Category: Technology

  • MIL-OSI USA: Senate Advances Sullivan, Padilla Bill to Improve Cybersecurity and Telecommunications for Oceanographic Research Vessels

    US Senate News:

    Source: United States Senator for Alaska Dan Sullivan

    05.27.25

    WASHINGTON — Today, U.S. Senators Dan Sullivan (R-Alaska) and Alex Padilla (D-Calif.) announced that the Senate Committee on Commerce, Science, and Transportation advanced their bipartisan legislation to facilitate cybersecurity and telecommunications upgrades for the 17 oceanographic vessels in the U.S. Academic Research Fleet. The Accelerating Networking, Cyberinfrastructure, and Hardware for Oceanic Research (ANCHOR) Act would require the National Science Foundation (NSF) to plan improvements for these critical oceanographic research vessels.

    These ships and their submersibles play a central role in exploring our oceans and strengthening our national security. First commissioned decades ago, these ships are in desperate need of new infrastructure and maintenance, especially with foreign cyberattacks targeting naval vessels on the rise.

    The ANCHOR Act now heads to the full Senate for consideration.

    “The unanimous referral of the ANCHOR Act out of the Commerce Committee sends a strong, bipartisan message: safeguarding America’s maritime research infrastructure is essential to our national security,” said Senator Sullivan. “This bill will better protect our research fleet and institutions—many of which have been targeted by adversarial cyber threats—and ensure that vessels, like the Sikuliaq in Seward, can continue their vital scientific missions without compromise.” 

    “The U.S. Academic Research Fleet is a global leader in performing groundbreaking oceanographic research,” said Senator Padilla. “But with increasing cyberattacks on these vessels, we urgently need to upgrade crucial cybersecurity and telecommunications infrastructure. We have a responsibility to keep both our nation’s research and its researchers safe. I am glad to the see the Senate advance this cost-effective, bipartisan solution, improving research and conditions for our crew members.”

    “Collaborative, interdisciplinary teams are essential to achieving scientific excellence at the University of California, but conducting this work from research vessels at sea presents unique challenges,” said Theresa Maldonado, Vice President for Research and Innovation at the University of California. “Teams aboard these floating laboratories need the infrastructure to share their expertise and data effectively in real-time with their land-based collaborators in order to accelerate science and engineering outcomes. This capability depends on networks of satellites, digital assets, software and cyberinfrastructure. The ANCHOR Act is the vital step toward establishing this critical infrastructure, and the University of California thanks Senator Padilla for his leadership.”

    “Scripps Institution of Oceanography at UC San Diego operates research vessels that are essential in advancing research to understand our oceans and changing climate, and training the next generation of environmental leaders through hands-on experiences at sea.  Reliable network and computing capabilities are essential for the professional operation of all modern ships, and critically important for effective scientific activities on research vessels specifically.  As globally-ranging laboratories that must operate in the most remote areas of the world, research vessels rely on cyberinfrastructure for our mission-critical activities. The ANCHOR Act will make this possible — along with the cybersecurity that is so important now — and gives us the ability to conduct our nation’s research and education missions efficiently, capably and securely,” said Dr. Margaret Leinen, Vice Chancellor, Marine Sciences and Director, Scripps Institution of Oceanography, UC San Diego.

    “U.S. scientists depend on the Academic Research Fleet to conduct research that is vital to our understanding of the oceans, which is linked to societal impacts ranging from tsunamis to fisheries ecosystems to global weather. The ANCHOR Act will result in critically-needed cyberinfrastructure throughout the fleet, which will enable our mariners to operate our ships effectively and empower our scientists by enabling satellite communications, shoreside and shipboard digital infrastructure, and technical support. In addition to enabling cutting-edge science, these systems will strengthen our ability to develop and retain a highly skilled workforce of scientific mariners and marine technicians, who are essential to advance our nation’s leadership in ocean enterprise and technology,” said Dr. Bruce Appelgate, Chair of the University-National Oceanographic Laboratory System.

    Specifically, the ANCHOR Act would require NSF to issue a report within one year that details a budget and plan for cybersecurity and internet upgrades across the 17 research vessels in the fleet, which are owned by NSF, the Office of Naval Research, and U.S. universities and laboratories. The report would outline costs for equipment, training, personnel, and methods to minimize spending.

    Scripps Institution of Oceanography houses California’s three vessels in the fleet, including the R/V Sally Ride, named after the trailblazing scientist who was one of the first six female astronauts in NASA history. Joining the fleet in 2016, the R/V Sally Ride has already made history in honor of its namesake. In 2021, California researchers on board conducted an extensive survey of the historic DDT chemical dumpsite off the coast of Southern California, leading to the World War II munitions discovery. 

    A one-pager on the bill is available here.

    MIL OSI USA News

  • MIL-OSI USA: SPC Tornado Watch 378

    Source: US National Oceanic and Atmospheric Administration

    Note:  The expiration time in the watch graphic is amended if the watch is replaced, cancelled or extended.Note: Click for Watch Status Reports.
    SEL8

    URGENT – IMMEDIATE BROADCAST REQUESTED
    Tornado Watch Number 378
    NWS Storm Prediction Center Norman OK
    145 PM MDT Fri Jun 6 2025

    The NWS Storm Prediction Center has issued a

    * Tornado Watch for portions of
    East-Central and Southeast Colorado

    * Effective this Friday afternoon and evening from 145 PM until
    900 PM MDT.

    * Primary threats include…
    A couple tornadoes possible
    Scattered large hail and isolated very large hail events to 3.5
    inches in diameter likely
    Scattered damaging winds and isolated significant gusts to 75
    mph possible

    SUMMARY…Widely scattered are forecast to develop this afternoon
    near Interstate 25 and intensify as this activity moves east into
    the plains. A few supercells are likely with the more intense
    supercells potentially capable of very large hail up to 3.5 inches
    in diameter. The risk for a couple of tornadoes appears greatest
    during the late afternoon into the early evening when low-level
    shear will strengthen. The threat for severe gusts will probably
    become more prevalent this evening as storms increase in coverage.

    The tornado watch area is approximately along and 70 statute miles
    east and west of a line from 35 miles north of Limon CO to 40 miles
    west southwest of Springfield CO. For a complete depiction of the
    watch see the associated watch outline update (WOUS64 KWNS WOU8).

    PRECAUTIONARY/PREPAREDNESS ACTIONS…

    REMEMBER…A Tornado Watch means conditions are favorable for
    tornadoes and severe thunderstorms in and close to the watch
    area. Persons in these areas should be on the lookout for
    threatening weather conditions and listen for later statements
    and possible warnings.

    &&

    OTHER WATCH INFORMATION…CONTINUE…WW 376…WW 377…

    AVIATION…Tornadoes and a few severe thunderstorms with hail
    surface and aloft to 3.5 inches. Extreme turbulence and surface wind
    gusts to 65 knots. A few cumulonimbi with maximum tops to 500. Mean
    storm motion vector 28025.

    …Smith

    Note: The Aviation Watch (SAW) product is an approximation to the watch area. The actual watch is depicted by the shaded areas.
    SAW8
    WW 378 TORNADO CO 061945Z – 070300Z
    AXIS..70 STATUTE MILES EAST AND WEST OF LINE..
    35N LIC/LIMON CO/ – 40WSW SPD/SPRINGFIELD CO/
    ..AVIATION COORDS.. 60NM E/W /32SW AKO – 20SE TBE/
    HAIL SURFACE AND ALOFT..3.5 INCHES. WIND GUSTS..65 KNOTS.
    MAX TOPS TO 500. MEAN STORM MOTION VECTOR 28025.

    LAT…LON 39770235 37050202 37050456 39770499

    THIS IS AN APPROXIMATION TO THE WATCH AREA. FOR A
    COMPLETE DEPICTION OF THE WATCH SEE WOUS64 KWNS
    FOR WOU8.

    Watch 378 Status Report Message has not been issued yet.

    Note:  Click for Complete Product Text.Tornadoes

    Probability of 2 or more tornadoes

    Mod (40%)

    Probability of 1 or more strong (EF2-EF5) tornadoes

    Low (20%)

    Wind

    Probability of 10 or more severe wind events

    Mod (40%)

    Probability of 1 or more wind events > 65 knots

    Mod (30%)

    Hail

    Probability of 10 or more severe hail events

    Mod (60%)

    Probability of 1 or more hailstones > 2 inches

    Mod (60%)

    Combined Severe Hail/Wind

    Probability of 6 or more combined severe hail/wind events

    High (90%)

    For each watch, probabilities for particular events inside the watch (listed above in each table) are determined by the issuing forecaster. The “Low” category contains probability values ranging from less than 2% to 20% (EF2-EF5 tornadoes), less than 5% to 20% (all other probabilities), “Moderate” from 30% to 60%, and “High” from 70% to greater than 95%. High values are bolded and lighter in color to provide awareness of an increased threat for a particular event.

    MIL OSI USA News

  • MIL-OSI: XOVR ETF Adds Anduril, Joining SpaceX to Offer Pre-IPO Access

    Source: GlobeNewswire (MIL-OSI)

    NEW YORK, June 06, 2025 (GLOBE NEWSWIRE) — ERShares, the first Crossover ETF that offers retail investors access to Private companies, with SpaceX as its top weight, is ushering in the next generation of investing with a new private equity position in Anduril Industries. Through the XOVR ETF, which primarily invests (85% +) in the US Entrepreneurial Large Cap ER30TR Index, ERShares continues …its pursuit to provide retail investors access to private equity—which we believe offers exposure to high-growth, entrepreneurial companies typically reserved for institutions and high net worth investors, and does so at the same pricing available to those accredited investors.

    XOVR complies with SEC guidelines by keeping private equity exposure under 15%, with over 85% of the portfolio tracking the Entrepreneur 30 Total Return Index (ER30TR)—built on ERShares’ proprietary Entrepreneur model, applied to public markets for more than two decades. Given its weighting, the ER30TR Index drives the majority of XOVR’s return, while the private holdings offer potential upside and added diversification.

    Private equity investments can experience significant price swings—both upward and downward—over extended periods, even if valuations are not marked frequently. Additionally, private equities are inherently less liquid and less transparent than their public counterparts, resulting in higher risk profiles despite comparable market capitalizations.

    As with all investments, public equities can be volatile, though they have historically offered meaningful return potential over time. Private companies may magnify both opportunity and risk, which is why ERShares encourages investors to consult with a qualified financial advisor before making any investment decisions.

    To help manage risk, ERShares applies structured parameters around the size and scope of its private holdings. The due diligence process for these positions mirrors the same rigorous methodology used in constructing the ER30TR Index—adapted for private markets.

    Relaunched on August 29, 2024, XOVR became the first ETF to blend public equities with private equity holdings – potentially delivering diversified, liquid access to both high-growth public companies and elite pre-IPO firms. This ETF Crossover structure helps bridge two previously disconnected markets in one transparent vehicle.

    On May 30, 2025, ERShares initiated a $3M (approx. 1%) investment in Anduril, marking XOVR’s third private equity holding – after SpaceX ($33M, approx. 10%) and Klarna ($2M, less than 1%) – and establishing Anduril as its second-largest private position. The move reflects ERShares’ conviction in companies that sit at the intersection of innovation, national importance, and scalable disruption. The position was selected after extensive internal research and due diligence, consistent with ERShares’ proprietary Venture Capital-style framework for evaluating private and public companies.

    “Our proprietary research model identifies category-defining companies before they go public,” said Dr. Joel Shulman, Founder and CIO of ERShares. “Anduril embodies the deep tech leadership and mission-driven innovation we seek for XOVR.”

    ERShares also recently increased its SpaceX position at $185 per share – matching its previous entries – to reaffirm confidence in the company’s valuation amid market speculation.

    Bridging Public and Private Markets

    “We’re not just following innovation – we’re positioning investors at its source,” said Eva Ados, Chief Investment Strategist at ERShares. “Whether private or public, our focus is on trying to identify the next Magnificent Seven (The “Magnificent 7” currently refers to a group of seven large-cap, high-growth U.S. technology companies: Apple Inc. (AAPL), Microsoft Corporation (MSFT), Alphabet Inc. (GOOGL), Amazon.com, Inc. (AMZN), NVIDIA Corporation (NVDA), Meta Platforms, Inc. (META), and Tesla, Inc. (TSLA))—those rare, transformational companies that have the potential to shape entire decades of innovation and growth.” Anduril Industries: The Next Generation of Defense Technology

    Founded by Palmer Luckey – creator of Oculus and a key early collaborator with Palantir – Anduril Industries represents the next generation of defense technology. Anduril is rapidly becoming foundational to U.S. military modernization initiatives.

    Transparent Valuation Backed by Research

    ERShares uses a structured valuation methodology to price private equity holdings – drawing from tender offers, internal transactions, IPO indicators, and comparables – to help ensure pricing is fair, consistent, and market-aware. This framework helps protect investors while maintaining daily liquidity and regulatory compliance.

    Investing in the Future – Before the IPO

    With positions in SpaceX, Klarna, and now Anduril, XOVR remains the only ETF offering diversified access to potentially high growth private companies alongside expanding public innovators. The fund allows investors to participate in the potential next wave of value creation – before it goes public.

    “We built XOVR to give retail investors access to leading private companies at the critical pre-IPO stage,” added Dr. Shulman. “It is time they participate in the value creation that was once reserved only for institutions and accredited investors.”

