reference. (2) Paragraph (1) applies whether the requirement therein is in the form of an obligation or whether the law simply provides consequences for the information not being in writing.

SEC. 10. Legal Recognition of Electronic Signatures. - (1) Where the law requires a signature of a person, proof of the signature may be deemed established if the identity of the person concerned is shown by appropriate evidence aliunde and that he/she has the

ANNEX A: Senate Bill 1902

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information contained in the data message. (a) a method is used to identify that person and to indicate that person’s approval of the information contained in the data message; and b) that method is as reliable as was appropriate for the purpose for which the data message was generated or communicated, in the light of all the circumstances, including any relevant agreement.

(2) Paragraph (1) applies whether the requirement therein is in the form of an obligation or whether the law simply provides consequences for the absence of a signature.

SEC. 11. Original Documents. - (1) Where the law requires information to be presented or retained in its original form, that requirement is met by a data message if: (a) the integrity of the information from the time when it was first generated in its final form, as a data message by evidence aliunde or otherwise; and (b) where it is required that information be presented, that information is capable of being displayed to the person to whom it is to be presented. (2) Paragraph (1) applies whether the requirement therein is in the form of an obligation or whether the law simply provides consequences for the information not being presented or retained in its original form. (3) For the purposes of subparagraph (a) of paragraph (1): (a) the criteria for assessing integrity shall be whether the information has remained complete and unaltered, apart from the addition of any endorsement and any change which arises in the normal course of communication, storage and display; and (b) the standard of reliability required shall be assessed in the light of the purpose for which the information was generated and in the light of all the relevant circumstances.

SEC. 12. Authentication of Data Messages. - Until the Supreme Court by appropriate rules shall have so provided, the electronic writings, data messages and electronic signatures, shall be authenticated by demonstrating, substantiating and validating a claimed identity of a user, device, or another entity in an information or communication system, among other ways, as follows:

(a) The electronic signature shall be authenticated by proof that a letter, character, number or other symbol in electronic form representing the persons named in and attached to or logically associated with a data message, electronic writing, or that the methodology or procedures were employed or adopted by a person and executed or adopted by such person, with the intention of authenticating or approving an electronic document;

(b) The electronic data message or writing shall be authenticated by proof that a security procedure was adopted and employed for the purpose of verifying the originator of an electronic data message, or detecting error or alteration in the communication, content or storage of an electronic writing or data message from a specific point which using algorithm or codes, identifying words or numbers, encryptions, answers back or acknowledgement procedures, or similar security devices.

The Supreme Court may adopt such other authentication procedures, including

the use of electronic notarization systems as necessary and advisable, as well as the

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certificate of authentication on printed or hard copies of the electronic writings or data messages by electronic notaries, service providers and other duly recognized or appointed certification authorities.

The person seeking to introduce an electronic data message in any legal proceeding has the burden of proving its authenticity by evidence capable of supporting a finding that the electronic data message is what the person claims it to be.

In the absence of evidence to the contrary, the integrity of the electronic data message system in which an electronic data message is recorded or stored may be established in any legal proceeding -

(a) By evidence that at all material times the computer system or other similar device was operating in a manner that did not affect the integrity of the electronic data message, and there are no other reasonable grounds to doubt the integrity of the electronic data message system;

(b) By showing that the electronic data message was recorded or stored by a party to the proceedings who is adverse in interest to the party using it; or

(c) By showing that the electronic data message was recorded or stored in the usual and ordinary course of business by a person who is not a party to the proceedings and who did not act under the control of the party using the record.

SEC. 13. Admissibility and Evidential Weight of Data Messages. - (1) In any legal proceedings, nothing in the application of the rules of evidence shall apply so as to deny the admissibility of a data message in evidence:

(a) on the sole ground that it is a data message; (b) if it is the best evidence that the person adducing it could reasonably be expected

to obtain, on the grounds that it is not in its original form; (c) subject to paragraph (d), the best evidence rule in respect of an electronic data

message, is satisfied on proof of the integrity of the electronic data message system in or by which the data was recorded or stored; or

(d) that it is an electronic data message in the form of a printout that has been manifestly or consistently acted on, relied upon, or used as the record of the information recorded or stored on the printout.

(2) Information in the form of a data message shall be given due evidential weight. In assessing the evidential weight of a data message, regard shall be had to the reliability of the manner in which the data message was generated, stored or communicated, to the reliability of the manner in which the integrity of the information was maintained, to the manner in which its originator was identified, and to any other relevant factor.

(3) For the purpose of determining under any rule of law whether an electronic data message is admissible, evidence may be presented in any legal proceeding in respect of any standard, procedure, usage or practice on how electronic data messages are to be recorded or stored,

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having regard to the type of business or endeavor that used, recorded or stored the electronic data message and the nature and purpose of the electronic data message.

SEC. 14. Retention of Data Messages - (1) Where the law requires that certain documents, records or information be retained, that requirement is met by retaining data messages: Provided, That the following conditions are satisfied:

(a) the information contained therein is accessible so as to be usable for subsequent reference;

(b) the data message is retained in the format in which it was generated, sent or received, or in the format which can be demonstrated to represent accurately the information generated, sent or received; and (c) such information, if any, is retained as enables the identification of the original and destination of a data message and the time when it was sent or received.

(2) An obligation to retain documents, records or information in accordance with paragraph (1) does not extend to any information the sole purpose of which is to enable the message to be sent or received.

(3) A person may satisfy the requirement referred to in paragraph (1) by using the services of any other person: Provided, That the conditions set forth in subparagraphs (a), (b) and (c) of paragraph (1) are met.

SEC. 15. Proof By Affidavit. - The matters referred to in Section 13, paragraph (d), on the use of the record, Section 12, on the presumption of integrity, and Section 13, paragraph (3) on the standards, may be presumed to have been established by an affidavit given to the best of the deponent’s knowledge subject to the rights of parties in interest as defined in the following section.

SEC. 16. Cross-Examination. - (1) A deponent of an affidavit referred to in Section 15 that has been introduced in evidence may be cross-examined as of right by a party to the proceedings who is adverse in interest to the party who has introduced the affidavit or has caused the affidavit to be introduced.

(2) Any party to the proceedings has the right to cross-examine a person referred to in Section 12, fourth paragraph, subparagraph (c).

CHAPTER III. COMMUNICATION OF DATA MESSAGES

SEC. 17. Formation and Validity of Contracts. - (1) In the context of contract formation, unless otherwise agreed by the parties, an offer and the acceptance of an offer may be expressed by means of data messages. Where a data message is used in the formation of a contract, that contract shall not be denied validity or enforceability on the sole ground that a data message was used for that purpose.

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SEC. 18. Recognition by Parties of Data Messages. - (1) As between the originator and the addressee of a data message, a declaration of will or other statement shall not be denied legal effect, validity or enforceability solely on the grounds that it is in the form of a data message.

SEC. 19. Attribution of Data Messages. - (1) A data message is that of the originator if it was sent by the originator itself.

(2) As between the originator and the addressee, a data message is deemed to be that of the originator if it was sent:

(a) by a person who had the authority to act on behalf of the originator in respect of that data message; or

(b) by an information system programmed by, or on behalf of the originator to operate automatically.

(3) As between the originator and the addressee, an addressee is entitled to regard a data message as being that of the originator, and to act on that assumption, if: (a) in order to ascertain whether the data message was that of the originator, the addressee properly applied a procedure previously agreed to by the originator for that purpose; or (b) the data message as received by the addressee resulted from the actions of a person whose relationship with the originator or with any agent of the originator enabled that person to gain access to a method used by the originator to identify data messages as its own.

(4) Paragraph (3) does not apply: (a) as of the time when the addressee has both received notice from the originator that the data message is not that of the originator, and has reasonable time to act accordingly; or (b) in a case within paragraph (3) subparagraph (b), at any time when the addressee knew or should have known, had it exercised reasonable care or used any agreed procedure, that the data message was not that of the originator.

(5) Where a data message is that of the originator or is deemed to be that of the originator, or the addressee is entitled to act on that assumption, then, as between the originator and the addressee, the addressee is entitled to regard the data message as received as being what the originator intended to send, and to act on that assumption. The addressee is not so entitled when it knew or should have known, had it exercised reasonable care or used any agreed procedure, that the transmission resulted in any error in the data message as received.

(6) The addressee is entitled to regard each data message received as a separate data message and to act on that assumption, except to the extent that it duplicates another data message and the addressee knew or should have known, had it exercised reasonable care or used any agreed procedure, that the data message was a duplicate.