    Past performance is no guarantee of future results, please refer to the disclosures below for important risk information: https://entrepreneurshares.com/disclosures/

    All investing involves risk, including potential loss of principal.

    Distributed by Vigilant Distributors LLC.

    Media Contact: info@ershares.com

    The MIL Network

  • MIL-OSI USA: June 6th, 2025 Heinrich, Luján Slam Trump’s Plan to Illegally Rescind Funding for New Mexico’s Local Public Radio & TV Stations

    US Senate News:

    Source: United States Senator for New Mexico Martin Heinrich
    Losing this funding would force many public stations to reduce much of their programming or, in some cases, close their doors to the rural communities they serve
    WASHINGTON — U.S. Senators Martin Heinrich (D-N.M.) and Ben Ray Luján (D-N.M.), Ranking Member of the Commerce Subcommittee on Telecommunications and Media, joined 29 Senate Democrats to slam Trump and Republicans’ attempt to illegally rescind $1 billion in funding appropriated by Congress and signed into law to fund local public broadcasting stations in New Mexico and nationwide — particularly in rural communities. This move follows President Trump’s executive order directing cuts to federal funding for PBS and NPR. 
    The Corporation for Public Broadcasting supports over 1,500 local public television and radio stations nationwide that provide free, high-quality programming to American households, including in New Mexico. Local public television and radio stations provides young children who don’t get the chance to attend preschool with educational content that helps them learn to read; airs highly trusted nightly news programming; and shares critical public safety information during emergencies. Local public television stations also provide extensive coverage of local government and elections and host candidate debates, helping Americans stay connected with their elected leaders. 
    Because local public television and radio relies heavily on federal funding to operate, losing this funding would force many of these stations to reduce much of their programming or, in some cases, close their doors to the communities they serve.
    “Following the White House’s request to rescind $1.07 billion in federal funding for CPB, we write to express our strong opposition to any rescission of funding for public broadcasting and prohibitions of direct and indirect funding to the Public Broadcasting Service and National Public Radio,” the senators wrote to Senate Majority Leader John Thune (R-S.D.). “This funding is essential to the functioning of the public media system and the communities they serve, and any cuts in funding would have detrimental effects on local stations, which rely on this funding to provide critical services to millions of Americans across the country. Public broadcasting is an essential service that should be protected, not decimated. For this reason, we request that you prioritize maintaining and continuing funding for CPB.” 
    As Ranking Member of the Commerce Subcommittee on Telecommunications and Media, Senator Luján has long supported strengthening and protecting public media. In February, Senator Luján wrote to Federal Communications Commission (FCC) Chairman Brendan Carr and Commissioner Nathan Simington condemning actions taken by the FCC under the Trump administration demonstrating that the FCC is weaponizing its authority over broadcasters and public media for political purposes. In March, Senator Luján introduced the Broadcast Freedom and Independence Act, legislation that would prohibit the Federal Communications Commission (FCC) from revoking broadcast licenses or taking action against broadcasters based on the viewpoints they broadcast.
    The letter is led by U.S. Senators Kirsten Gillibrand (D-N.Y.) and Ed Markey (D-Mass.). Alongside Heinrich and Luján, the letter is signed by U.S. Senators Michael Bennet (D-Colo.), Richard Blumenthal (D-Conn.), Lisa Blunt Rochester (D-Del.), Cory Booker (D-N.J.), Catherine Cortez Masto (D-Nev.), Tammy Duckworth (D-Ill.), John Hickenlooper (D-Colo.), Mazie Hirono (D-Hawaii), Tim Kaine (D-Va.), Andy Kim (D-N.J.), Amy Klobuchar (D-Minn.), Chris Murphy (D-Conn.), Alex Padilla (D-Calif.), Gary Peters (D-Mich.), Jacky Rosen (D-Nev.), Bernard Sanders (I-Vt.), Chuck Schumer (D-N.Y.), Jeanne Shaheen (D-N.H.), Elissa Slotkin (D-Minn.), Tina Smith (D-Minn.), Chris Van Hollen (D-Md.), Mark Warner (D-Va.), Elizabeth Warren (D-Mass.), Peter Welch (D-Vt.), and Ron Wyden (D-Ore.).
    The full text of the letter is available here or below:  
    Dear Majority Leader Thune,
    Federal investment in the Corporation for Public Broadcasting (CPB) supports over 1,500 local and regional public television and radio stations that provide free, high-quality programming to millions of households across the country. Following the White House’s request to rescind $1.07 billion in federal funding for CPB, we write to express our strong opposition to any rescission of funding for public broadcasting and prohibitions of direct and indirect funding to the Public Broadcasting Service and National Public Radio, as outlined in the Executive Order titled, “Ending Taxpayer Subsidization of Biased Media” released on May 1, 2025. This funding is essential to the functioning of the public media system and the communities they serve, and any cuts in funding would have detrimental effects on local stations, which rely on this funding to provide critical services to millions of Americans across the country.
    Our public broadcasting system is a unique American institution that is deeply embedded in our communities and a critical source of lifesaving public safety services, accurate information, and educational programming. The vast majority of the federal funding CPB receives is allocated to local radio and television stations across the country. These cuts will have an immediate and significant impact for stations in rural communities that heavily rely on CPB funding to provide critical services and could likely result in the elimination of programming or outright closure of stations in areas already faced with limited connectivity.
    According to Northwestern University, 55 million people in the United States have no or only one source of local news, and rural counties are far more likely to lose their local news outlets. This number could increase if the two-year advance appropriation for public media is not upheld, resulting in the drastic reduction or complete elimination of free, high-quality local programming. This is especially concerning given the importance of public broadcasting during public emergencies, such as natural disasters, transportation accidents, national security threats, or public safety matters. CPB funds are essential to ensuring that the broadcast infrastructure remains robust and operational in disaster situations, especially scenarios in which local public broadcasters serve as the only source of information for those who need a lifeline. Any cuts in funding will have drastic consequences for communities in need.
    And there is much more to their public safety services in addition to the critical local information they broadcast. Public television’s interconnection technology, which connects local public television stations to PBS, is also one of the backbone pathways for the delivery of our nation’s Wireless Emergency Alert (WEA) services – enabling cell phone subscribers to receive geotargeted emergency text alerts no matter where they are in the country. A cut to public broadcasting funding would put this lifesaving service and its nationwide footprint at risk.
    Public television has also pioneered cutting edge technology that helps first responders communicate with each other over the broadcast spectrum without the need for mobile service or broadband. This datacasting technology and public television’s public safety partnerships is already helping with early earthquake warning and has been proven effective in a wide range of scenarios where broadband or cellular service are limited, including rural search and rescue, overwater communications, large event crowd control and more. But this is only possible if stations serving rural and remote areas with limited broadband are healthy and continue operating as they are today.
    On the education front, public television’s early childhood education services ensure that every family has access to high-quality, non-commercial educational content regardless of their ability to pay for such services. This is essential for over 50 percent of three and four-year old children who do not attend formal preschool.
    If funding for the Corporation for Public Broadcasting (CPB) is eliminated or rescinded, the impact would be devastating. Millions of people across the country whose stations rely on CPB funding for a significant percentage of their budget would be at risk of losing access to public television’s services. These are services that nobody else in the media world is providing, but it’s exactly the work for which public broadcasting was created, and they are delivering to our communities every day. 
    Public broadcasting is an essential service that should be protected, not decimated. For this reason, we request that you prioritize maintaining and continuing funding for CPB.
    We appreciate your consideration of this request and thank you for your prompt attention to this matter.
    Sincerely,

    MIL OSI USA News

  • MIL-OSI USA: Heinrich, Luján Slam Trump’s Plan to Illegally Rescind Funding for New Mexico’s Local Public Radio & TV Stations

    US Senate News:

    Source: United States Senator Ben Ray Luján (D-New Mexico)

    Losing this funding would force many public stations to reduce much of their programming or, in some cases, close their doors to the rural communities they serve

    WASHINGTON — U.S. Senators Martin Heinrich (D-N.M.) and Ben Ray Luján (D-N.M.), Ranking Member of the Commerce Subcommittee on Telecommunications and Media,joined 29 Senate Democrats to slam Trump and Republicans’ attempt to illegally rescind $1 billion in funding appropriated by Congress and signed into law to fund local public broadcasting stations in New Mexico and nationwide — particularly in rural communities. This move follows President Trump’s executive order directing cuts to federal funding for PBS and NPR. 

    The Corporation for Public Broadcasting supports over 1,500 local public television and radio stations nationwide that provide free, high-quality programming to American households, including in New Mexico. Local public television and radio stations provides young children who don’t get the chance to attend preschool with educational content that helps them learn to read; airs highly trusted nightly news programming; and shares critical public safety information during emergencies. Local public television stations also provide extensive coverage of local government and elections and host candidate debates, helping Americans stay connected with their elected leaders. 

    Because local public television and radio relies heavily on federal funding to operate, losing this funding would force many of these stations to reduce much of their programming or, in some cases, close their doors to the communities they serve.

    “Following the White House’s request to rescind $1.07 billion in federal funding for CPB, we write to express our strong opposition to any rescission of funding for public broadcasting and prohibitions of direct and indirect funding to the Public Broadcasting Service and National Public Radio,” the senators wrote to Senate Majority Leader John Thune (R-S.D.). “This funding is essential to the functioning of the public media system and the communities they serve, and any cuts in funding would have detrimental effects on local stations, which rely on this funding to provide critical services to millions of Americans across the country. Public broadcasting is an essential service that should be protected, not decimated. For this reason, we request that you prioritize maintaining and continuing funding for CPB.” 

    As Ranking Member of the Commerce Subcommittee on Telecommunications and Media, Senator Luján has long supported strengthening and protecting public media. In February, Senator Luján wrote to Federal Communications Commission (FCC) Chairman Brendan Carr and Commissioner Nathan Simington condemning actions taken by the FCC under the Trump administration demonstrating that the FCC is weaponizing its authority over broadcasters and public media for political purposes. In March, Senator Luján introduced the Broadcast Freedom and Independence Act, legislation that would prohibit the Federal Communications Commission (FCC) from revoking broadcast licenses or taking action against broadcasters based on the viewpoints they broadcast.

    The letter is led by U.S. Senators Kirsten Gillibrand (D-N.Y.) and Ed Markey (D-Mass.). Alongside Heinrich and Luján, the letter is signed by U.S. Senators Michael Bennet (D-Colo.), Richard Blumenthal (D-Conn.), Lisa Blunt Rochester (D-Del.), Cory Booker (D-N.J.), Catherine Cortez Masto (D-Nev.), Tammy Duckworth (D-Ill.), John Hickenlooper (D-Colo.), Mazie Hirono (D-Hawaii), Tim Kaine (D-Va.), Andy Kim (D-N.J.), Amy Klobuchar (D-Minn.), Chris Murphy (D-Conn.), Alex Padilla (D-Calif.), Gary Peters (D-Mich.), Jacky Rosen (D-Nev.), Bernard Sanders (I-Vt.), Chuck Schumer (D-N.Y.), Jeanne Shaheen (D-N.H.), Elissa Slotkin (D-Minn.), Tina Smith (D-Minn.), Chris Van Hollen (D-Md.), Mark Warner (D-Va.), Elizabeth Warren (D-Mass.), Peter Welch (D-Vt.), and Ron Wyden (D-Ore.).

    The full text of the letter is available here or below:  

    Dear Majority Leader Thune,

    Federal investment in the Corporation for Public Broadcasting (CPB) supports over 1,500 local and regional public television and radio stations that provide free, high-quality programming to millions of households across the country. Following the White House’s request to rescind $1.07 billion in federal funding for CPB, we write to express our strong opposition to any rescission of funding for public broadcasting and prohibitions of direct and indirect funding to the Public Broadcasting Service and National Public Radio, as outlined in the Executive Order titled, “Ending Taxpayer Subsidization of Biased Media” released on May 1, 2025. This funding is essential to the functioning of the public media system and the communities they serve, and any cuts in funding would have detrimental effects on local stations, which rely on this funding to provide critical services to millions of Americans across the country.

    Our public broadcasting system is a unique American institution that is deeply embedded in our communities and a critical source of lifesaving public safety services, accurate information, and educational programming. The vast majority of the federal funding CPB receives is allocated to local radio and television stations across the country. These cuts will have an immediate and significant impact for stations in rural communities that heavily rely on CPB funding to provide critical services and could likely result in the elimination of programming or outright closure of stations in areas already faced with limited connectivity.

    According to Northwestern University, 55 million people in the United States have no or only one source of local news, and rural counties are far more likely to lose their local news outlets. This number could increase if the two-year advance appropriation for public media is not upheld, resulting in the drastic reduction or complete elimination of free, high-quality local programming. This is especially concerning given the importance of public broadcasting during public emergencies, such as natural disasters, transportation accidents, national security threats, or public safety matters. CPB funds are essential to ensuring that the broadcast infrastructure remains robust and operational in disaster situations, especially scenarios in which local public broadcasters serve as the only source of information for those who need a lifeline. Any cuts in funding will have drastic consequences for communities in need.

    And there is much more to their public safety services in addition to the critical local information they broadcast. Public television’s interconnection technology, which connects local public television stations to PBS, is also one of the backbone pathways for the delivery of our nation’s Wireless Emergency Alert (WEA) services – enabling cell phone subscribers to receive geotargeted emergency text alerts no matter where they are in the country. A cut to public broadcasting funding would put this lifesaving service and its nationwide footprint at risk.

    Public television has also pioneered cutting edge technology that helps first responders communicate with each other over the broadcast spectrum without the need for mobile service or broadband. This datacasting technology and public television’s public safety partnerships is already helping with early earthquake warning and has been proven effective in a wide range of scenarios where broadband or cellular service are limited, including rural search and rescue, overwater communications, large event crowd control and more. But this is only possible if stations serving rural and remote areas with limited broadband are healthy and continue operating as they are today.

    On the education front, public television’s early childhood education services ensure that every family has access to high-quality, non-commercial educational content regardless of their ability to pay for such services. This is essential for over 50 percent of three and four-year old children who do not attend formal preschool.

    If funding for the Corporation for Public Broadcasting (CPB) is eliminated or rescinded, the impact would be devastating. Millions of people across the country whose stations rely on CPB funding for a significant percentage of their budget would be at risk of losing access to public television’s services. These are services that nobody else in the media world is providing, but it’s exactly the work for which public broadcasting was created, and they are delivering to our communities every day. 

    Public broadcasting is an essential service that should be protected, not decimated. For this reason, we request that you prioritize maintaining and continuing funding for CPB.

    We appreciate your consideration of this request and thank you for your prompt attention to this matter.

    Sincerely,

    MIL OSI USA News

  • MIL-OSI Russia: NDB signs 1.2 bln yuan loan agreement to finance environmental projects in China

    Translation. Region: Russian Federal

    Source: People’s Republic of China in Russian – People’s Republic of China in Russian –

    Source: People’s Republic of China – State Council News

    SHANGHAI, June 6 (Xinhua) — The BRICS New Development Bank (NDB) on Friday announced the signing of a 1.2 billion yuan (about 167 million U.S. dollars) syndicated loan agreement to support environmental projects in China.

    As noted by the NBR, the agreement, concluded jointly with the Bank of China and the Chinese company Haitong Unitrust International Financial Leasing Co., Ltd., is aimed at financing green leasing sub-projects focused on environmental goals and climate commitments of the PRC.

    Under the agreement, the NDB will provide more than 713.32 million yuan, while the Bank of China will provide an additional 500 million yuan. Haitong Unitrust, in turn, will use the funds to purchase and lease equipment for projects in areas such as wastewater treatment, solid waste management and power generation from iron and steel exhaust gases.

    To promote balanced regional development, eligible sub-projects will be implemented outside China’s first-tier cities, bringing investment to less developed areas of the country.

    “This initiative meets the needs for climate resilience and environmental protection, and also helps increase investment in less developed regions of China,” said Vladimir Kazbekov, Vice President and Chief Operating Officer of the NDB.

    The NDB was established in 2015 by Brazil, Russia, India, China and South Africa. It is a multilateral development bank that aims to mobilize resources for infrastructure and sustainable development projects in the BRICS region and other emerging market and developing economies. –0–

    MIL OSI Russia News

  • MIL-OSI United Nations: International Journal of Scientific Research and Technology

    Source: UNISDR Disaster Risk Reduction

    Mission

    The International Journal of Scientific Research and Technology (IJSRT) is a publication that encompasses a broad spectrum of content, including reviews, research articles, and short communications. Its primary objective is to disseminate manuscripts on diverse topics within the realms of science and technology, including but not limited to Medicine, Pharmacy, Engineering, Environmental Science, Data Science, DRug Research, Artificial Intelligence, Biotechnology, Physics, Chemistry, Mathematics, Social Sciences, Humanities, and more

    MIL OSI United Nations News

  • MIL-OSI USA: ARMD Research Solicitations (Updated June 6)

    Source: NASA

    THIS PAGE WAS UPDATED ON JUNE 6, 2025(Updated Advanced Air Vehicles Program Fellowship Opportunities.)
    This Aeronautics Research Mission Directorate (ARMD) solicitations page compiles the opportunities to collaborate with NASA’s aeronautical innovators and/or contribute to their research to enable new and improved air transportation systems.
    Most opportunities to participate in research are officially announced through the Web-based NASA Solicitation and Proposal Integrated Review and Evaluation System, better known as NSPIRES. You are encouraged to visit the NSPIRES web site, create an account, and sign up for automated email announcements.
    Other types of collaborative opportunities, such as those involving Requests for Information or academic research contests, also are included on this page.
    This page has four major sections:

    Advanced Air Vehicles Program Fellowship OpportunitiesProposals are due by June 11, 2025. (NOTE important update below.)
    University Leadership InitiativeStep-A proposals due by June 26, 2025.
    University Student Research ChallengeProposals for Cycle 3 are due by June 26, 2025.

    ROA-2025 NRA Amendment 1 – OPEN
    Advanced Air Vehicles Program Fellowship Opportunities
    (View the full ROA-2025 NRA Amendment 1 text here.)
    This announcement solicits proposals from accredited U.S. institutions for research training grants to begin the academic year. This Notice of Funding Opportunity is designed to support independently conceived research projects by highly qualified graduate students in disciplines needed to help advance NASA’s mission, thus affording these students the opportunity to directly contribute to advancements in STEM-related areas of study. These opportunities are focused on innovation and the generation of measurable research results that contribute to NASA’s current and future science and technology goals.
    Research proposals are sought to address the key challenges summarized in the Elements section at the end of the Amendment 1 document, and which reference NASA’s Hypersonic Technology project.
    UPDATE for June 6: Reflecting the Fiscal Year 2026 budget changes, the Transformational Tools & Technologies project opportunities originally described in this announcement were cancelled. Proposals citing this project will not be evaluated.
    Notices of Intent are not required.
    A budget breakdown for each proposal is required, detailing the allocation of the award funds by year. The budget document may adhere to any format or template provided by the applicant’s institution. Two pre-proposal teleconferences for potential proposers will be held and meeting links will be posted on NSPIRES.
    Proposals are due by 5 p.m. EDT on June 11, 2025.

    ROA-2024 NRA Amendment 2 – OPEN
    University Leadership Initiative
    (View the full ROA-2024 NRA Amendment 2 text here.)
    NASA’s University Leadership Initiative (ULI) provides the opportunity for university teams to exercise technical and organizational leadership in proposing unique technical challenges in aeronautics, defining multi-disciplinary solutions, establishing peer review mechanisms, and applying innovative teaming strategies to strengthen the research impact.
    Research proposals are sought in six ULI topic areas in Appendix D.4.
    Topic 1: Safe, Efficient Growth in Global Operations
    Topic 2: Innovation in Commercial High-Speed Aircraft
    Topic 3: Ultra-Efficient Subsonic Transports
    Topic 4: Safe, Quiet, and Affordable Vertical Lift Air Vehicles
    Topic 5: In-Time System-Wide Safety Assurance
    Topic 6: Assured Autonomy for Aviation Transformation
    This NASA Research Announcement will utilize a two-step proposal submission and evaluation process. The initial step is a short mandatory Step-A proposal, which is due June 26, 2025. Those offerors submitting the most highly rated Step-A proposals will be invited to submit a Step-B proposal. All proposals must be submitted electronically through NSPIRES at https://nspires.nasaprs.com. An Applicant’s Workshop will be held on Thursday April 30, 2025; 1:00-3:00 p.m. ET (https://uli.arc.nasa.gov/applicants-workshops/workshop9) (Page will be live closer to the event.)
    An interested partners list for this ULI is at https://uli.arc.nasa.gov/partners. To be listed as an interested lead or partner, please send an email to hq-univpartnerships@mail.nasa.gov with “ULI Partnerships” in the subject line and include the information required for the table on that web page.

    ROA-2024 NRA Amendment 4 – OPEN
    University Student Research Challenge
    (View the full ROA-2024 NRA Amendment 4 text here)
    NASA’s University Student Research Challenge (USRC) seeks to challenge students to propose new ideas/concepts that are relevant to NASA Aeronautics.  The challenge will provide students from accredited U.S. colleges or universities with grants for their projects, as well as the challenge of raising cost share funds through a crowdfunding campaign. The process of creating and implementing a crowdfunding campaign acts as a teaching accelerator — requiring students to act like entrepreneurs and raise awareness about their research among the public.
    The solicitation goal can be accomplished through project ideas such as advancing the design, developing technology or capabilities in support of aviation, by demonstrating a novel concept, or enabling advancement of aeronautics-related technologies.
    Notices of Intent are not required for this solicitation.
    Proposals for Cycle 3 are due June 26, 2025.
    Proposals can also be submitted later and evaluated in the second and third cycles.
    The USRC Q&A/Info Session and Proposal Workshop will be held on the days/times below. Please join us on TEAMS using the Meeting Link, or call in via +1 256-715-9946,,317928116#.

    USRC Cycle
    Information Session/Q&A Date
    Proposal Due Date

    Cycle 1
    Sept. 20, 2024 at 2 pm ET
    Nov. 7, 2024

    Cycle 2
    Jan. 27, 2025 at 2 pm ET
    March 13, 2025

    Cycle 3
    May 12, 2025 at 2 pm ET
    June 26, 2025

    Aeronautics Innovation Challenges – OPEN
    NASA’s nationwide team of aeronautical innovators are committed to giving students of all ages opportunities to solve some of the biggest technical challenges facing the aviation community today. Through NASA-sponsored challenges and competitions, students representing multiple disciplines will put their skills to work by designing and building solutions to real-world problems.

    Advanced Capabilities for Emergency Response Operations RFI – CLOSED
    View the full ACERO RFI announcement here.
    NASA’s Advanced Capabilities for Emergency Response Operations (ACERO) project used this request for information to identify technologies that addressed current challenges facing the wildland firefighting community. NASA was seeking information on data collection, airborne connectivity and communications solutions, unmanned aircraft systems traffic management, aircraft operations and autonomy, and more. This would support development of a partnership strategy for future collaborative demonstrations.
    Interested parties were requested to respond to this notice with an information package submitted via https://nari.arc.nasa.gov/acero-rfi no later than 4 pm ET, October 15, 2023. Submissions were accepted only from U.S. companies.

    Advanced Air Mobility Mission RFI – CLOSED
    View the full AAM RFI announcement here.
    This request for information is being used to gather market research for NASA to make informed decisions regarding potential partnership strategies and future research to enable Advanced Air Mobility (AAM). NASA is seeking information from public, private, and academic organizations to determine technical needs and community interests that may lead to future solicitations regarding AAM research and development.
    This particular RFI is just one avenue of multiple planned opportunities for formal feedback on or participation in NASA’s AAM Mission-related efforts to develop these requirements and help enable AAM. 
    The respond by date for this RFI closed on Feb. 1, 2025, at 6 p.m. EST.

    ROA-2024 NRA Amendment 1 – CLOSED
    (View the full ROA-2024 NRA Amendment 1 text here.)
    The announcement solicited proposals from accredited U.S. institutions for research training grants to begin the academic year. This Notice of Funding Opportunity was designed to support independently conceived research projects by highly qualified graduate students, in disciplines needed to help advance NASA’s mission, thus affording these students the opportunity to directly contribute to advancements in STEM-related areas of study. Advanced Air Vehicle Program fellowship opportunities are focused on innovation and the generation of measurable research results that contribute to NASA’s current and future science and technology goals.
    Research proposals were sought to address key challenges provided in Elements of Appendix A.8.
    A budget breakdown for each proposal was required, detailing the allocation of the award funds by year. The budget document could adhere to any format or template provided by the applicant’s institution.
    Proposals were due by April 30, 2024, at 5 PM ET.

    ROA-2024 NRA Amendment 3 – CLOSED
    (View the full ROA-2024 NRA Amendment 3 text here)
    NASA’s Commercial Supersonic Technology project sought proposals for a fuel injector design concept and fabrication for testing at NASA’s Glenn Research Center in Cleveland.
    The proposal for the fuel injector design aimed to establish current state-of-the-art in low NOx supersonic cruise while meeting reasonable landing take-off NOx emissions. The technology application timeline is targeted for a supersonic aircraft with entry into service in the 2035+ timeframe.
    Proposals were due by May 31, 2024 at 5 pm EDT.

    Competition for NRA awards is open to both academia and industry.
    The current open solicitations for ARMD Research Opportunities are ROA-2024 and ROA-2025.
    Here is some general information to know about the NRA process.

    NRA solicitations are released by NASA Headquarters through the Web-based NASA Solicitation and Proposal Integrated Review and Evaluation System (NSPIRES).
    All NRA technical work is defined and managed by project teams within these four programs: Advanced Air Vehicles Program, Airspace Operations and Safety Program, Integrated Aviation Systems Program, and Transformative Aeronautics Concepts Program.
    NRA awards originate from NASA’s Langley Research Center in Virginia, Ames Research Center in California, Glenn Research Center in Cleveland, and Armstrong Flight Research Center in California.
    Competition for NRA awards is full and open.
    Participation is open to all categories of organizations, including educational institutions, industry, and nonprofits.
    Any updates or amendments to an NRA is posted on the appropriate NSPIRES web pages as noted in the Amendments detailed below.
    ARMD sends notifications of NRA updates through the NSPIRES email system. In order to receive these email notifications, you must be a Registered User of NSPIRES. However, note that NASA is not responsible for inadvertently failing to provide notification of a future NRA. Parties are responsible for regularly checking the NSPIRES website for updated NRAs.