SEC. 20. Effect of Error or Change. - If an error or change in an electronic document occurs in a transmission between parties to a transaction, the following rules apply: (1) If the parties have agreed to use a security procedure to detect changes or errors and one party has

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conformed with the procedure, but the other party has not, and the non-conforming party would have detected the change or error had that party also conformed, the conforming party may avoid the effect of the erroneous or changed electronic document.

(2) In an automated transaction involving an individual, the individual may avoid the effect of an electronic document that resulted from an error made by the individual in dealing with the electronic agent of another person. If the electronic agent did not provide an opportunity for the prevention or correction of the error and, at the time the individual learns of the error, the individual: (a) Promptly notifies the other person of the error and that the individual did not intend to be bound by the electronic document received by the other person; (b) Takes reasonable steps including steps that conform to the other person’s reasonable instructions, to return to the other person or, if instructed by the other person to destroy the consideration received, if any, as a result of the erroneous electronic documents; and (c) Has not used or received any benefit or value from the consideration, if any, received from the other person.

(3) If neither paragraph (1) nor paragraph (2) applies, the error or change has the effect provided by other law, and the parties’ contract, if any.

(4) Paragraphs (2) and (3) may not be varied by agreement.

SEC. 21. Acknowledgement of Receipt. - (1) Paragraphs (2) to (4) of this article apply where, on or before sending a data message, or by means of that data message, the originator has requested or has agreed with the addressee that receipt of the data message be acknowledged.

(2) Where the originator has not agreed with the addressee that the acknowledgement be given in a particular form or by a particular method, an acknowledgement may be given by: (a) any communication by the addressee, automated or otherwise; or (b) any conduct of the addressee, sufficient to indicate to the originator that the data message has been received.

(3) Where the originator has stated that the data message is conditional on receipt of the acknowledgement, the data message is treated as though it has never been sent, until the acknowledgement is received.

(4) Where the originator has not stated that the data message is conditional on receipt of the acknowledgement, and tire acknowledgement has not been received by the originator within the time specified or agreed or, if no time has been specified or agreed, within a reasonable time, the originator: (a) may give notice to the addressee stating that no acknowledgement has been received and specifying a reasonable time by which the acknowledgement must be received; and (b) if the acknowledgement is not received within the time specified in subparagraph (a), may, upon notice to the addressee, treat the data message as though it had never been sent, or exercise any other rights it may have.

(5) Where the originator receives the addressee’s acknowledgement of receipt, it is presumed that the related data message was received the addressee. That presumption does not imply that the data message corresponds to the message received.

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(6) Where the received acknowledgement states that the related data message met technical requirements, either agreed upon or set forth in applicable standards, it is presumed that those requirements have been met.

(7) Except in so far as it relates to the sending or receipt of the data message, this article is not intended to deal with the legal consequences that may flow either from that data message or from the acknowledgement of its receipt.

SEC. 22. Time and Place of Dispatch and Receipt of Data Messages. - (1) Unless otherwise agreed between the originator and addressee, the dispatch of a data message occurs when it enters an information system outside the control of the originator or of the person who sent the data message on behalf of the originator.

(2) Unless otherwise agreed between the originator and the addressee, the time of receipt of a data message is determined as follows: (a) If the addressee has designated an information system for the purpose of receiving data messages, receipt occurs: (i) at the time when the data message enters the designated information system; or (ii) if the data message is sent to an information system of the addressee that is not the designated information system, at the time when the data message is retrieved by the addressee; (b) If the addressee has not designated an information system, receipt occurs when the data message enters an information system of the addressee.

(3) Paragraph (2) applies notwithstanding that the place where the information system is located may be different from the place where the data message is deemed to be received under paragraph (4).

(4) Unless otherwise agreed between the originator and the addressee, a data message is deemed to be dispatched at the place where the originator has its place of business, and is deemed to be received at the place where the addressee has its place of business. For the purposes of this paragraph: (a) if the originator or the addressee has more than one place of business, the place of business is that which has the closest relationship to the underlying transaction or, where there is no underlying transaction, the principal place of business; (b) if the originator or the addressee does not have a place of business, reference is to be made to its habitual residence.

PART THREE.

ELECTRONIC COMMERCE IN SPECIFIC AREASCHAPTER I. CARRIAGE OF GOODS

SEC. 23. Actions Related to Contracts of Carriage of Goods. - Without derogating from the provisions of part two of this law, this chapter applies to any action in connection with, or in pursuance of, a contract of carriage of goods, including but not limited to: (a) (i) furnishing the marks, number, quantity or weight of goods; (ii) stating or declaring the nature or value of goods; (iii) issuing a receipt for goods; (iv) confirming that goods have been loaded;

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(b) (i) notifying a person of terms and conditions of the contract; (ii) giving instructions to a carrier;

(c) (i) claiming delivery of goods; (ii) authorizing release of goods; (iii) giving notice of loss of, or damage to, goods; (d) giving any other notice or statement in connection with the performance of the

contract;

(e) undertaking to deliver goods to a named person or a person authorized to claim delivery;

(f ) granting, acquiring, renouncing, surrendering, transferring or negotiating rights in goods;

(g) acquiring or transferring rights and obligations under the contract.

SEC. 24. Transport Documents. - (1) Subject to paragraph (3), where the law requires that any action referred to in Section 23 be carried out in writing or by using a paper document, that requirement is met if the action is carried out by using one or more data messages.

(2) Paragraph (1) applies whether the requirement therein is in the form of an obligation or whether the law simply provides consequences for failing either to carry out the action in writing or to use a paper document.

(3) If a right is to be granted to, or an obligation is to be acquired by, one person and no other person, and if the law requires that, in order to effect this, the right or obligation must be conveyed to that person by the transfer, or use of, a paper document, that requirement is met if the right or obligation is conveyed by using one or more data messages: Provided, That a reliable method is used to render such data message or messages unique.

(4) For the purposes of paragraph (3), the standard of reliability required shall be assessed in the light of the purpose for which the right or obligation was conveyed and in the light of all the circumstances, including any relevant agreement.

(5) Where one or more data messages are used to effect any action in subparagraphs (f ) and (g) of Section 23, no paper document used to effect any such action is valid unless the use of data message has been terminated and replaced by the use of paper documents. A paper document issued in these circumstances shall contain a statement of such termination. The replacement of data messages by paper documents shall not affect the rights or obligations of the parties involved.

(6) If a rule of law is compulsorily applicable to a contract of carriage of goods which is in, or is evidenced by, a paper document, that rule shall not be inapplicable to such a

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contract of carriage of goods which is evidenced by one or more data messages by reason of the fact that the contract is evidenced by such data message or messages instead of by a paper document.

PART FOUR.

DATA MESSAGES IN GOVERNMENT TRANSACTIONS

SEC. 25. Government Use of Data Messages and Electronic Signatures. - Notwithstanding any law to the contrary, within two (2) years from the date of the effectivity of this Act, all departments, bureaus, offices and agencies of the government, as well as all government-owned-and-controlled corporations, that pursuant to law require or accept the filing of documents, require that documents be created, or retained and/or submitted, issue permit, license or certificates of registration or approval, or provide for the method and manner of payment or settlement of fees and other obligations to the government, shall –

(a) accept the creation, filing or retention of such documents in the form of data messages;

(b) issue permits, licenses, or approval in the form of data messages;

(c) require and/or accept payments, and issue receipts acknowledging such payments, through systems using data messages; or

(d) transact the government business and/or perform governmental functions using data messages and, for the purpose, are authorized to adopt and promulgate, after appropriate public hearing and with due publication in newspapers of general circulation, the appropriate rules, regulations, or guidelines, to, among others, specify-

The manner and format in which such data messages shall be filed, created, retained or issued;

1) where and when such data messages have to be signed, the use of a digital signature or other secure electronic signature, the type of electronic signature required; and

2) the format of the data message and the manner the electronic signature shall be affixed to the data message;

3) the control processes and procedures as appropriate to ensure adequate integrity, security and confidentiality of data messages, records or payments;

4) other attributes required of data messages or payments; and

5) the full or limited use of the documents and papers for compliance with the government requirements: Provided, That this Act shall by itself mandate any

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department or ministry of the government, organ of state of statutory corporation to accept or issue any document in the form of data messages upon the adoption, promulgation and publication of the appropriate rules, regulations, or guidelines.