    MIL OSI USA News

  • MIL-OSI USA: “Get Outdoors & Get Together Day” Set for Saturday, June 14

    Source: US State of New York

    overnor Kathy Hochul today announced that New York’s “Get Outdoors & Get Together Day” celebrations will be held on Saturday, June 14 this year with events happening at more than 20 locations across New York State as part of the Governor’s initiative to “Get Offline, Get Outside,” and to ensure inclusivity of access to state public lands. The events bring people of all abilities, ages, identities, and backgrounds together for a day of fun and healthy activities.

    “Get Outdoors & Get Together Day is an opportunity for every New Yorker to visit our world-renowned state parks and public lands, and gather with family and friends while learning something new,” Governor Hochul said. “My Administration has prioritized accessibility and our state parks and lands are here for all New Yorkers to enjoy, no matter their background or abilities. Everyone is welcome.”

    This year’s event is hosted by the State Department of Environmental Conservation (DEC) and the Office of Parks, Recreation and Historic Perseveration (Parks), in partnership with the Office of the Chief Disability Officer, the Office for People With Developmental Disabilities (OPWDD), the Department of Veterans’ Services (DVS), the Office of Mental Health (OMH) and the Justice Center for the Protection of People with Special Needs.

    At 23 locations across the state, participants will be encouraged to discover new skills and enjoy a range of introductory-level outdoor recreation activities such as fishing, nature walks and hikes, birding, archery, paddling, camping demonstrations, and more. Each event will highlight ways to enjoy the outdoors safely and sustainably. All locations will offer a selection of accessible activities, and use of adaptive equipment and demonstrations will be provided at many sites, including trail and beach mobility aids, archery assist stands, arm supports for fishing, and more. Certain sites will also feature sample assistive technology device loans from New York’s regional Technology-Related Assistance for Individuals with Disabilities (TRAID) centers.

    New York’s Get Outdoors & Get Together Day coincides with National Get Outdoors Day, an annual event to encourage healthy, active outdoor fun. Most “Get Outdoors & Get Together Day” celebrations will be held from 10:00 a.m. until 2:00 p.m., with a few exceptions. Exact times and locations are available on the Parks and DEC websites.

    New York State Chief Disability Officer Kimberly Hill Ridley said, “As New York’s Chief Disability Officer, I am proud we are co-sponsoring ‘Get Outdoors and Get Together’ day since our office was created in 2022. We thoroughly enjoy both co-sponsoring this event, but more importantly, participating in the event, which has consistently demonstrated the beauty that our parks have to offer and the accessibility that we strive to provide each and every day. We know how important the outdoors is to all New Yorkers, including those with disabilities, in the quest to spend as much time outside as possible to benefit both our physical and mental health.”

    New York State Department of Environmental Conservation Commissioner Amanda Lefton said, “DEC is thrilled to once again host ‘Get Outdoors & Get Together Day’ events across the state in partnership with our sister State agencies. We remain committed to providing a welcoming and inclusive outdoor experience for New Yorkers of all ages, abilities, identities, and lived experiences. New York’s public lands are for everyone and we invite all New Yorkers to join us to celebrate the outdoors and try something new, safely and responsibly.”

    New York State Office for People With Developmental Disabilities Commissioner Willow Baer said, “This event is important to our agency, especially considering that as little as fifty years ago, many people with developmental disabilities lived in institutions and were denied the same opportunities to enjoy the outdoors as everyone else. When we see people with and without disabilities enjoying the great outdoors together, we’re reminded that true inclusion goes beyond integration. I encourage everyone to come out for Get Outdoors & Get Together Day and see what it is all about.”

    New York State Office of Parks, Recreation and Historic Perseveration Commissioner Pro Tempore Randy Simons said, “Get Outdoors & Get Together Day highlights New York’s amazing public lands and recreational opportunities that are accessible for everyone to enjoy. Parks are natural gathering places where everyone can connect with nature and build memories, and New York State is committed to ensuring that all people of all abilities feel welcome and can experience the joy of the outdoors together. We are excited to once again partner with other state agencies to make this event possible and continue connecting more people to the outdoors.”

    New York State Department of Veterans’ Services Commissioner Viviana M. DeCohen said, “Get Outdoors & Get Together Day is a beautiful reminder that connection and community can be found in enjoying the scenic beauty of New York’s great outdoors. For Veterans, Service Members, and Military Families, this inclusive event offers a powerful way to recharge, reconnect, and feel truly welcomed in every corner of our state.”

    New York State Office of Mental Health Commissioner Dr. Ann Sullivan said, “Being outdoors and connecting with nature can have a powerful and positive impact on our mental health. As New Yorkers, we are very fortunate to have a beautiful park system that is both accessible and expansive — from nearby our cities and through the rural areas of upstate. As a proud partner of Get Outdoors and Get Together Day this year, we encourage all New Yorkers to explore the parks in their community and elsewhere throughout our state.”

    New York State Justice Center for the Protection of People With Special Needs Acting Executive Director Maria Lisi-Murray said, “Our job at the Justice Center is to protect the health, safety, and dignity of individuals with special needs in New York State and that includes promoting programs like TRAID. Funded through federal grants, TRAID is administered through the Justice Center and offers assistive technology device loans to any New Yorker, free of charge. Our regional TRAID centers across NY will be demonstrating some of these technologies at various Get Outdoors & Get Together Day sites. We are honored to serve as a sponsor for this year’s events and to help all individuals experience the great outdoors.”

    State Senator José Serrano said, “As the Chair of the Committee on Cultural Affairs, Tourism, Parks and Recreation, I am a firm believer that time spent outdoors in our green spaces is critical for our health and well-being. New York’s Get Outdoors & Get Together Day is a great opportunity for people of all ages to get outside and engage in recreational activities. My sincere thanks to Governor Kathy Hochul, Parks, DEC and all the partner state agencies for organizing this annual event to encourage healthy, active outdoor fun in our communities.”

    2025 DEC-led Programs:

    Activities at DEC facilities may include the following:

    • Camping 101: Visitors can try their hand at camping basics by pitching a tent on the lawn and learning how to pack for a camping trip.
    • Birding: Participants can learn how easy and fun it is to enjoy birdwatching almost anywhere.
    • Hiking: Participants can take a short hike and learn the basics of finding the perfect trails on their own.
    • Outdoor safety: Learn the basics of being prepared and safe so all outdoor adventures are good ones.
    • Accessible outdoor recreation: Experience and learn about accessible outdoor recreation opportunities on State lands including hiking, camping, birding, fishing and boating.
    • Select locations will also include I Fish NY catch-and-release clinics with rods and reels available for loan, introductory paddling on the water, and introductory archery, including important safety tips.

    Wheelchair-accessible features, including restrooms, as well as activities and select recreation opportunities are offered at all locations. Please contact the event coordinator directly with accommodation requests and to find out about the adaptive equipment and activities offered at each site. Details, including schedules and activity lists, can be found on the DEC’s website on the “Outdoors Day” page.

    2025 State Parks-led Programs:

    Program and scheduling details for each location can be found by visiting parks.ny.gov. No parking fee will be charged during event times. For details about visitor amenities at each location, visit parks.ny.gov.

    The New York City and Long Island events located at Denny Farrell Riverbank State Park, Mount Loretto Unique Area, Hempstead Lake State Park, and Sunken Meadow State Park are very popular, and there is no parking available for oversized vans accommodating larger groups at these sites with the exception of Sunken Meadow State Park. If you have a bus or oversized van you need to park at any park or DEC site, please contact the facility directly to inquire about parking availability in advance of your arrival.

    The Department of Environmental Conservation manages five million acres of public lands, including three million acres in the Adirondack and Catskill Forest Preserve, 55 campgrounds and day-use areas, more than 5,000 miles of formal trails and hundreds of trailheads, boat launches, and fishing piers. Plan your next outdoor adventure and connect with us on Facebook, Bluesky, X, Flickr and Instagram.

    The New York State Office of Parks, Recreation and Historic Preservation oversees more than 250 parks, historic sites, recreational trails, golf courses, boat launches and more, and welcomes over 88 million visitors annually. For more information on any of these recreation areas, visit parks.ny.gov, download the free NY State Parks Explorer app or call 518-474-0456. Connect with us on Facebook, Instagram, X, LinkedIn, the OPRHP Blog or via the OPRHP Newsroom.

    The Office for People With Developmental Disabilities provides high quality person-centered support and services to people with developmental disabilities, including intellectual disabilities, cerebral palsy, Down syndrome, autism spectrum disorders, and other neurological impairments. OPWDD provides services directly and through a network of not-for-profit providers. OPWDD’s mission is to help people live richer lives that include meaningful relationships, good health, personal growth and a home that supports them to participate in their community. For more information visit opwdd.ny.gov or connect with us on Facebook, X and Instagram.

    The New York State Department of Veterans’ Services proudly serves New York’s Veterans, Service Members, and Military Families, connecting them with benefits, services, and support. All who served should contact the Department at 888-838-7697 or via its website – veterans.ny.gov – to meet in-person or virtually with an accredited Veterans Benefits Advisor to receive the benefits they have earned. Follow DVS on Facebook, Instagram, X, and LinkedIn.

    The New York State Office of Mental Health is committed to promoting the mental health of all New Yorkers, with a particular focus on providing hope and recovery for adults with serious mental illness and children with serious emotional disturbances. The agency oversees a large, multi-faceted mental health system serving nearly 800,000 individuals annually. OMH operates 3,597 inpatient beds at 23 psychiatric centers statewide, while also overseeing the Nathan S. Kline Institute and New York Psychiatric Institute. In addition, the agency is tasked with regulating, certifying, and overseeing more than 6,500 programs operated by local governments and nonprofit agencies, which are dedicated to serving individuals and families living with mental illness.

    The Justice Center for the Protection of People with Special Needs was established in 2013 by the Protection of People with Special Needs Act. The agency was created to restore public trust in the institutions and individuals charged with caring for vulnerable populations by protecting the health, safety, and dignity of all people with special needs. For more information on the agency, visit: justicecenter.ny.gov.

    MIL OSI USA News

  • MIL-OSI Security: Newmarket — RCMP arrest individual for exporting banned technology to Russia

    Source: Royal Canadian Mounted Police

    The Ontario RCMP have arrested a Canadian businessman for violating Canadian sanctions that prohibit technology trade and exports to Russia.

    Following a three-year investigation, the Ontario RCMP’s Sanctions Unit has obtained Attorney General of Canada consent to commence a criminal prosecution under the Special Economic Measures Act, S.C. 1992, c. 17, and the Special Economic Measures (Russia) Regulations, SOR/2014-58.

    Anton Trofimov (43) of Toronto, Ontario, is facing the following charges for sanctions evasion:

    • Export, sell, supply or ship a good referred to in Column 1 of Schedule 7 to Russia, contrary to section 3.9 (1) of the Special Economic Measures (Russia) Regulations (SOR/2014-58), thereby committing an offence contrary to section 8 of the Special Economic Measures Act, S.C. 1992, c.17;
    • Export, sell, supply or ship a good referred to in the Restricted Goods and Technologies List to Russia, contrary to section 3.6 (1) of the Special Economic Measures (Russia) Regulations (SOR/2014-58), thereby committing an offence contrary to section 8 of the Special Economic Measures Act, S.C. 1992, c.17;
    • Possess proceeds of property obtained by crime, contrary to section 354(1) of the Criminal Code of Canada.

    Trofimov made a first appearance in the Ontario Court of Justice at Toronto on May 22, 2025.

    “Canada’s sanctions are a critical component to our economic security, and these types of violations pose serious risks in maintaining international peace and global security. Individuals and businesses are responsible for ensuring the end destination of all exports do not fall under these sanctions. The RCMP will continue to pursue individuals or groups who attempt to profit from illegal trade.”- Chief Superintendent Chris Leather Officer in Charge of Criminal Operations, RCMP Central Region

    The RCMP works closely with domestic and international partners, including the Financial Transactions and Reports Analysis Centre of Canada, Global Affairs Canada, the Canada Border Services Agency, the United States Department of Commerce’s Bureau of Industry and Security, and the Federal Bureau of Investigation, to prevent and disrupt the illicit trade of technologies with sanctioned states.

    “This arrest is an example of how close collaboration with our Canadian partners can result in significant impact such as disruptions to Russia’s attempts to evade U.S. and Canadian sanctions.” – Special Agent in Charge Brett D. Skiles of the FBI Miami Field Office.

    “This arrest demonstrates both the importance of the CBSA’s ongoing work to interdict the proliferation of strategic Canadian technology and the crucial cooperation between the CBSA and RCMP in identifying exporters intent on violating sanctions. The CBSA’s Counter Proliferation Operations Section examines more than 1 million export declarations per year and collaborates with external and internal partners to meet Canada’s commitment to enforcing sanctions on strategic exports to Russia.” – Daniel Anson, Director General, Intelligence and Investigations, Canada Border Services Agency

    Prosecutions under the Special Economic Measures Act are conducted by the Public Prosecution Service of Canada.

    Fast facts

    • The purpose of the Canada Sanctions regime is to enable the Government of Canada to take economic measures against certain persons in circumstances where an international organization of states, of which Canada is a member, calls on its members to do so.
    • The RCMP Sanctions Program performs several roles within the Government of Canada’s sanctions regime, including conducting investigations into potential contravention of sanctions, the receipt of information from third parties in accordance with the legislation, and providing assistance to the Minister of Foreign Affairs. For more information on Canadian sanctions enforcement, please visit our website.
    • For more information about the high priority items list subject to export controls, please visit the Global Affairs Canada website.

    If you have any information related to violation of Canada’s sanctions legislation, you can contact the RCMP at Federal_Policing_Intake_Unit@rcmp-grc.gc.ca.

    MIL Security OSI

  • MIL-OSI Video: Fast Rope Proficiency Training | CBP

    Source: United States of America – Federal Government Departments (video statements)

    U.S. Customs and Border Protection (CBP) Air and Marine Operations (AMO) UH-60 Black Hawk crew members complete ‘Fast Rope’ currency and proficiency training and an operational patrol mission southwest of Tucson, with agents from the Tucson Sector Border Patrol Special Operations Detachment.

    Instagram ➤ https://instagram.com/CBPgov
    Facebook ➤ https://facebook.com/CBPgov
    Twitter ➤ https://twitter.com/CBP
    Official Website ➤ https://www.cbp.gov

    #cbp
    #borderpatrol
    #training
    #dog
    #helicopter

    https://www.youtube.com/watch?v=e1isNBYQmVw

    MIL OSI Video

  • MIL-OSI USA: Fact Sheet: President Donald J. Trump Reprioritizes Cybersecurity Efforts to Protect America

    US Senate News:

    Source: US Whitehouse
    STRENGTHENING THE NATION’S CYBERSECURITY: Today, President Donald J. Trump signed an Executive Order to strengthen the nation’s cybersecurity by focusing on critical protections against foreign cyber threats and enhancing secure technology practices.
    The Order amends problematic elements of Obama and Biden-era Executive Orders (14144 and 13694).
    The Order directs the Federal government to advance secure software development.
    It directs department and agency level action on border gateway security to defeat hijacking of network interconnections.
    The Order directs department and agency level actions on post-quantum cryptography to ensure protection against threats that may leverage next generation compute architectures.
    The Order directs adoption of the latest encryption protocols.
    It refocuses artificial intelligence (AI) cybersecurity efforts towards identifying and managing vulnerabilities, rather than censorship.
    The Order directs technical measures to promulgate cybersecurity policy, including machine readable policy standards and formal trust designations for “Internet of Things” as a way to ensure that Americans can know that their personal and home devices meet basic security engineering principles.
    It limits the application of cyber sanctions only to foreign malicious actors, preventing misuse against domestic political opponents and clarifying that sanctions do not apply to election-related activities.
    The Order strips away inappropriate measures outside of core cybersecurity focus, including removing a mandate for U.S. government issued digital IDs for illegal aliens that would have facilitated entitlement fraud and other abuse.
    REPRIORITIZING CYBERSECURITY EFFORTS: President Trump is taking decisive action to address real technical challenges and enduring cyber security threats.
    Just days before President Trump took office, the Biden Administration attempted to sneak problematic and distracting issues into cybersecurity policy. This included:
    Introducing digital identity mandates that risked widespread abuse by enabling illegal immigrants to improperly access public benefits.
    Imposing unproven and burdensome software accounting processes that prioritized compliance checklists over genuine security investments.
    Micromanaging technical cybersecurity decisions better handled at the department and agency level, where budget tradeoffs and innovative solutions can be more effectively evaluated and implemented.

    Cybersecurity is too important to be reduced to a mere political football.
    Adversaries routinely threaten our critical infrastructure, personal devices, and the fabrics of our digital lives.
    ADVANCING NATIONAL CYBER SECURITY: President Trump is advancing cybersecurity for the safety of all Americans.
    President Trump has made it clear that this Administration will do what it takes to make America cyber secure—including focusing relentlessly on technical and organizational professionalism to improve the security and resilience of the nation’s information systems and networks.
    Since the first day he entered office, President Trump has been steadfast in his commitment to eliminate fraud and abuse across the Federal Government.
    President Trump has already taken action to remove barriers to AI innovation, ensuring that our technology sector remains competitive at the cutting edge of new developments and free from ideological bias.

    MIL OSI USA News

  • MIL-OSI USA: Fact Sheet: President Donald J. Trump Unleashes American Drone Dominance

    US Senate News:

    Source: US Whitehouse
    UNLEASHING AMERICAN DRONE DOMINANCE: Today, President Donald J. Trump signed an Executive Order to ensure continued American leadership in the development, commercialization, and export of unmanned aircraft systems (UAS)—otherwise known as drones. 
    The Order directs the Administrator of the Federal Aviation Administration (FAA) to expand drone operations by enabling routine “Beyond Visual Line of Sight” drone operations for commercial and public safety missions, and to accelerate the development, testing, and scaling of American drone technologies, including advanced air mobility and autonomous operations.
    The Order establishes an electric “Vertical Takeoff and Landing” integration pilot program to accelerate the deployment of safe and lawful vertical operations in the United States, selecting at least five pilot projects to advance applications like cargo transport and medical response.
    It directs the FAA Administrator to deploy artificial intelligence (AI) tools to streamline and expedite UAS waiver reviews.
    The Order directs the FAA Administrator to publish an updated roadmap for the integration of civil UAS into the National Airspace System.
    It strengthens the domestic drone industrial base by prioritizing U.S.-manufactured UAS, promoting their export and taking action to ensure our technology remains secure from undue foreign influence and exploitation.
    It enhances global competitiveness by streamlining regulations, expanding market access, and utilizing federal financing tools.
    The Order supports the warfighter by expanding access to U.S.-manufactured high-performing drones while streamlining airspace and spectrum access.
    DRIVING INNOVATION AND ECONOMIC GROWTH: President Trump is harnessing the potential of drones to boost American productivity and global leadership.
    Drones enhance U.S. productivity, create high-skilled jobs, and are reshaping the future of aviation in areas such as logistics, infrastructure inspection, precision agriculture, emergency response, and public safety.
    Emerging technologies, such as vertical takeoff and landing aircraft, promise to modernize methods for cargo delivery, passenger transport, and other advanced air mobility capabilities.
    For too long, unfair foreign competition has posed a national security risk, disincentivizing our drone industrial base. This order is removing regulatory barriers and directing federal agencies to prioritize U.S.-manufactured drones, secure our supply chains, and promote American leadership in production, certification, and export.
    ADVANCING DRONE TECHNOLOGIES: President Trump is advancing drone technologies for economic, security, and public safety benefits.
    In his first term, President Trump signed a Presidential Memorandum to speed up commercial drone integration, launching a UAS Integration Pilot Program to test innovative applications with State, local, and tribal partners.  
    President Trump has deployed UAS to patrol the southern border, strengthening national security through advanced surveillance and monitoring capabilities.
    President Trump has advanced cutting-edge drone technologies through smart, targeted regulation, unlocking economic growth while strengthening safety, security, and innovation.

    MIL OSI USA News

  • MIL-OSI USA: Fact Sheet: President Donald J. Trump Takes Action to Lead the World in Supersonic Flight

    US Senate News:

    Source: US Whitehouse
    LEADING THE WORLD IN SUPERSONIC FLIGHT: Today, President Donald J. Trump signed an Executive Order to promote supersonic aviation in the United States.
    America once led the world in supersonic aviation, but decades of stifling regulations grounded progress. This Order removes regulatory barriers so that U.S. companies can dominate supersonic flight once again.
    The Order directs the Administrator of the Federal Aviation Administration (FAA) to repeal the prohibition on overland supersonic flight, establish an interim noise-based certification standard, and repeal other regulations that hinder supersonic flight.
    The Order instructs the FAA Administrator to establish a standard for supersonic aircraft noise certification that considers community acceptability, economic reasonableness, and technological feasibility.
    The Order advances the coordination of supersonic research, development, test and evaluation efforts through the National Science and Technology Council with leadership from the Office of Science and Technology Policy.
    It promotes international engagement through the FAA and other agencies to align global supersonic flight regulations and secure bilateral agreements for international operations.
    USHERING IN A NEW CHAPTER IN AEROSPACE INNOVATION: President Trump is launching a historic national effort to reestablish the United States as the undisputed leader in high-speed aviation.
    For more than fifty years, outdated and overly restrictive regulations have grounded the promise of supersonic flight, stifling American ingenuity and weakening our global competitiveness in aviation.
    Advances in aerospace engineering, materials science, and noise reduction now make supersonic flight not just possible, but safe, sustainable, and commercially viable.
    American companies developing supersonic aircraft have already entered into government contracts and agreements with major commercial airlines, such as United Airlines and American Airlines, who have committed to purchase supersonic jets to enhance their fleets with faster travel options.
    By removing decades-old regulatory barriers and promoting cutting-edge supersonic technology, President Trump is Making Aviation Great Again.
    ADVANCING AMERICA’S TECHNOLOGICAL LEADERSHIP: President Trump is ensuring U.S. dominance in cutting-edge technologies, prioritizing innovation and global competitiveness.
    President Trump signed Executive Orders to enhance America’s global artificial intelligence (AI) dominance and advance AI education for America’s youth.
    He signed multiple Executive Orders to advance nuclear technologies and ensure a reliable, clean, and affordable domestic energy supply.
    The President signed an Executive Order to restore Gold Standard Science as the cornerstone of Federal scientific research and ensure that Federal decision-making is informed by the most credible, reliable, and impartial scientific evidence available. 
    President Trump has prioritized deregulation to spur innovation and economic growth.
    This includes issuing Executive Orders mandating the repeal of 10 regulations for each new one proposed, requiring the automatic rescission of outdated regulations, and eliminating anti-competitive regulations.  

    MIL OSI USA News

  • MIL-OSI Russia: Chinese Foreign Minister Holds Phone Talk with French Foreign Minister

    Translation. Region: Russian Federal

    Source: People’s Republic of China in Russian – People’s Republic of China in Russian –

    Source: People’s Republic of China – State Council News

    BEIJING, June 6 (Xinhua) — Chinese Foreign Minister Wang Yi held a telephone conversation with French Foreign Minister Jean-Noel Barrot on Friday.

    Wang Yi, also a member of the Politburo of the CPC Central Committee, recalled that Chinese President Xi Jinping and French President Emmanuel Macron recently held a telephone conversation during which an important consensus was reached on strengthening strategic coordination between the two countries.

    The two sides should make proper preparations for further exchanges at all levels, and China invites senior French officials to attend the World Conference on Artificial Intelligence in Shanghai in 2025, the Chinese Foreign Minister said.

    Noting that the two sides have reached consensus on resolving trade and economic issues through dialogue and consultation, Wang Yi stressed the need to expand cultural, humanitarian and educational exchanges to promote the healthy development of the China-France comprehensive strategic partnership and China-EU ties.

    Wang Yi noted that China and France, adhering to the traditions of independence and self-reliance, should strengthen strategic mutual trust and respect each other’s core interests.

    He stressed that the Taiwan issue is an internal matter of China, which affects the national sovereignty and territorial integrity of the country and is fundamentally different from the Ukrainian problem. China attaches great importance to France’s commitment to the one-China policy, the diplomat noted, adding that China believes that France will implement this commitment.

    Wang expressed hope that France will take a correct stance and oppose NATO’s interference in the Asia-Pacific region, stressing that the two countries should jointly adhere to multilateralism and safeguard free trade, and oppose the practice of unilateral bullying.

    J.-N. Barrot, for his part, said that Vice President of the People’s Republic of China Han Zheng has been invited to attend the upcoming UN Ocean Conference in France, noting that in the context of growing global uncertainty, French-Chinese relations are taking on particular importance.

    France always regards China as a friend and partner, firmly adheres to the one-China policy, and hopes to maintain high-level exchanges and enhance strategic communication with China, the French diplomat assured.

    Strengthening bilateral cultural and humanitarian exchanges will send a strong signal of openness, which is particularly relevant in the current circumstances, continued Jean-Nicolas Barrot, adding that France is against trade and tariff wars and is ready to continue to properly resolve trade and economic frictions through consultations.

    The parties also exchanged views on issues related to Ukraine, the Palestinian-Israeli conflict, and the Iranian nuclear program. –0–

    MIL OSI Russia News

  • MIL-OSI USA: Pfluger Introduces Resolution to Honor First Lady Barbara Bush’s 100th Birthday

    Source: United States House of Representatives – Congressman August Pfluger (TX-11)

    Click HERE to read the Resolution, or read the full text below.

    Recognizing the life, achievements, and public service of former First Lady Barbara Pierce Bush on the occasion of her 100th birthday.