SEC. 26. Authority of the Department of Trade and Industry and Participating Entities.- The Department of Trade and Industry (DTI) shall direct and supervise the promotion and development of electronic commerce in the country. This will be in consultation and coordination with the National Information Technology Council and National Computer Center, as well as the government offices and agencies, and representatives of the private sector concerned. Further, the DTI and the participating government and private entities shall have the authority to

a) recommend policies, plans and programs to further enhance the development of electronic commerce in the country;

b) coordinate and monitor the implementation of said policies, plans and/or programs;

c) provide fora and mechanisms in addressing issues and concerns affecting the other

government offices and agencies;

d) within sixty (60) days after the effectivity of this Act, promulgate rules and regulations and perform such other functions as are necessary and advisable for the implementation of this Act in the area of electronic commerce. Failure to issue rules and regulations shall not in any manner affect the executory nature of the provisions.

PART FIVE.

Final Provisions

SEC. 27. Taxes on E-Commerce Transactions. - Value-added, sales and other appropriate taxes shall be collected on E-commerce transactions by the central and local governments concerned.

SEC. 28. Reciprocity Provision. - All benefits, privileges, advantages or statutory rules established under this Act, including those involving practice of one’s profession, shall be enjoyed only by parties whose country of origin grants the same benefits and privileges or advantages to Filipino citizens.

SEC. 29. Penalties. - The following Acts shall be penalized by fine and/or imprisonment, as follows:

a) Hacking or cracking which refers to unauthorized access into or interference in a computer system/server by or through the use of a computer or a computer system in the computer or in another computer, without the knowledge and consent of the owner

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of the computer or system, including the introduction of computer viruses and the like, resulting in the corruption, destruction, alteration, theft or loss of data messages shall be punished by a minimum fine of One hundred thousand pesos (P100,000.00) and a maximum commensurate to the damage incurred and a mandatory imprisonment of six (6) months to three (3) years;

b) Violations of the Consumer Act or Republic Act No. 7394 through transactions covered by or using data messages, to be penalized with the same penalties as provided in that Act;

c) Other violations of the provisions of this Act, to be penalized with a maximum penalty of One million pesos (P1,000,000.00) or six (6) years imprisonment. Non-disclosure of proper identification or point of origin of any data message shall render such data message of no value.

Non-disclosure of proper identification or point of origin of any data message shall render such data message of no value.

SEC. 30. Separability Clause. - The provisions of this act are hereby declared separable and in the event of any such provision is declared unconstitutional, the other provisions to remain in force and effect.

SEC. 31. Repealing Clause. - All other laws, decrees, rules and regulations or parts thereof which are inconsistent with the provisions of this act are hereby repealed, amended or modified accordingly.

SEC. 32. Effectivity. - This act shall take effect immediately after its publication in the Official Gazette or in at least two (2) national newspapers of general circulation.

Approved

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ANNEX B

HOUSE BILL 9971The Electronic Commerce Act of 2000

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This is the House Bill presented in Committee Report 685. The interpellation of the bill started May 24, 2000. Once the House of Representatives version is passed, Congress will meet in a bicameral conference in coming up with a final bill to be signed by President Estrada and enact it as a law.

Republic of the Philippines House of Representatives

Quezon City

ELEVENTH CONGRESSFirst Regular Session

House Bill No. (Substitute Bill of House Bill Nos. 1756, 4123, 7104 and 8046)

Introduced by Representatives Angping, Golez, Verceles, Punzalan, Lopez, Badelles, Bunye, Valera, Calalay, Unde, Lorenzo-Villareal, Teodoro, Jr., Liban

AN ACT PROVIDING FOR PROTECTION OFELECTRONIC COMMERCIAL TRANSACTION,PENALTIES FOR UNLAWFUL USE THEREOF

AND FOR OTHER PURPOSES

Be it enacted by the Senate and the House of Representatives of the Republic of the Philippines in Congress assembled:

PART I SHORT TITLE AND DECLARATION OF POLICY

Sec. 1. Short Title. - This Act shall be known and cited as the “Electronic Commerce Act of 2000”.

Sec. 2. Declaration of Policy. - The State recognizes the vital role of information technology and telecommunication in nation-building; the need to create an information-friendly environment which supports and ensures the availability, diversity and affordability of telecommunication and information technology products and services; the primary responsibility of the private sector in contributing investments and services in telecommunications and information technology; the need to develop, with appropriate training programs and institutional policy changes, human resources for the information technology age, a labor force skilled in the use of telecommunication and information technology and a population capable of operating and utilizing electronic appliances and computers; its obligation to facilitate the transfer and promotion of adaptation technology, to ensure network security, connectivity and neutrality of technology for the national benefit; and the need to marshal, organize and deploy national information infrastructures,

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comprising in both telecommunications network and strategic information services, including their interconnection to the global information networks, with the necessary and appropriate legal, financial, diplomatic and technical framework, systems and facilities. PART II - GENERAL PROVISIONS

Sec. 3. Objective. This Act aims to simplify and facilitate domestic and international exchange of information, dealings, transactions, arrangements, agreements and contracts through the utilization of electronic, optical and similar medium, mode and instrumentality, and to promote security and recognize the authenticity and reliability of electronic documents related to such activities.

Sec. 4. Application. This Act shall apply to any kind of data message used in the context of commercial activities and other exchange of information, dealings, transactions, arrangements and contracts.

Sec. 5. Definition of Terms. For the purposes of this Act, the following terms are defined, as follows:

(a) “Access” refers to entry to an open system and/or an electronic document for any purpose whatsoever;

(b) “Addressee” refers to a person or party who is intended by the originator to receive the electronic document. The term does not include a person acting as an intermediary with respect to that electronic document.

(c) “Authentication” refers to a process for establishing the identity of a person, device, an electronic document, or entity participating in or a part of an information or communication system or network.

(d) “Computer” refers to any device or apparatus which, by electronic, electro-mechanical or magnetic impulse, or by other means, is capable of receiving, recording, transmitting, storing, processing, retrieving, or producing information, data, figures, symbols or other modes of written expression according to mathematical and logical rules or of performing any one or more of those functions including two or more computers carrying one or more of those functions in combination or in succession or otherwise howsoever conjointly which shall be treated as a single computer.

(e) “Electronic contract” refers to a contract created and entered into in accordance with the provisions of this Act.

(f ) “Electronic document” refers to information or the representation of information, data, figures, symbols or other modes of written expression, described or however represented, by which a right is established or an obligation extinguished, or by which a fact may be proved and affirmed, which is received, recorded, transmitted, stored, processed, retrieved or produced electronically.

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(g) “Electronic signature” refers to any letter, character, numeric figure or symbol, or any methodology or procedure, in electronic form, attached to or logically associated with an electronic document, representing and employed or adopted by a specified or nominated person and used, executed or adopted by such person with the intention of authenticating or approving the electronic document.

(h) “Hacking” refers to acts including, but not limited to, any unauthorized access into or interference in a computer system / server or any access in order to corrupt, destroy, alter, or steal data messages using computers or other similar communication devices.

(i) “Information system” refers to a system intended for and capable of generating, sending, receiving, storing or otherwise processing electronic documents and information.

(j) “Intermediary” refers to, with respect to a particular electronic document, a person who, on behalf of another person, sends, receives and/or stores or provides other services in respect of that electronic document.

(k) “Originator” refers to a person by whom, or on whose behalf, the electronic document purports to have been created, generated and/or sent . The term does not include a person acting as an intermediary with respect to that electronic document.

(l) “Service provider” refers to a provider of - i) On-line services or network access, or the operator of facilities therefor,

including entities offering the transmission, routing, or providing of connections for online communications, digital or otherwise, between or among points specified by a user, of electronic documents of the user’s choosing; or

ii) The necessary technical means by which electronic documents of an originator may be stored and made accessible to a designated or undesignated third party. Such service providers shall have no authority to modify or alter the content of the electronic document received or to make any entry therein on behalf of the originator, addressee or any third party unless specifically authorized to do so, and who shall retain the electronic document in accordance with the specific request or as necessary for the purpose of performing the services he was engaged to perform.

(m) “Piracy in Electronic Commerce” refers to the unauthorized copying, reproduction, dissemination, distribution, use, removal, alteration, substitution, modification, storage, uploading or downloading of protected material or copyrighted works including legally protected sound recording, phonograms or information materials or protected works.

Sec. 6. Interpretation. - (1) In the interpretation of this Act, regard is to be had to its international origin and to the need to promote uniformity in its application and the observance of good faith.

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(2) Questions concerning matters governed by this Act, which are not expressly settled in it are to be settled in conformity with the general principles on which this Act is based.

PART III LEGAL RECOGNITION OF DOCUMENT AND ELECTRONIC CONTRACTS

Sec. 7. Legal Recognition of Electronic Documents. – Electronic documents shall have the legal effect, validity or enforceability as any other document or legal writing, and -

(a) Where the law requires a document to be in writing, that requirement is met by an electronic document if the said electronic document maintains its integrity and reliability and can be authenticated so as to be usable for subsequent reference, in that -

(i) The electronic document has remained complete and unaltered, apart from the addition of any endorsement and any authorized change, or any change which arises in the normal course of communication, storage and display; and

(ii) The electronic document is reliable in the light of the purpose for which it was generated and in the light of all the relevant circumstances.

(b) Paragraph (a) applies whether the requirement therein is in the form of an obligation or whether the law simply provides consequences for the document not being presented or retained in its original form.

(c) Where the law requires that a document be presented or retained in its original

form, that requirement is met by an electronic document if -

(i) There exists a reliable assurance as to the integrity of the document from the time when it was first generated in its final form; and

(ii) That document is capable of being displayed to the person to whom it is to be presented: Provided, That no provision of this Act shall apply to vary any and all requirements of existing laws on formalities required in the execution of documents for their validity.

Sec. 8. Legal Recognition of Data Messages. - Information shall not be denied legal effect, validity or enforceability solely on the grounds that it is in the data message purporting to give rise to such legal effect, but is merely referred to in that data message.

Sec. 9. Retention of Electronic Documents. - Notwithstanding any provision of law, rule or regulation to the contrary -

(a) The requirement in any provision of law that certain documents be retained in their original form is satisfied by retaining them in the form of an electronic document which -

i. Remains accessible so as to be usable for subsequent reference; ii. Is retained in the format in which it was generated, sent or received, or in a

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format which can be demonstrated to accurately represent the electronic document generated, sent or received;

iii. Enables the identification of its originator and addressee, as well as the determination of the date and the time it was sent or received.

(b) The requirement referred to in paragraph (a) is satisfied by using the services of a third party, provided that the conditions set forth in subparagraphs (i), (ii) and (iii) of paragraph (a) are met.

Sec. 10. Additional Requirements Imposed or Agreed Upon. – Nothing under this Act shall preclude any parties to an electronic document from specifying additional requirements for the creation, generation, retention verification and authentication of electronic documents, nor shall the parties concerned be prevented from adopting additional requirements as they may mutually agree upon for as long as the requirements do not lead to functional equivalence.

Sec. 11. Originator’s Electronic Documents. - An electronic document is deemed to be that of the originator if - (a) It was sent by - i) The originator himself; or ii) A person who had the authority to act

on behalf of the originator in respect of that electronic document; or iii) An information system programmed by or on behalf of the originator to operate automatically.

(b) It has the originator’s electronic signature.

Sec. 12. Reliance as Originator’s Electronic Documents. - An addressee is entitled to regard electronic documents as being that of the originator and to act on that assumption if –

(a) The addressee properly applied a procedure previously agreed upon or provided in the electronic document released and sent directly by the originator for that purpose; or

(b) The electronic document received by the addressee resulted from the actions of a person whose relationship with the originator or with any agent of the originator enabled that person to gain access to a method used by the originator to identify the electronic document as that of the originator.

The foregoing provisions of this section shall not apply — i. From the time the addressee receives a notice from said originator that the

electronic document is not his own and the addressee has had reasonable time to act accordingly; or

ii. At any time that the addressee knew or ought to have known, had the addressee exercised reasonable care or used the appropriate procedure, that the electronic document was not that of the originator; or

iii. If under the circumstances of the case, it is unconscionable to regard the electronic document as that of the originator or for the addressee to act on that assumption.

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Sec. 13. Error on Electronic Documents. - The addressee is entitled to regard the electronic documents received as that which the originator intended to send, and to act on that assumption, unless the addressee knew or should have known, had the addressee exercised reasonable care or used the appropriate procedure –

(a) That the transmission resulted in any error therein or in the electronic document when the electronic document enters the designated information system; or

(b) That electronic document is sent to an information system which is not so designated by the addressee for the purpose.

Sec. 14. Separate and Duplicate Electronic Document. - The addressee is entitled to regard each electronic document received as a separate electronic document and to act on that assumption except to the extent that it duplicates another electronic document and the addressee knew or should have known, had it exercised reasonable care or used the appropriate procedure, that the electronic document was a duplicate.

Sec. 15. Agreement on Acknowledgment of Receipt of Electronic Documents. - The following rules shall apply where, on or before sending an electronic document the originator and the addressee have agreed, or in that electronic document the originator has requested, that receipt of the electronic document be acknowledged:

(a) Where the originator has not agreed with the addressee that the acknowledgment be given in a particular form or by a particular method, an acknowledgment may be given by or through any communication by the addressee, automated or otherwise, or any conduct of the addressee, sufficient to indicate to the originator that the electronic document has been received;

(b) Where the originator has stated that the effect or significance of the electronic document is conditional on receipt of the acknowledgment thereof, the electronic document is treated as though it has never been sent, until the acknowledgment is received;

(c) Where the originator has not stated that the effect or significance of the electronic document is conditional on receipt of the acknowledgment, and the acknowledgment has not been received by the originator within the time specified or agreed or, if no time has been specified or agreed, within a reasonable time, the originator may give notice to the addressee stating that no acknowledgment has been received and specifying a reasonable time by which the acknowledgment must be received; and

(d) If the acknowledgment is not received within the time specified in subparagraph (c), the originator may, upon notice to the addressee, treat the electronic document as though it had never been sent, or exercise any other rights it may have.

Sec. 16. Effect and Significance of Acknowledgment of Receipt of Electronic Documents. - Where the received acknowledgment states that the related electronic document met the technical requirements, either agreed upon or set forth in applicable standards, it shall be

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conclusively presumed that those requirements have been met; and, where the originator only receives the addressee’s acknowledgment of receipt, it is presumed that the related electronic document was received by the addressee, but that presumption does not imply that the said electronic document corresponds to the electronic document received.

Sec. 17. Time of Dispatch of Electronic Documents. – Unless otherwise agreed between the originator and the addressee, the dispatch of an electronic document occurs when it enters an information system outside the control of the originator or of the person who sent the electronic document on behalf of the originator.

Sec. 18. Time of Receipt of Electronic Documents. - Unless otherwise agreed between the originator and the addressee, the time of receipt of an electronic document is as follows:

(a) If the addressee has designated an information system for the purpose of receiving electronic documents, receipt occurs at the time when the electronic document enters the designated information system; or

(b) If the electronic document is sent to an information system of the addressee that is not the designated information system, receipt occurs at the time when the electronic document is retrieved by the addressee;

(c) If the addressee has not designated an information system, receipt occurs when the electronic document enters an information system of the addressee.

These rules apply notwithstanding that the place where the information system is located may be different from the place where the electronic document is deemed to be received.

Sec. 19. Place of Dispatch and Receipt of Electronic Documents. - Unless otherwise agreed between the originator and the addressee, an electronic document is deemed to be dispatched at the place where the originator has its place of business and received at the place where the addressee has its place of business. For the purposes hereof - ( a) If the originator or the addressee has more than one place of business, the place

of business is that which has the closest relationship to the underlying transaction or, where there is no underlying transaction, the principal place of business;

(b) If the originator of the addressee does not have a place of business, reference is to be made to its habitual residence; or

(c) The “usual place of residence” in relation to a body corporate, means the place where it is incorporated or otherwise legally constituted.

Sec. 20. Choice of Cryptographic Methods. - Subject to applicable laws and/or rules and guidelines promulgated by the Department of Trade and Industry, users of cryptography shall be free to determine the type and level of electronic document security needed, and

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to select and use or implement appropriate cryptographic methods, including the key management system that suit their needs.

Sec. 21. Admissibility and Evidential Weight of Electronic Documents. - In any and all legal proceedings, nothing in the application of the rules on evidence shall deny the admissibility of an electronic document in evidence -

(a) On the sole ground that it is in electronic form; or

(b) On the ground that it is not in the standard written form and electronic document meeting and complying with the requirements under Section 6 hereof shall be the best evidence of the agreement and transaction contained therein.