    Whereas, on June 8, 1925, Barbara Pierce Bush (referred to in this preamble as ‘‘Barbara Bush’’) was born in New York City, New York;

    Whereas Barbara Bush attended Ashley Hall and Smith College;

    Whereas Barbara Bush worked a factory job to support the United States war effort during World War II in 1943;

    Whereas, on January 6, 1945, Barbara Bush married George Herbert Walker Bush after he returned from serving in World War II;

    Whereas, in 1948, Barbara Bush and George Herbert Walker Bush moved to Odessa, Texas, and had 6 children, George W., Robin, Jeb, Neil, Marvin, and Dorothy;

    Whereas Barbara Bush supported the early business ventures of her husband in oil, which would later evolve into the Pennzoil Corporation;

    Whereas Barbara Bush supported the first forays of her husband in politics during his 1963 Harris County Republican Party chairmanship and 1966 election to the House of Representatives in the 7th Congressional District of Texas;

    Whereas Barbara Bush kept the constituents in Houston informed of happenings in Washington, DC, by writing frequent newspaper columns during the time George Herbert Walker Bush served in the House of Representatives;

    Whereas, during the career of George Herbert Walker Bush before becoming President of the United States, Barbara Bush orchestrated cross-country moves for her family 29 times in 44 years;

    Whereas Barbara Bush supported the political ascension of George Herbert Walker Bush during his appointments as the United States Ambassador to the United Nations in 1970, the Chair of the Republican National Committee in 1972, and the Director of Central Intelligence in 1976;

    Whereas Barbara Bush became Second Lady of the United States when George Herbert Walker Bush was sworn in as the 43rd Vice President of the United States in 1981, and again in 1985 after the 1984 re-election of the Reagan-Bush Administration;

    Whereas, as Second Lady of the United States, Barbara Bush revitalized the vice-presidential residence at 1 Observatory Circle with extensive renovations and the hosting of more than 1,000 social events;

    Whereas, as Second Lady of the United States, Barbara Bush used her platform in the Reagan-Bush administration to champion public literacy to combat the cycle of poverty in the United States;

    Whereas, as Second Lady of the United States, Barbara Bush played a significant role in the successful presidential campaign of George Herbert Walker Bush, which saw him win the 1988 Presidential election with 426 electoral votes, a feat which has not been matched since;

    Whereas, as First Lady of the United States, Barbara Bush continued to champion public literacy by establishing the Barbara Bush Foundation for Family Literacy in 1989, and played a significant role in the passage of the National Literacy Act of 1991 (Public Law 102–73; 105 Stat. 333);

    Whereas, as First Lady of the United States, Barbara Bush showed immense compassion to AIDS patients at a time when public opinion was still hostile towards their plight;

    Whereas, after leaving the White House, Barbara Bush published her bestselling book, ‘‘Barbara Bush: A Memoir’’;

    Whereas, after the victory of her son George W. Bush in the 2000 Presidential election, Barbara Bush became the second woman in the history of the United States to have been both married to a President of the United States and the mother of a President of the United States;

    Whereas Barbara Bush showed unwavering support for the presidential campaigns of her sons, George W. Bush in 2000 and 2004, and Jeb Bush in 2016 and;

    Whereas, on her passing at her Houston home on April 17, 2018, Barbara Bush was survived by her husband of 73 years, George Herbert Walker Bush, 5 children and their spouses, 17 grandchildren, and 8 great-grandchildren:

    Now, therefore be it Resolved by the House of Representatives (the Senate concurring), That Congress—(1) honors the life, achievements, and distinguished public service of Barbara Pierce Bush (referred to in this resolution as ‘‘Barbara Bush’’); (2) recognizes Barbara Bush on the occasion of her 100th birthday and expresses thanks and commendations to her and her family;(3) acknowledges the positive impact that Barbara Bush contributed to the United States through

    her tireless dedication to promoting literacy and uplifting her fellow citizens; and (4) celebrates the legacy of Barbara Bush as a model citizen and public servant of the United States.

    MIL OSI USA News

  • MIL-OSI USA: SPC Tornado Watch 376

    Source: US National Oceanic and Atmospheric Administration

    Note:  The expiration time in the watch graphic is amended if the watch is replaced, cancelled or extended.Note: Click for Watch Status Reports.
    SEL6

    URGENT – IMMEDIATE BROADCAST REQUESTED
    Tornado Watch Number 376
    NWS Storm Prediction Center Norman OK
    110 PM CDT Fri Jun 6 2025

    The NWS Storm Prediction Center has issued a

    * Tornado Watch for portions of
    Southern Illinois
    Western into Central Kentucky
    Southeast Missouri
    Northwest into Middle Tennessee

    * Effective this Friday afternoon and evening from 110 PM until
    800 PM CDT.

    * Primary threats include…
    A couple tornadoes possible
    Scattered damaging wind gusts to 70 mph possible
    Isolated large hail events to 1 inch in diameter possible

    SUMMARY…Scattered thunderstorms are forecast to develop and
    intensify this afternoon as the low-level wind profile strengthens
    across the Watch area. A couple of supercell tornadoes are
    possible, in addition to damaging gusts with the stronger storms.

    The tornado watch area is approximately along and 60 statute miles
    north and south of a line from 50 miles southwest of Cape Girardeau
    MO to 15 miles south southeast of Bowling Green KY. For a complete
    depiction of the watch see the associated watch outline update
    (WOUS64 KWNS WOU6).

    PRECAUTIONARY/PREPAREDNESS ACTIONS…

    REMEMBER…A Tornado Watch means conditions are favorable for
    tornadoes and severe thunderstorms in and close to the watch
    area. Persons in these areas should be on the lookout for
    threatening weather conditions and listen for later statements
    and possible warnings.

    &&

    AVIATION…Tornadoes and a few severe thunderstorms with hail
    surface and aloft to 1 inch. Extreme turbulence and surface wind
    gusts to 60 knots. A few cumulonimbi with maximum tops to 450. Mean
    storm motion vector 22020.

    …Smith

    SEL6

    URGENT – IMMEDIATE BROADCAST REQUESTED
    Tornado Watch Number 376
    NWS Storm Prediction Center Norman OK
    110 PM CDT Fri Jun 6 2025

    The NWS Storm Prediction Center has issued a

    * Tornado Watch for portions of
    Southern Illinois
    Western into Central Kentucky
    Southeast Missouri
    Northwest into Middle Tennessee

    * Effective this Friday afternoon and evening from 110 PM until
    800 PM CDT.

    * Primary threats include…
    A couple tornadoes possible
    Scattered damaging wind gusts to 70 mph possible
    Isolated large hail events to 1 inch in diameter possible

    SUMMARY…Scattered thunderstorms are forecast to develop and
    intensify this afternoon as the low-level wind profile strengthens
    across the Watch area. A couple of supercell tornadoes are
    possible, in addition to damaging gusts with the stronger storms.

    The tornado watch area is approximately along and 60 statute miles
    north and south of a line from 50 miles southwest of Cape Girardeau
    MO to 15 miles south southeast of Bowling Green KY. For a complete
    depiction of the watch see the associated watch outline update
    (WOUS64 KWNS WOU6).

    PRECAUTIONARY/PREPAREDNESS ACTIONS…

    REMEMBER…A Tornado Watch means conditions are favorable for
    tornadoes and severe thunderstorms in and close to the watch
    area. Persons in these areas should be on the lookout for
    threatening weather conditions and listen for later statements
    and possible warnings.

    &&

    AVIATION…Tornadoes and a few severe thunderstorms with hail
    surface and aloft to 1 inch. Extreme turbulence and surface wind
    gusts to 60 knots. A few cumulonimbi with maximum tops to 450. Mean
    storm motion vector 22020.

    …Smith

    Note: The Aviation Watch (SAW) product is an approximation to the watch area. The actual watch is depicted by the shaded areas.
    SAW6
    WW 376 TORNADO IL KY MO TN 061810Z – 070100Z
    AXIS..60 STATUTE MILES NORTH AND SOUTH OF LINE..
    50SW CGI/CAPE GIRARDEAU MO/ – 15SSE BWG/BOWLING GREEN KY/
    ..AVIATION COORDS.. 50NM N/S /51NE ARG – 11SSE BWG/
    HAIL SURFACE AND ALOFT..1 INCH. WIND GUSTS..60 KNOTS.
    MAX TOPS TO 450. MEAN STORM MOTION VECTOR 22020.

    LAT…LON 37579021 37648632 35908632 35849021

    THIS IS AN APPROXIMATION TO THE WATCH AREA. FOR A
    COMPLETE DEPICTION OF THE WATCH SEE WOUS64 KWNS
    FOR WOU6.

    Watch 376 Status Report Message has not been issued yet.

    Note:  Click for Complete Product Text.Tornadoes

    Probability of 2 or more tornadoes

    Mod (40%)

    Probability of 1 or more strong (EF2-EF5) tornadoes

    Low (20%)

    Wind

    Probability of 10 or more severe wind events

    Mod (50%)

    Probability of 1 or more wind events > 65 knots

    Low (20%)

    Hail

    Probability of 10 or more severe hail events

    Low (20%)

    Probability of 1 or more hailstones > 2 inches

    Low (20%)

    Combined Severe Hail/Wind

    Probability of 6 or more combined severe hail/wind events

    High (70%)

    For each watch, probabilities for particular events inside the watch (listed above in each table) are determined by the issuing forecaster. The “Low” category contains probability values ranging from less than 2% to 20% (EF2-EF5 tornadoes), less than 5% to 20% (all other probabilities), “Moderate” from 30% to 60%, and “High” from 70% to greater than 95%. High values are bolded and lighter in color to provide awareness of an increased threat for a particular event.

    MIL OSI USA News

  • MIL-OSI: Toobit Wins Digital Asset Derivatives Platform of the Year at Hedgeweek Global Digital Assets Awards 2025

    Source: GlobeNewswire (MIL-OSI)

    GEORGE TOWN, Cayman Islands, June 06, 2025 (GLOBE NEWSWIRE) — Toobit, a leading global cryptocurrency exchange, today wins the title of Digital Asset Derivatives Platform of the Year at the Hedgeweek Global Digital Assets Awards 2025, announced during the Hedgeweek Digital Assets Summit Europe on June 5 at County Hall in London.

    This award recognizes standout performance across the digital finance landscape, and this year’s ceremony brought together top fund managers, service providers, and innovators redefining the digital asset economy. Toobit team members were in attendance at the ceremony to receive the award.

    Toobit team members Mike Williams (left) and Kelvin Verveld at the Hedgeweek Digital Assets Summit Europe, where Toobit received Digital Asset Derivatives Platform of the Year.

    The win, determined by industry professionals, Hedgeweek readers, and public voting, celebrates Toobit’s technological innovations, rapid growth in derivatives trading volume, and growing global presence across institutional and retail markets.

    Voting began on March 24 following the shortlist announcement, with the three-week campaign reaching Hedgeweek’s extensive readership and the broader digital assets community. Winners were determined by majority vote.

    Toobit stood out in a competitive field for its robust infrastructure and precision-engineered trading systems, which have enabled thousands of institutional and retail users to navigate volatile markets with speed and confidence. Its platform continues to attract traders seeking reliable, scalable solutions in the evolving world of digital assets.

    “We are honored to be named Digital Asset Derivatives Platform of the Year by Hedgeweek,” said Mike Williams, Chief Communication Officer at Toobit. “For Toobit, this recognition is not just an award—it’s a reflection of the trust our traders have shown us. We’ve built Toobit with a focus on performance, transparency, and global accessibility, and we’re proud to see that vision resonating with the broader industry.”

    This latest win marks Toobit’s third major award in 2025, following recent recognitions from the WeMoney FinTech Awards, where it was named Best New Cryptocurrency Exchange and Best for Derivatives, and the World Business Outlook Awards, where it earned the title of Best Crypto Exchange MENA 2025.

    These accolades underscores Toobit’s momentum as a trusted and innovative force in the global digital asset landscape.

    To learn more about Toobit and its product offerings, visit www.toobit.com.

    About Toobit

    Toobit is where the future of crypto trading unfolds—an award-winning cryptocurrency derivatives exchange built for those who thrive exploring new frontiers. With deep liquidity and cutting-edge technology, Toobit empowers traders worldwide to navigate the digital asset markets with confidence. We offer a fair, secure, seamless, and transparent trading experience, ensuring every trade is an opportunity to discover what’s next.

    For more information about Toobit, visit: Website | X | Telegram | LinkedIn | Discord | Instagram

    Contact: Davin C.

    Email: market@toobit.com

    Website: www.toobit.com

    Disclaimer: This is a paid post and is provided by Toobit. The statements, views, and opinions expressed in this content are solely those of the content provider and do not necessarily reflect the views of this media platform or its publisher. We do not endorse, verify, or guarantee the accuracy, completeness, or reliability of any information presented. We do not guarantee any claims, statements, or promises made in this article. This content is for informational purposes only and should not be considered financial, investment, or trading advice.Investing in crypto and mining-related opportunities involves significant risks, including the potential loss of capital. It is possible to lose all your capital. These products may not be suitable for everyone, and you should ensure that you understand the risks involved. Seek independent advice if necessary. Speculate only with funds that you can afford to lose. Readers are strongly encouraged to conduct their own research and consult with a qualified financial advisor before making any investment decisions. However, due to the inherently speculative nature of the blockchain sector—including cryptocurrency, NFTs, and mining—complete accuracy cannot always be guaranteed.Neither the media platform nor the publisher shall be held responsible for any fraudulent activities, misrepresentations, or financial losses arising from the content of this press release. In the event of any legal claims or charges against this article, we accept no liability or responsibility. Globenewswire does not endorse any content on this page.

    Legal Disclaimer: This media platform provides the content of this article on an “as-is” basis, without any warranties or representations of any kind, express or implied. We assume no responsibility for any inaccuracies, errors, or omissions. We do not assume any responsibility or liability for the accuracy, content, images, videos, licenses, completeness, legality, or reliability of the information presented herein. Any concerns, complaints, or copyright issues related to this article should be directed to the content provider mentioned above.