In assessing the evidential weight of an electronic document, the reliability of the manner in which it was generated, stored or communicated, the reliability of the manner in which its originator was identified, and other relevant factor shall be given due regard.

CHAPTER III - RECOGNITION OF ELECTRONIC SIGNATURES

Sec. 22. Recognition of Electronic Signatures. A electronic signature on the electronic document shall be equivalent to the signature of a person on a written document if that signature is proved by showing that a prescribed procedure, not alterable by the parties interested in the electronic document, existed under which -

(a) A method is used to identify the party sought to be bound and to indicate said party’s access to the electronic document necessary for his consent or approval through the electronic signature;

(b) Said method is reliable and appropriate for the purpose for which the electronic document was generated or communicated, in the light of all the circumstances, including any relevant agreement;

(c) It is necessary for the party sought to be bound, in order to proceed further with the transaction, to have executed or provided the electronic signature; and

(d) The other party is authorized and enabled to verify the electronic signature and to make the decision to proceed with the transaction authenticated by the same.

Sec. 23. Presumption Relating to Electronic Signatures. - In any proceedings involving an electronic signature, it shall be presumed that -

(a) The electronic signature is the signature of the person to whom it correlates; and

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(b) The electronic signature was affixed by that person with the intention of signing or approving the electronic document unless the person relying on the electronically signed electronic document knows or has notice of defects in or unreliability of the signature or reliance on the electronic signature is not reasonable under the circumstances.

Sec. 24. Legal Recognition of Electronic Writing - (1) Where the law requires information to be in writing that requirement is met by a data message if the information contained therein is accessible so as to be usable for subsequent reference.

PART III ELECTRONIC CONTRACTS.

Sec. 25. Formation of Electronic Contracts. Except as otherwise agreed by the parties, an offer, the acceptance of an offer and such other elements required under existing laws for the formation of contracts may be expressed in, demonstrated and proved by means of electronic documents and no contract shall be denied validity or enforceability on the sole ground that it is in the form of an electronic document, or that any or all of the elements required under existing laws for the formation of the contracts is expressed, demonstrated and proved by means of electronic documents.

Sec. 26. Jurisdiction. An electronic contract dealing with the use of a key management system shall indicate the jurisdiction whose laws apply to that system or whose law shall apply to the contract. In the absence of such indication, jurisdiction over the contract shall be acquired in accordance with existing laws.

PART IVELECTRONIC DOCUMENTS IN GOVERNMENT TRANSACTIONS

Sec. 27. Government Use of Electronic Records and Signatures. Notwithstanding any law to the contrary, all departments, bureaus, offices and agencies of the Government, as well as all government owned and controlled corporations, that pursuant to law require or accept the filing of documents, require that documents be created, or retained and/or submitted, issue permit, license or certificates of registration or approval, or provide for the method and manner of payment or settlement of fees and other obligations to the government, shall -

(a) Accept the creation, filing or retention of such documents in the form of electronic documents;

b) Issue permits, licenses or approval in the form of electronic documents;

(c) Require and/or accept payments, and issue receipts acknowledging such payments, through systems using electronic documents; or

(d) Transact the government business and/or perform governmental functions using electronic documents and, for the purpose, are authorized to adopt and promulgate,

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after appropriate public hearing and with due publication in newspapers of general circulation, the appropriate rules, regulations, or guidelines, to, among others, specify-

a) The manner and format in which such electronic documents shall be filed, created, retained or issued;

b) Where and when such electronic documents have to be signed, the use of a digital signature or other secure electronic signature, the type of electronic signature required; and

c) The format of the electronic document and the manner the electronic signature shall be affixed to the electronic documents;

d) The control processes and procedures as appropriate to ensure adequate integrity, security and confidentiality of electronic documents , records or payments;

e) Other attributes required of electronic documents or payments; and f ) The full or limited use of the documents and papers for compliance with

the government requirements: Provided, that nothing in this Act shall by itself compel any department or ministry of the Government, organ of State of statutory corporation to accept or issue any document in the form of electronic documents until the adoption, promulgation and publication of the appropriate rules, regulations, or guidelines.

Sec. 28. Authority of the Department of Trade and Industry. - The Department of Trade and Industry shall direct and supervise the promotion and development of electronic commerce in the country in consultation and coordination with the National Information Technology Council and National Computer Center, as well as the government offices and agencies and representatives of the private sector concerned, further authority and power to -

(a) Recommend policies, plans and programs to further enhance the development of electronic commerce in the country;

b) Coordinate and monitor the implementation of said policies, plans and/or programs;

c) Provide fora and mechanisms in addressing issues and concerns affecting the other government offices and agencies;

d) Promulgate rules and regulations, as well as quality standard or issue certification, as the case may be, and perform such other functions as are necessary for the implementation of this Act in the area of electronic commerce.

PART VELECTRONIC COMMERCE IN SPECIFIC AREAS

CHAPTER I. CARRIAGE OF GOODS

SEC. 29. Actions Related to Contracts of Carriage of Goods. - Without derogating from the provisions of part two of this law, this chapter applies to any action in connection with, or in pursuance of, a contract of carriage of goods, including but not limited to:

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(a) (i) furnishing the marks, number, quantity or weight of goods; (ii) stating or declaring the nature or value of goods; (iii) issuing a receipt for goods; (iv) confirming that goods have been loaded;

(b) (i) notifying a person of terms and conditions of the contract; (ii) giving instructions to a carrier;

(c) (i) claiming delivery of goods; (ii) authorizing release of goods; (iii) giving notice of loss of, or damage to, goods;

(d) giving any other notice or statement in connection with the performance of the contract;

(e) undertaking to deliver goods to a named person or a person authorized to claim delivery;

(f ) granting, acquiring, renouncing, surrendering, transferring or negotiating rights in goods;

(g) acquiring or transferring rights and obligations under the contract.

SEC. 30. Transport Documents. - (1) Subject to paragraph (3), where the law requires that any action referred to in Section 19 be carried out in writing or by using a paper document, that requirement is met if the action is carried out by using one or more data messages.

(2) Paragraph (1) applies whether the requirement therein is in the form of an obligation or whether the law simply provides consequences for failing either to carry out the action in writing or to use a paper document.

(3) If a right is to be granted to, or an obligation is to be acquired by, one person and no other person, and if the law requires that, in order to effect this, the right or obligation must be conveyed to that person by the transfer, or use of, a paper document, that requirement is met if the right or obligation is conveyed by using one or more data messages: Provided, That a reliable method is used to render such data message or messages unique.

(4) For the purposes of paragraph (3), the standard of reliability required shall be assessed in the light of the purpose for which the right or obligation was conveyed and in the light of all the circumstances, including any relevant agreement.

(5) Where one or more data messages are used to effect any action in subparagraphs (f ) and (g) of Section 19, no paper document used to effect any such action is valid unless the use of data message has been terminated and replaced by the use of paper documents. A paper document issued in these circumstances shall contain a statement of such termination. The replacement of data messages by paper documents shall not affect the rights or obligations of the parties involved.

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(6) If a rule of law is compulsorily applicable to a contract of carriage of goods which is in, or is evidenced by, a paper document, that rule shall not be inapplicable to such a contract of carriage of goods which is evidenced by one or more data messages by reason of the fact that the contract is evidenced by such data message or messages instead of by a paper document.

PART VI MISCELLANEOUS PROVISIONS

Sec. 31. Lawful Access. - Access to a plain text, a cryptographic keys or an electronic signature of electronic document will only be authorized to and enforced in favor of the individual or entity having a legal right to the possession or use of the plaintext, cryptographic key or electronic signature and solely for the authorized purposes.

A cryptographic key for identity or integrity shall not be made available to any person or party without the consent of the individual or entity in lawful possession of that key.

Sec. 32. Obligation of Confidentiality. - Except for the purposes authorized under this Act, no person who has, pursuant to any powers conferred under this Act, obtained access to any cryptographic key, electronic document, book, register, correspondence, information, or other material shall disclose such cryptographic key, electronic document, book, register, correspondence, information, or other material to any other person.

Sec. 33. Purpose and Construction. This Act shall be construed to give effect to the State policies and objectives declared in this Act and

(a) To facilitate electronic communications by means of reliable electronic documents;

(b) To facilitate electronic commerce, eliminate barriers to electronic commerce resulting from uncertainties over writing and signature requirements;

(c) To promote the development of the legal and business infrastructure necessary to implement secure electronic commerce;

d. To facilitate electronic filing of documents with government agencies and statutory corporations, and to promote efficient delivery of government services by means of reliable electronic documents;

(e) To minimize the incidence of forged electronic documents, intentional and unintentional alteration of electronic documents, and fraud in electronic commerce and other electronic transactions;

(f ) To help establish uniformity of rules, regulations and standards regarding the authentication and integrity of electronic documents; and

(g) To promote public confidence in the integrity and reliability of electronic documents and electronic commerce, and to foster the development of electronic

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commerce through the use of electronic signatures to lend authenticity and integrity to correspondence in any medium.

Sec. 34. Variation by Agreement. - As between parties involved in generating, sending, receiving, storing or otherwise processing electronic records, any provision of this Act may be varied by agreement between and among them.

Sec. 35. Liability of a Service Provider. - Except as otherwise provided in this section, no person or party shall be subject to any civil or criminal liability in respect of the electronic document for which the person or party acting as a service provider as defined in Sec.5 (l), merely provides access if such liability is founded on -

(a) The obligations and liabilities of the parties under the electronic document;

(b) The making, publication, dissemination or distribution of such material or any statement made in such material, including possible infringement of any right subsisting in or in relation to such material: Provided, That –

i. The network service provider does not have actual knowledge, or is not aware of the facts or circumstances from which it is apparent, that the making, publication, dissemination or distribution of such material is unlawful or infringes any rights subsisting in or in relation to such material; and

ii. The network service provider does not knowingly receive a financial benefit directly attributable to the unlawful or infringing activity.

iii. The service provider does not directly commit any infringement or other unlawful act and does not induce or cause another person or party to commit any infringement or other unlawful act and/or does not benefit financially from the infringing activity or unlawful, act of another person or party. Provided, further, That nothing in this Section shall affect -

a) Any obligation founded on contract; b) The obligation of a network service provider as such under a licensing

or other regulatory regime established under written law; or c) Any obligation imposed under any written law. d) The civil liability of any party to the extent that such liability forms the

basis for an injunctive relief issued by a court under any law requiring that the service provider take or refrain from actions necessary to remove, block or deny access to any material, or to preserve evidence of a violation of law.

Provided, finally, That obligations and responsibilities of an individual or entity, including a government office or agency, which offers cryptographic services, or holds or has access to cryptographic keys, or offers services as a service provider under this Act shall be those provided hereunder, in contract it enters into and in international agreements or conventions in which the Philippines is a party and/or signatory, but said individual or entity, including a government office or agency shall not be held liable for providing cryptographic keys or plaintext of encrypted electronic document in accordance with lawful access.

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Sec. 36. Penalties. - The following acts shall be subject penalized by fine and/or imprisonment, as follows: (a) Hacking as defined in Part II, Section 5 (h) and any violations of this Act and

forgery, alteration, infliction of damages, violation of the secrecy, misuses, or other illegal use of electronic documents sent, received, stored or compiled by any persons, including ex-director, ex-officers, ex-employees, director, officer or employee of a third party, shall be punished by a minimum fine of One Hundred Thousand Pesos (P100,000.00) and a maximum commensurate to the damage incurred and a mandatory imprisonment of six (6) months to three (3) years;

(b) Violations of the Consumer Act or RA 7394 through transactions covered by or using electronic documents, to be penalized with the same penalties as provided in that Act;

Sec. 37. Implementing Rules and Regulations - An inter-agency committee to be composed of Secretary of the Department of Trade and Industry (DTI) and the different heads of Bangko Sentral ng Pilipinas (BSP) thru the Monetary Board, Commission on Audit (COA), Securities and Exchange Commission (SEC), Bureau of Internal Revenue (BIR), National Telecommunications Commission (NTC) and National Computer Center (NCC)shall promulgate all rules and regulations necessary to carry out their respective functions under this Act within thirty (30) days after its approval.

Sec. 38. Separability Clause. - The provisions of this Act are hereby declared separable and in the event of any such provision is declared unconstitutional, the other provisions to remain in force and effect.

Sec. 39 Repealing Clause. - All other laws, decrees, rules and regulations or parts thereof which are inconsistent with the provisions of this Act are hereby repealed, amended or modified accordingly.

Sec. 40 Effectivity. - This Act shall take effect immediately after its publication in the Official Gazette or in at least two (2) national newspapers of general circulation.

Approved,

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ANNEX C

SENATE BILL 2025AN ACT PROVIDING PROTECTION AGAINST

COMPUTER FRAUD AND ABUSES ANDOTHER CYBER-RELATED FRAUDULENT ACTIVITIES,

PROVIDING PENALTIES THEREFOREAND FOR OTHER PURPOSES

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ELEVENTH CONGRESS OF THE REPUBLIC OF THE PHILIPPINES

Second Regular Session

S E N A T ES.B. 2025

Introduced by Senator Magsaysay, Jr.

AN ACT PROVIDING PROTECTION AGAINST COMPUTER FRAUD AND ABUSES AND OTHER CYBER-RELATED FRAUDULENT ACTIVITIES, PROVIDING PENALTIES THEREFOR AND FOR OTHER PURPOSES

Be it enacted by the Senate and the House of Representatives of the Republic of the Philippines in Congress assembled:

SECTION 1. Title - This Act shall be known and cited as the “Anti-Computer Fraud and Abuses Act of 2000” SECTION 2. Policy Statement - It is hereby declared a policy of the State to create the appropriate policy and institutional environment to rationalize, accelerate the use, application and exploitation of information technology as a tool and as a development strategy for modernization and economic development.

In furtherance of the said policy statement, the government shall exert positive efforts to provide protection against all forms of computer fraud and abuses and other cyber-related fraudulent activities committed against vital government and private financial institutions.

SEC. 3. Punishable Acts. - The following acts/offenses are punishable under this Act:

•ComputerFraud-Theinput,alteration,erasureorsuppressionofcomputerdataor computer programs, or other interference in the course of data processing, that influences the result of data processing thereby causing economic or possessory loss of property of another person with the intent of procuring an unlawful economic gain for himself or for another persons;

•ComputerForgery-Theinput,alteration,erasureorsuppressionofcomputerdataor computer programs, or other interference in the course of data processing, in a manner or under such conditions, as prescribed by national law, that would constitute the offense of forgery if it had been committed with respect to a traditional object an offense;

This bill was filed by Senator Ramon B. Magsaysay, Jr. in the growing challenges presented by cybercrime. This is only a proposed bill at this stage and no action has been taken on it yet. Your comments and feedback is highly appreciated. Please email me at [email protected] and let me know what you think of this proposed bill.

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• Damage to Computer data or Computer Programs - The erasure, alterationdamaging, deterioration or suppression of computer data or computer programs without right;

•Computersabotage-Theinput,alteration,erasureorsuppressionofcomputerdata or computer programs, or interference with computer systems, with the intent to hinder the functioning of a computer or of a telecommunications system;

•UnauthorizedAccess-Theaccesswithoutrighttoacomputersystemornetworkby infringing security measures;

•UnauthorizedInterception-Theinterception,madewithoutrightandbytechnicalmeans, of communications to from and within a computer system or network.

•Whoever; – knowingly accesses a computer without authorization or exceeds authorized

access, and by means of such conduct obtains information that has been determined by the Government pursuant to regulations requiring protection against unauthorized disclosure for reasons of national security or foreign relations, or any restricted data, with the intent or reason to believe that such information so obtained is to be used to the injury o the Philippines, or to the advantage of any foreign nation;

– internationally access a computer without authorization or exceeds authorized access, and thereby obtains information contained in a financial record of a financial institution, or of a card issuer or contained in a file of a consumer reporting agency on a consumer internationally without authorization to access any computer of a department or agency of the government of the Philippines or any public or private financial institution operating under Philippine Laws, accesses such a computer of the department or agency that is exclusively for the use of the Government of the Philippines, or in the case of a computer not exclusively for such use, it is used by or for the Government of the Philippines or, in the case of a computer not exclusively for such conduct affects the use of the Government’s operation of such computer;

– knowingly and with intent to defraud, accesses a vital government or private financial institution or agencies as indicated in the IRR without authorization, or exceeds authorized access, and by means of such conduct furthers the intended fraud and obtain anything of value, unless the object of the fraud and the thing obtained consist only of the use of the computer;

– internationally accesses a national government computer without authorization and by means of one or more instances of such conduct alters, damages, or destroys information in any computer, or prevents authorized use of any such computer or information, and thereby ---

– causes loss to one or destroys property of value; – modifies or impairs, or potentially modifies or impairs the medical examination, medical

diagnosis, medical treatment, or medical care of one or more individuals; or – knowingly and with intent to defraud traffics in any password or similar

information through which a computer may be accessed without authorization, if such trafficking affects inter-country or foreign trade or such computer is used by the government of the Philippines in its transactions.