    Photos accompanying this announcement are available at:
    https://www.globenewswire.com/NewsRoom/AttachmentNg/daf8fed2-7f52-4657-acd5-de7ea7ea996e

    https://www.globenewswire.com/NewsRoom/AttachmentNg/2ccf319e-446b-4f83-97bd-14a064d4219e

    The MIL Network

  • MIL-OSI USA: Ernst Works to Bring Washington Out of the Stone Age

    US Senate News:

    Source: United States Senator Joni Ernst (R-IA)
    Published: June 5, 2025
    WASHINGTON – U.S. Senator Joni Ernst (R-Iowa), chair of the Senate DOGE Caucus, introduced the bipartisan Strengthening Agency Management and Oversight of Software Assets (SAMOSA) Act that aims to bring government computer systems out of the Stone Age by consolidating the cloud computing software licenses to save taxpayers $750 million a year.
    “The federal government’s ancient computers and outdated, noncompetitive bidding process for software contracts cost taxpayers hundreds of millions every year,” said Ernst. “Through the SAMOSA Act, we can bring Washington out of the Stone Age and into the 21st Century to save Americans’ hard-earned tax dollars. Let’s pass this bipartisan bill to force federal agencies to take commonsense steps when purchasing software.”
    The bill is cosponsored by U.S. Senators Gary Peters (D-Mich.), Bill Cassidy (R-La), Thom Tillis (R-N.C.), James Lankford (R-Okla.), and Ron Wyden (D-Ore.).
    Background:
    Last November, Ernst included this idea as part of her proposal to save $2 trillion in waste with the Department of Government Efficiency (DOGE).

    MIL OSI USA News

  • MIL-OSI Canada: Backgrounder: Canada Summer Jobs 2025     

    Source: Government of Canada News

    Program overview

    The Canada Summer Jobs (CSJ) program is part of the Youth Employment and Skills Strategy (YESS), a horizontal Government of Canada initiative delivered in partnership by 12 federal departments, agencies and Crown corporations. The YESS supports youth (aged 15 to 30), especially those facing barriers to employment, to receive the employment supports, skills training and work experience they need to successfully transition into the labour market.

    The CSJ program, delivered by Employment and Social Development Canada, provides wage subsidies to support employers from not-for-profit organizations and the public sector, as well as private sector organizations with 50 or fewer full-time employees, to offer quality summer work experiences for youth aged 15 to 30. CSJ provides youth with opportunities to develop and improve new and existing skills. For some young people, CSJ is a first job experience that will help inform their future education, training and career choices. The program is responsive to national and local priorities as well as labour market needs.  

    Through CSJ, projects that support youth who face barriers to employment are a priority. This includes youth with disabilities, Indigenous youth, Black and racialized youth, 2SLGBTQI+ youth, and youth in rural, remote, or official language minority communities. By providing young people with equitable opportunities to develop their skills, CSJ can help them succeed in the job market.

    CSJ-funded jobs are full-time (30 to 40 hours per week), with a duration of 6 to 16 weeks, with the average job duration being 8 weeks and 35 hours per week.

    CSJ 2025 youth hiring period

    The hiring period for CSJ 2025 runs from April 21, 2025, until July 21, 2025, with jobs running until August 30, 2025. Up to 76,000 jobs that matter to young people and to our communities will be posted on the Job Bank website and mobile app, and will be updated on a regular basis. Young people are encouraged to keep checking for updates on jobs available in their communities.

    Eligibility criteria

    Youth participants

    Eligible participants must:

    • be between 15 and 30 years of age (inclusive) at the start of employment;
    • be Canadian citizens, permanent residents, or persons to whom refugee protection has been conferred under the Immigration and Refugee Protection Act; and
    • have a valid Social Insurance Number at the start of employment and be legally entitled to work according to the relevant provincial or territorial legislation and regulations.

    International students are not eligible for the CSJ program.

    The employer application period is now closed for CSJ 2025. Employers interested in applying for CSJ funding next year are encouraged to open an account on the secure Grants and Contributions Online Services portal so they are prepared for next year’s call for applications.

    Ineligible employers, projects and job activities

    Ineligible Canadian employers include members of the House of Commons and the Senate or members of their immediate family, federal government departments and agencies and provincial departments and agencies.

    Projects and job activities are ineligible if they:

    • have activities that take place outside of Canada, including youth teleworking outside of Canada;
    • include activities that contribute to the provision of a personal service to the employer;
    • involve partisan political activities;
    • involve fundraising activities to cover salary costs for the youth participant;
    • restrict access to programs, services or employment, or otherwise discriminate, contrary to applicable laws, on the basis of prohibited grounds, including sex, genetic characteristics, religion, race, national or ethnic origin, colour, mental or physical disability, sexual orientation or gender identity or expression;
    • advocate intolerance, discrimination or prejudice; or
    • actively work to undermine or restrict a woman’s access to sexual and reproductive health services.

    MIL OSI Canada News

  • India assumes chair of 12th BRICS parliamentary forum as member nations unite against terrorism

    Source: Government of India

    Source: Government of India (4)

    The 11th BRICS Parliamentary Forum concluded in Brasilia, Brazil, on June 5, with participating parliaments from all 10 BRICS member countries unanimously condemning the recent terrorist attack in Pahalgam, India. The forum also saw India assume the chairmanship of the 12th BRICS Parliamentary Forum, to be hosted next year.

    Led by Lok Sabha Speaker Om Birla, the Indian delegation played a key role in shaping the joint declaration. The expanded BRICS parliamentary forum now includes India, Brazil, Russia, China, South Africa, Iran, the UAE, Egypt, Ethiopia, and Indonesia.

    A major outcome of the two-day event was the collective agreement among member nations to adopt a zero-tolerance policy on terrorism. India’s firm stance on countering terrorism—through enhanced intelligence sharing, curbing financial support to terror groups, and preventing the misuse of emerging technologies—received widespread support.

    During his address, Birla strongly condemned the Pahalgam attack and emphasized India’s long-standing commitment to a “strong and befitting response” to terrorism. He reiterated Prime Minister Narendra Modi’s vision for a united global front against terror and underlined the need for a balanced international order, technological cooperation, and democratic dialogue among nations.

    Apart from terrorism, the BRICS delegates discussed key issues such as the responsible use of Artificial Intelligence, inter-parliamentary cooperation, global trade, economic development, and peace and security. India’s approach to these matters was lauded and incorporated into the final declaration.

    At the closing ceremony, India was officially handed over the chairmanship of the 12th BRICS Parliamentary Forum, scheduled to be held in 2026. Shri Birla said India would work to deepen collaboration between BRICS parliaments and build consensus on addressing global challenges.

    The Indian delegation also included Deputy Chairman of Rajya Sabha Harivansh, Members of Parliament Surendra Singh Nagar, Vijay Baghel, Shri Vivek Thakur, Dr. Shabari Byreddy, and senior parliamentary officials including Lok Sabha Secretary General Utpal Kumar Singh and Rajya Sabha Secretary General P.C. Mody.

  • MIL-OSI USA: Innovation and Market Structure: Keynote Address by Acting Chairman Caroline D. Pham, Piper Sandler Global Exchange and Trading Conference 2025

    Source: US Commodity Futures Trading Commission

    Thank you for the invitation to speak at the Piper Sandler Global Exchange and Trading Conference.[1]  I’m honored to be asked to provide the keynote address here today during a time of rapid innovation and transformation of market structure—both in new products and new markets.
    When I became acting Chairman this year, I said we have to get back to basics. For the past half century, the CFTC has proudly served our mission to promote market integrity and liquidity in U.S. derivatives markets—markets that are critical to the real economy and global trade—ensuring American farmers, producers, merchants and other commercial end-users can mitigate risks to their business and support strong U.S. economic growth.  You—this audience in this room—are the leaders of those markets who ensure that they are deep, liquid, and well-functioning each and every day.  Our markets work best because there is a partnership between the regulator and our self-regulatory organizations (SROs): National Futures Association (NFA) and CFTC-registered designated contract markets (DCMs), derivatives clearing organizations (DCOs), and swap execution facilities (SEFs) for the derivatives markets, and Financial Industry Regulatory Association (FINRA) and SEC-registered national securities exchanges and clearing agencies.
    Today, I will discuss how the CFTC is promoting regulatory policy that supports U.S. economic growth and American competition, and approaching innovation and market structure.  First, I will highlight the CFTC’s regulatory agenda that was submitted pursuant to the President’s executive orders.  Next, I will discuss the work of our operating divisions and questions about the self-certification process for new or changed contracts or rules. Finally, I will share some observations on the CFTC’s recent requests for comment on 24/7 trading and perpetual derivatives, and direct access and non-intermediated clearing.
    Unified Regulatory Agenda 
    I am pleased to announce the CFTC has submitted its 2025 Spring Unified Regulatory Agenda and will highlight a few items.  In accordance with Executive Order 13771, Reducing Regulation and Controlling Regulatory Costs,[2] I have identified the following rulemaking initiatives to provide regulatory certainty, eliminate unnecessary cost burdens, and unleash a golden age for markets:

    Improving the SEF “Made Available to Trade” (MAT) process for swaps

    Expanding access to markets for insured depository institutions by broadening the scope of products excluded from the swap dealer de minimis threshold calculation 

    Expanding access to markets by no longer requiring associated person registration for personnel of introducing brokers that only refer swaps to a wholly owned affiliate de minimis dealer

    Codifying foreign exchange product interpretation that window FX forwards and package spot FX transactions are not FX swaps 

    Codifying no-action relief from both the pre-trade mid-market mark disclosure requirement and certain documentation requirements for cleared swaps and prime brokerage transactions for swap dealers 

    Codifying no-action relief from the clearing requirement for legacy swaps resulting from multilateral portfolio compression exercises 

    Codifying no-action relief from ownership and control reporting under Parts 17, 18, and 20 of CFTC regulations

    Codifying no-action relief for DCMs and DCOs from duplicative reporting of fully collateralized binary options to swap data repositories (SDRs) under Parts 43 and 45 of CFTC regulations 

    Sunsetting duplicative and burdensome Part 20 large trader reporting obligations for physical commodity swaps, as required under Regulation 20.9 

    Eliminating the burdensome and costly cotton-on-call reporting requirements and related CFTC Cotton-on-Call Report

    These items have been longstanding issues regarding CFTC regulatory overreach and administrative burden, some for over a decade.
    New or Amended Product and Rule Submissions
    I want to commend CFTC staff in the Division of Market Oversight (DMO) and Division of Clearing and Risk (DCR) for the day-to-day work that supports growth and innovation in our markets.  Under my leadership in my first 100 days as acting Chairman (even without a majority on the Commission), and the leadership of acting DMO Director Rahul Varma, acting DCR Director Richard Haynes, and former acting DMO Director Amanda Olear, our hard working and dedicated DMO and DCR staff have engaged in the following activities, in addition to performing examinations and ongoing monitoring:
    DMO

    670 new products filed by exchanges

    43 product filings submitted by foreign boards of trade (FBOTs) 

    315 rule filings submitted by exchanges (211 market rules, 104 product related rules)