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For purposes of this above-mentioned enumeration of offenses, the following terms shall be defined as follows:

•Computershallrefertoanelectronic,magnetic,optical,electromechanical,orotherhigh speed data processing device performing logical, arithmetic, or storage functions, and includes any data storage facility or communications facility directly related to or operating in conjunction with such device, but such term does not include an automated typewriter or typesetter, a portable hand held calculator, or other similar device;

•Nationalgovernmentcomputershallrefertoacomputerexclusivelyfortheuseofagovernment and private financial institutions operating under Philippine laws, or, in the case of a computer not exclusively for such use, by a financial institution or any of the agencies of the government and the conduct constituting the offense the use of the financial institution’s operation or the Government’s operation of computer; or

•whichisoneofthetwoormorecomputersusedincommittingtheoffense,notallwhich are located in the same place/area.

SEC. 4. Penal Provisions - Any person who violates any provision of this Act shall be punishable with imprisonment for not less than eight (8) years nor more than twenty (20) years and a fine of one hundred thousand pesos (Php100,000.00) or equal in amount to the damage involved in the violation, whichever is applicable: Provided, That if the person violating any provisions of this Act is a juridical person, the penalty herein provided shall be imposed on its president or secretary and/or members of the board of directors or any of its officers and employees who may have directly participated in the violation.

Any government official or employee who directly commits the unlawful acts defined in this Act or is guilty of gross negligence of duty or connives with or permits the commission of any of the said unlawful or prohibited acts shall, in addition to the penalty prescribed in the preceding paragraph, be dismissed from the service with prejudice to his reinstatement and with disqualification from voting or being voted for in any election and from appointment to any public office.

SECTION 5. Authority of the National Security Council - The National Security Council (NSC) shall have, in addition to other government agencies concerned, the authority to investigate offenses under this section, particularly if the violation committed affects the national security of the country.

SECTION 6. Miscellaneous - Without prejudice to the provisions of this Act, nothing herein provided shall divest or deprive courts of justice, civil or military, of their jurisdiction, in the proper cases, over civil or criminal suits or actions arising from acts or omissions under this law.

SECTION 7. Implementing Rules and Regulations (IRR) - The National Computer Center in cooperation with the Departments of Finance and Science and Technology, the National Security Council and other concerned agencies shall formulate the necessary rules and regulations for the effective implementation of this Act.

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SECTION 8. Separability Clause - If for any provision of this Act is held invalid, the other provisions of this Act not affected shall remain in full force and effect.

SECTION 9. Repealing Clause - All laws, decrees, orders, rules and regulations, or portion thereof inconsistent with this Act are hereby repealed or modified accordingly.

SECTION 10. Effectivity - This Act shall take effect fifteen (15) days after its complete publication in the Official Gazette or in at least two (2) newspaper of general publication, whichever comes earlier.

Approved,

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ANNEX D

THE DIGITAL FILIPINOWEBRING

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Last February 7, 2000, the DigitalFilipino Webring was created. It intends to create a solid community of e-commerce related web sites that current and future Filipino Internet users can refer to.

Any Philippine web site that offers products and services that are part of the e-commerce lifecycle can be part of the ring. This include Philippine web sites that are, but not limited to, portals, ISPs, VANs, consulting firms, web development/design, web hosting, banks, payment gateways, delivery/fulfillment, trading hubs, e-commerce sites, hardware/software provider, communities, enthusiasts, and more.

DigitalFilipino.com is not responsible for any action and dealings of its webring members.

arts/crafts/litEraturE

1. Nunez Online Gallery (http://www.nunezonlinegallery.com/) - Features the modern art of Pablo Nuñez.

auctions

1. PhilAuctions.com (http://www.philauctions.com) - Free online auctions and classified ads, as well as bulletin boards for user-to-user

ecommerce.

automotiVE

1. Silverwind Light Alloy Wheels (http://www.silverwind.net/) - The Official Silverwind Magwheels online catalog and website.

classifiEds

1. PinoyAds.com (http://www.pinoyads.com/) - The newest Filipino free online classified ads. Advertise on the net for free using full

featured classified ads. Win prizes just by posting your ads.

communitiEs

1. Iskul.Org (http://www.iskul.org) - The First Filipino website offering Free Internet Services solely for Student

Organizations. Our comprehensive service is dedicated to the future professionals, our country’s future.

2. pinoyDentist.com (http://www.pinoydentist.com) - Online community of Filipino Dentists.

THE DIGITAL FILIPINO WEBRING

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3. CyberPromdi Homepage (http://www.cyberpromdi.net) - CyberPromdi is Cebu’s Net Entrepreneur Community. We’re in business on the

internet!

4. #Cavite Channel UnderNet (http://www.geocities.com/TimesSquare/Corridor/7914/index.htm) - The #CAVITE CHANNEL on UnderNet Server, the home chatlane of ALL THE

FILIPINO, Caviteños.

comPaniEs - intErnEt consultancy / WEB dEVEloPmEnt

1. Adcom Virtual (http://www.adcomvirtual.com/) - Adcom Virtual is a professional web development and hosting company, based in

Davao City, Philippines.

2. Liquid Soul Studios (http://www.geocities.com/liquidsoulstudios/) - Graphic and web design company.

3. Island Code Web Design (http://sites.netscape.net/islandcode) - Offers web design deals! Free web hosting www.yourdomain.com with any web

design package, the easiest way to put your company on the web. Starts from $349, complete design, hosting and marketing solutions.

EntErtainmEnt

1. PlanetGimmick (http://www.planetgimmick.com) - The one and only cyber-guide to the most interesting places, events and people in

the Metro-Manila area.

2. Likha Online (http://www.adinfiniti.com/index_test.html) - Likha Online is a collection of original work by various artists. Their creativity is

expressed through both visual art and literature. Browse through the collection, or contribute your own.

E-zinE

1. Buyncell.com (http://www.buyncell.com) - The Philippines’ premiere online cellular classified ads. Pinoys’ one stop cellular

portal.

food

1. Pinoydelikasi.com (http://www.pinoydelikasi.com) - An online delicacy store that offers a variety of delicious mouthwatering Filipino

delicacies delivered right at your doorstep.

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2. Food for the Soul (http://foodforthesoul.hypermart.net/) - Offers a wide variety of comfort food. From the famous Ube & Strawberry Jam of

the Good Shepherd Nuns in Baguio to the mountain grown coffee of the Benedictine Monks in Bukidnon. Food that not only pleases the palate but lifts the spirit as well.

isP

1. Icalitrac Corporation (http://www.i-trac.com/) - i-TRAC is the official MosCom Internet Franchisee for the Province of Cavite. We

offer the most reliable and fastest internet connection in the whole province of Cavite catering to all types of access.

onlinE mall

1. PhilShop (http://www.philshop.com) - A shopping portal. Create your own online store catalogue. Find products before

you visit the stores. Search for other shopping sites in the Philippines.

onlinE shoPPing

1. Ninong.com - (http://www.ninong.com) - A Filipino online toy store delivering toys within the Philippines.

2. The Ayala eCenter (http://www.ayalaecenter.com) - Internet Shopping for the Filipino family back at home.

PErsonal homEPagE (indEPEndEnt WEB dEVEloPErs)

1. ..::gra-Fi-KAS::.. (http://www.grafikas.com) - An analog and digital study on sentiments. An online portfolio of Arnida Europeo,

Filipino Artist.

PhotograPhy

1. Philippine Calendars and Wedding Photography (http://www.jadephoto.com) - Your exclusive online source for the Philippines 2001 Calendar. It features full-color images of the country’s picturesque places and top tourist destinations.

2. VisualEyes Designs (http://www.visualeyes.cjb.net/) - Online portfolio of Allan Abella. Web design and print design showcase. You can also find valuable resources and links on other great graphic sites.

3. razorblade smiles (http://www.geocities.com/eyean.geo/index.html) - a lethargic non-eventful journal of a pinoy in Switzerland.

The Digital Filipino Webring

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THE DIGITAL FILIPINO

4. Groundzero (http://www.geraldworks.com/) - Personal website of Gerald De Guzman. Fully flash animated site.

5. nonofelipe.com (http://www.nonofelipe.com) - Nono Felipe’s web portfolio.

6. Ang munting bahay ni jose (http://i.am/kaken) - Personal homepage of Allan Joseph S. Batac

rEcruitmEnt/joBs/carEErs

1. MAC Search Partner International, Inc. (http://www.recruit.com.ph/index1.htm) - We are one of the Philippines’ first Professional Recruitment Companies backed by

twenty-seven years work experience in Human Resources Management focusing on Recruitment.

2. Philippine Job Opportunities (http://geocities.com/cianoy/home2.htm) - Mail list and site for the newest jobs in the Philippines and abroad.

sPorts

1. The Gokongwei Cup 2000 (http://www.gokongweicup.cjb.net/) - Gokongwei Cup 2000 - the premier league for the NBA LIVE SERIES modem

game.

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ANNEX E

eFILIPINOWEB AWARDEES

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the website, DigitalFilipino.com, has a submit url feature that allows companies and individuals with web sites to submit their url and be included in our database. For the month of March 2000 and April 2000, we reviewed 53 sites and found 14 sites worth recognizing. Here they are:

auctions

eAuctions Philippines (http://www.eauctions.ph/) Philippines’ first free online auctions site. A place to buy, sell and collect items. The

site has a lot of auction content in it and user-friendly in its structure. Site operator shows great concern on the integrity of both buyer and seller in its registration and monitoring system. Although its site interface is not consistent throughout.

automotiVE

Outlast Battery by JVSP Marketing Corporation (http://www.outlast.cjb.net/) Distributor of Outlast batteries. Very informative site. The site structure and design

is well done. A good role model to small and medium sized enterprises on how they can use the Internet to promote their products and services online.

E-zinE

Localvibe.com (http://www.localvibe.com/) A Metro Manila-focused on-line magazine and city guide. One of the best lifestyle

e-zine online. Refreshing articles and insights from its eloquent contributors can spark any site visitor’s interest to read. The city guide is extremely useful to those planning to go out with limited budget. A must visit site for the night owl.

frEE Email

Balikbayan Mail (http://www.balikbayanmail.com/) The Philippines’ first free multilingual scanmail service and on-line postal service.

The concept of this site is commendable. It answers an important need in the Philippine market. Very useful and practical. The site is user-friendly in its design and structure.

goVErnmEnt

Department of Trade and Industry - Cebu (http://www.dticebu.net.ph/) A one-stop information website business information and investment guidelines on

Cebu, Philippines. This site is very informative. The content provided are useful for researchers and potential investors in Cebu. The effort exerted in putting this site is commendable. Although few links have errors.

eFILIPINO WEB AWARDEES

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moViEs and film

Bayaning 3rd World (http://www.bayaning3rdworld.com/) Mike De Leon’s masterpiece film on the life of Dr. Jose Rizal, Philippine’s National

Hero. The site design is creatively done. Provides a good insight on what the movie is all about. The retraction section creates an intriguing twist further increasing the interest of the person in the film.

music and mP3

Radio Insect Records (http://www.radioinsectrecords.com/) An independent record label based in Canada who produces and promotes original

Pinoy artists from its website. The concept and purpose of this site amazes me knowing the fact that promoting ethnic music in another country isn’t that easy. This record outfit has gone a long long way in its web site. Site design is very hip although you may encounter script errors in the initial loading of the site.

Mp3Manila (http://mp3manila.com/) The Philippines first free all original Filipino music site. Good site design. It is cool to

know that this site also provides opportunity to unsigned but talented musicians, is a very commendable concept. Filipino’s creativity through music, at its best, available for free!

onlinE shoPPing

Ninong.com (http:/www.ninong.com) Enables Filipinos from around the globe to send gifts and toys to their children in the

Philippines. Site design is very user-friendly. Provides a lot of toys that gives buyers the flexibility and choices it needs. The site takes advantage of the various seasons and trends in the country.

onlinE mall

PhilShop (http://www.philshop.com) A Philippine directory of virtual and real stores. Allows a Filipino to create a shopping

site free. One of the best facilities I found online for Filipino entrepreneurs. I tried creating my own store and I was able to do it minutes. I hope more people will realize how powerful this site is and how can it benefit them. Site is well structured but only needs to add more attraction in the front page.

PErsonal homEPagE

gra-Fi-KAS (http://www.philonline.com/~drew) An online portfolio of Arnida Europeo. An analog and digital study on sentiments.

A feast for the eyes. What the site has to offer is astounding as Drew’s page take you to her different levels of creative and breathtaking work. Awesome.

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Portal

Central Visayas Information Sharing Network (http://www.cvis.net.ph/) A one-stop-shop information website for government and non-government agencies in

Central Visayas. Very informative. The site’s content can be of great use to researchers who wanted to know the trends, development, and situation of Central Visayas, Philippines.

sociEty and culturE

The Beggar’s Hand: The Plight of Poverty (http://library.advanced.org/25009) A website about poverty sectors in the Philippines. Well designed and highly

informative web site. It is a must read for all Filipinos to understand the root causes of poverty in certain sectors of our society and what should we do to eradicate it. Every Filipino must take action to stop it for the sake of generations to come.

traVEl

Davao Travel NetGuide (http://davao.net/) An information site for travelers, promoting Davao City as a business and tourist

location. Highly informative as it provides a-z guidelines about the city. The color interface of the site is very appealing. Although the navigation menus are not consistent in its presentation throughout the site. Listing of Internet cafes in the area is very useful for people who just can’t Net enough.

eFilipino Web Awardees

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there Are so mAny PeoPle that I should thank in making this book a reality. Team members in this book such as Norelyn Babiera, Danny Escasa, and Antonio Bucu.

The Philippine Internet Expo 2000 in Cebu will always remain memorable to me where this book is first launched.

To the DigitalFilipino.com web team such as Jonard Soriano, Jherlie Cheng, and Jhermie Cheng for helping me out in this ever-growing web site.

Friends who have allowed me to interview them for this book such as Mel Nepomuceno, and Francis Lopez. Those who have shared their knowledge and have provided information that can of be help to this book such as Louie of NSCB Region 9, Atty. Rudy Quimbo, Atty. JJ Disini, David Paraiso Jr., Presidential Consultant Chito Kintanar, and friends in the E-Commerce Promotion Council.

Special thanks to Senator Ramon B. Magsaysay Jr. for granting my request to write the foreword of this book.

To the officers and members of the Philippine Internet Commerce Society who have supported and believed in the cause of the organization all this time.

To my family, parents, sisters, relatives who have patiently supported me all throughout.

To the different mailing list communities that I managed. Thank you for supporting my site and responding to the surveys and article questionnaires.

Most especially to the eFilipino to whom this book is written for. For the growth of e-commerce in the Philippines! Let us not allow anything to stand on its way!

Acknowledement

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About the Author

JAnette torAl has always pushed for e-commerce development in the Philippines since she founded the Philippine Internet Commerce Society last September 1997.

She’s very active in lobbying for the passage of the Electronic Commerce Law in the Philippines.

She started her own E-commerce Research Portal last December 1999 with DigitalFilipino.com. She’s also a freelance journalist since 1995 writing e-commerce and IT developments in the Philippines. She has written articles for international publications such as Business Online, asia.internet.com, and World Executive Digest.

Since September 1997 to the present, she has been frequently invited to various IT conferences in the country to talk about e-commerce developments in the Philippines.

As an IT practitioner, Janette Toral has more than 11 years of combined experience in the areas of training, management, sales, technical support, web development, event management, media relations, and project management.

You can e-mail her at [email protected] and [email protected].

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this book is all about e-commerce in the Philippine and Asian marketplace. Yes, there are a lot of e- commerce books available in the bookshelves but most

are published in Western countries and cover only situations in their part of the world. There’s a need for a book that speaks more about our country that can be a reference for aspiring entrepreneurs who want to venture into e-commerce.

The book should be useful as well to students in understanding the e-commerce paradigm and giving flesh to the theories that they may have already read. Most schools and universities around the world are gearing up to offer an e-commerce course. I hope this book will be a useful educational and reference material.

Why do we need a book on e-commerce? You might say, “There’s already a lot of information on the Internet. A book on e-commerce might just become useless in a short span of time.” True, there’s a lot of information on the Internet and we’re now even experiencing information overload. But note that only those who have access to information and know how to use it to their advantage will be the ones to succeed. The information is there but how you organize and analyze it to come up with bright decisions is a different story.