    Issued 3 certification letters to FBOTs under Regulation 30.13

    DCR

    This is a snapshot of our dynamic and vibrant derivatives markets, which serve the national public interest mandated in our statute by providing price risk mitigation, price discovery, and price dissemination.[3] 
    These day-to-day activities are in addition to the over 20 CFTC staff letters and other guidance, issued in just four months, to provide regulatory clarity and reduce regulatory burden.  DMO and DCR were involved in over half of those, and I want to commend the Market Participants Division (MPD) staff for all of their tremendous efforts as well.  This level of productivity from CFTC staff has not been seen since the first Trump Administration.
    Self-Certification Process for Exchanges and Clearinghouses
    As I have said before, our system of self-regulation works because our SROs take their role seriously in upholding the CFTC’s regulatory framework and ensuring market integrity.[4]  Self-regulation is effective when it is cooperative.  I commend DCMs, SEFs, DCOs, and SDRs (registered entities) that recognize and support the efforts of our DMO and DCR staff, and I urge these registered entities to do their best to assist staff and make the review process as efficient as possible.
    But even more important is that our registered entities must be committed to the rule of law, the public interest, and doing what’s right.  As you know, the CFTC has a principles-based regulatory framework that is designed to provide maximum autonomy and flexibility to our exchanges and clearinghouses.  This enables exchanges to launch self-certified new contracts and issue new rules one business day after submission to the CFTC.  In fact, the CFTC cannot stay or halt trading of a self-certified contract,[5] or suspend or revoke the registration of an exchange or clearinghouse,[6] without conducting an adjudicatory hearing—an in-house trial before the Commission as an administrative tribunal exercising our quasi-judicial authority.  In our entire history, the CFTC has never done so.  And we cannot force compliance with the law and CFTC regulations without obtaining a court order in litigation, whether by an enforcement action or otherwise.
    In the past, registered entities have ignored and failed to comply with Commission orders with impunity[7]—presumably because they know that the CFTC has much more limited authority to take action against exchanges and clearinghouses, in contrast to our authority over registered futures commission merchants (FCMs) and other intermediaries.
    That means that the self-certification process is built on trust, and it is bad for our markets, for market participants, and for the American people when this trust is broken.  For the CFTC’s hands-off self-certification process to work, registered entities must commit to operate in a “no surprises” environment and work through issues in partnership with CFTC staff.  On our part, the CFTC must commit to engaging in good faith with registered entities and be transparent about our processes. Nobody should be playing games.
    Part 40 regulations
    I will provide some background in response to questions that have been raised about the CFTC’s self-certification process.  Part 40 was established pursuant to the Commodity Futures Modernization Act of 2000 and has been in place since 2001.  Part 40 created a new framework for the certification and approval of new products, rules, and rule amendments that are submitted to the CFTC by registered entities such as DCMs, SEFs, DCOs, and SDRs.  It was again amended in 2011 pursuant to the Dodd-Frank Act.  The Part 40 Proposal preamble states that Part 40 “govern[s] how registered entities submit self-certifications, and requests for approval, of their rules, rule amendments, and new products for trading and clearing, as well as the CFTC’s review and processing of such submissions.”[8]
    As I have noted before, the Commodity Exchange Act (CEA or Act) mandates that the Commission serve the public interest through our oversight of “a system of effective self-regulation of trading facilities, clearing systems, market participants and market professionals.” Part 40 is the cornerstone of effective self-regulation in our derivatives markets because it sets forth the standards for listing new contracts and issuing or amending rules for registered entities, including those that are SROs and have rulebooks that are enforceable against SRO members.  The penalties for violating SRO rules can be severe, including fines, suspension, or revocation of membership.[9]
    Stay of self-certification or extension of review period
    For example, regarding new products, under Regulation 40.2 the Commission can stay the self-certification of a new product only in circumstances involving a false certification, or a petition to alter or amend the contract terms and conditions pursuant to Section 8a(7) of the CEA.  The self-certification process does not involve Commission approval.  However, under Regulation 40.3, new products can be submitted to the Commission for review and approval, and the review period can be extended if the product raises novel or complex issues.[10]
    Similarly, regarding new rules or rule amendments submitted under Regulation 40.5 for Commission review and approval, the Commission can extend the review period for (1) novel or complex issues, (2) major economic significance, (3) incomplete submissions, and (4) not responding completely to CFTC questions in a timely manner.  And under Regulation 40.6, the Commission can stay the self-certification of new rule or rule amendment filings involving (1) novel or complex issues, (2) inadequate explanation, or (3) potential inconsistency with the CEA or CFTC regulations.[11]
    These checks and balances are integral to the CFTC’s oversight of registered entities, and I support DMO and DCR staff’s use of all these provisions to extend or stay the review period if any of these criteria have been met—especially if there are, as applicable, incomplete submissions, inadequate explanation, or for not responding completely to CFTC questions in a timely manner.  As I said two years ago, registered entities must ensure that they dot their i’s and cross their t’s, and show their work, when submitting product or rule filings.[12]
    Non-approval of new products or new rule or rule amendments
    I want to emphasize that the existing Part 40 regulations provide for Commission non-approval of new products, or new rule or rule amendments, only if submitted for review under Regulation 40.3 or 40.5, respectively.  Obviously, a product or rule will not be approved if it violates or is inconsistent, respectively, with the CEA or CFTC regulations.  The Commission can determine that “it will not, or is unable to approve” the product or rule, including for form and content requirements for submission, because the product “violates, appears to violate or potentially violates but which cannot be ascertained from the submission,” or the rule or rule amendment “is inconsistent or appears to be inconsistent” with the CEA and CFTC regulations.[13]
    These standards and criteria under Regulations 40.3 or 40.5 grant the Commission and CFTC staff considerable discretion in conducting reviews of product and rule filings for approval or non-approval. Again, I support the Commission issuing a notice of non-approval if any of these criteria have been met. 
    However, the Commission’s approval process does not apply to self-certified product or rule filings.  If an exchange or clearinghouse ignores a Commission order or notice of non-approval, the Commission cannot enforce compliance without either conducting an in-house trial or going to federal court to obtain a court order.[14]
    Requests for Public Comment on Innovation and Market Structure
    There is a line, often not very bright, between what is “business as usual” done in a new way and a truly different and innovative market practice.  The CFTC’s current regulations for DCMs and DCOs are very flexible—they allow for expansion into new ways of trading and clearing without major regulatory changes, but this is coupled with the need to use that flexibility responsibly.  Because our regulations are flexible, the CFTC is typically not focused on writing new regulations.  Instead, the CFTC is focused on how current regulations should best apply to actual proposals that have been submitted to us in a few innovative, but complex, areas.  To inform and assist the CFTC with its regulatory approach to innovation and market structure, we want to make sure to gather, and consider, the expertise and wisdom of the marketplace through requests for public comment. 
    24/7 Trading
    Many of the main issues raised by 24/7 trading and clearing that will need to be addressed are already clear.  No changes to CFTC regulations are necessary to enable 24/7 trading, which recently went live on Coinbase Derivatives (a DCM) and Nodal Clear (a DCO) in May 2025.  CFTC staff appreciate the firms that engaged with us for over a year to work through these issues, in a great example of the partnership in our markets.
    Nonetheless, because of the broader implications for market structure, the CFTC issued a request for comment in April 2025 on the uses, benefits, and risks of derivatives trading and clearing on a 24/7 (or almost 24/7) basis.[15]  That comment period recently closed and CFTC staff are currently evaluating the many helpful responses. 
    Collateral exchange
    To an extent, derivatives are already trading during low activity time periods and positions are already being held over weekends absent collateral exchange, so a more comprehensive move to 24/7 trading and clearing would bring with it both known and novel characteristics.  The novelties are, in part, related to the different schedules of specific market operations.  For example, trading may be continuous, but parts of the clearing process, such as exchange of collateral, require point-in-time calculations and periodic finality while risk continues to accrue.  This risk may be mitigated where client clearing takes place through FCMs that are highly capitalized and thus central counterparties (CCPs) can accept short-term credit exposure.
    Practices must be adapted for trading over weekends where (at least for the moment) collateral exchange is not possible.  Without on-call collateral, CCPs need pre-funded collateral to address credit and related liquidity risks that arise over a weekend. This raises questions about calibrating the possible exposures, such as the appropriate “margin period of risk” (MPOR) where collateral access is lost for more than one trading day.  Related, other risks like those associated with market liquidity may be mitigated if other similar markets are also open during the weekend, emphasizing the value and need for 24/7 spot market access for a broader liquidity pool.
    Operational challenges
    Many commenters to the CFTC’s request for information make a related but much broader point—24/7 trading must be evaluated holistically due to the effects not only on trading platforms and clearing houses but also the changes that would be required of FCMs, market participants, asset managers, third-party service providers, and others to account for changes in liquidity, price transparency, collateral access, and default management during non-traditional business hours.  These commenters stress that significantly increased costs would likely be borne by all market participants, not just those that choose to trade (or intermediate) 24/7.  For example, they note that these changes in market structure may also require renegotiation and redocumentation of relationships between market participants, such as between asset managers and FCMs.
    Many commenters point out that trading on a 24/7 basis may require CCPs, exchanges, intermediaries, their third-party service providers, asset managers, and others to have staffing virtually 24/7.  It will be important to maintain focus and resources on platform maintenance while markets are open, including dealing with unplanned outages, patch management, live change deployments, and rollback mechanisms, though some commenters suggested that some of these difficulties could be mitigated by having a maintenance window each day (such as 24/6 or 24/5 trading instead of true 24/7 trading).
    Market conditions, liquidity risk, and credit risk
    Concerns have been raised that low volume periods during weekends will cause diminished liquidity, wider spreads, increased volatility, and reduced price transparency, raising risk coverage questions similar to those noted above.  CFTC staff will need to address whether, on a product-by-product basis, other markets (cash markets, repo markets) will be available to make derivative pricing practicable.  In sum, there are concerns that risk management will be significantly challenged when high volatility and low liquidity paired with limited collateral asset mobility leads to increased defaults during a period when there may be limited ability of FCMs and CCPs to close-out positions or hedge associated risks.
    Solutions to these issues are always informed by anticipated benefits and costs of paths ahead.  The liquidity and credit risk concerns noted above drive the need for additional collateral or other measures to protect against weekend market moves, and a need to reduce or mitigate the effects of auto or manual liquidations.  This, of course, comes at a cost; posting excess margin, potentially at multiple exchanges, may have a negative impact on the efficient use of capital by market participants.  Moreover, some commenters expressed fears that, in times of high volatility, additional costs could rise to the fore.  For instance, elevated volatility could erode posted collateral to such an extent that positions may be unexpectedly auto-liquidated, leaving end-users without critical hedges.
    One view to consider, if sufficient data allows, would be to limit trading to only specified contracts that have sufficient customer demand for weekend trading to help ensure liquidity and appropriate pricing.  A number of commenters suggested that some products would be more appropriate for weekend trading than others.  I have previously noted the value of having already existing spot markets that trade 24/7, broadening the liquidity pool over the weekend period.  Consistent with this view, the proposals that the CFTC staff have seen so far have only focused on crypto asset products, where spot markets exist with continuous trading and sufficient depth of liquidity.  The CFTC is not aware of any plans to offer 24/7 trading beyond the crypto asset class at this time.
    For more traditional commodities, like agricultural commodities, liquidity and pricing concerns would likely need much deeper review, since the listing of contracts with limited open interest or trading volume for weekend trading may distort pricing and increase the risk of liquidations over the weekend—a fear expressed by many commentors who rely on the ability to maintain carefully constructed portfolios to achieve success in their trading strategies.
    CFTC staff are starting to get some informative data on market innovation towards more continuous trading hours.  Last month, 24/7 trading started on Coinbase Derivatives for a few crypto asset derivatives contracts, where the spot market is already open 24/7.  These first few weeks of trading have provided a useful window into the level of interest and viability.  In the last few weeks, weekend trading has been averaging over a thousand individual traders, across volumes that fall in the hundreds of thousands of lots, similar to an average (or even somewhat active weekday).  So, it may be the case that for markets already used to 24/7 trading, the extension to futures is less unbridgeable than it may be for other contracts.
    While there is a natural tendency to focus on the risks created by 24/7 trading, CFTC staff is also aware that weekend trading may allow for more real-time risk-reducing trades in response to unexpected events. These events—whether geopolitical, weather-related, or otherwise—can happen over the weekend, and forcing market participants to wait until Sunday afternoon in the U.S. to deal with them creates risks of its own.  That is why it is imperative to consider the benefits of market innovation, and not to only focus on the downsides.
    Other regulatory changes that CFTC staff may consider to address clearing member credit risk might allow for the use of tokenized assets such as non-cash collateral[16] or stablecoins, or other forms of margin that are not dependent on banks being open.
    Other considerations
    On the regulatory side, CFTC staff is also aware of other open questions such as existing definitions, like CFTC regulations that reference a “business day” that does not include weekends and holidays.  In addressing these cases, we would need to identify ways to both maintain the regulatory status quo for non-continuous markets and find flexible but effective procedures for 24/7 markets.
    Perpetual Derivatives
    A key trend in derivatives markets is an increase in retail trading.  In addition to the exponential growth in non-intermediated direct access retail trading and clearing, markets are keen to launch new retail-focused products.
    There has been much confusion about perpetual derivatives in CFTC-regulated markets.  Contrary to public reports, perpetual derivatives have already been trading in our markets for several months.  In April 2025, Bitnomial Perpetual Bitcoin USD Centi Futures went live and started trading. 
    Since the beginning of this year, a number of DCMs have self-certified the listing of perpetual derivatives.  (Again, under the CFTC’s self-certification process, no Commission approval is needed.)  CFTC staff appreciates the ongoing and active engagement with exchanges seeking to self-certify perpetual derivatives and their assistance in responding to questions and providing information.  To benefit from public input, CFTC staff also issued a request for comment on the potential uses, benefits, and risks of trading and clearing of perpetual derivatives contracts in CFTC-regulated markets (Perpetuals RFC).[17]  That comment period recently closed and CFTC staff are currently evaluating the many helpful responses.
    Comments in response to the Perpetuals RFC included a variety of viewpoints, reflecting the complexity of introducing a very different product type into markets that remain conceptually organized around intermediated, margined trading in physical delivery commodities. Nonetheless, the comments received reflect several themes that may be helpful in organizing market and regulatory perspectives going forward.
    A number of commenters were supportive of perpetual derivatives in the context of crypto asset markets.  They noted that perpetuals provide a continuous, lower cost spot-like exposure that does not need to roll out of an expiring futures contract to retain a position.  Commenters also noted potential advantages to bringing crypto asset perpetual derivatives to the U.S. market and under the U.S. regulatory umbrella.
    At the same time, several commenters raised concerns around the suitability of perpetual derivatives involving traditional physical commodities.  They expressed concern about a potential lack of convergence with the physical market given the absence of expiration, potentially making perpetuals ineffective for hedging longer term price risk.  Some thus see perpetuals as inconsistent with the risk management and price discovery function of futures markets.  Some commenters also argue that perpetual derivatives may present increased risk relative to traditional futures, including increased volatility, funding rates, leverage risk, and heightened potential for manipulation.
    Basis risk
    As a spot-market substitute, there is the usual risk management question around basis risk:  perpetual prices vs. spot prices, perpetual prices vs. futures prices. Many major market events in the last few decades involved mismanagement of basis risk, often due to liquidity differences leading to divergence.  Basis risk can rapidly increase when liquidity providers are different across two similar products or when the balance of buyers and sellers are significantly different across two similar products.  Accordingly, CFTC staff are interested in how the participant mix for perpetuals will be similar or different from that for related spot or traditional futures, especially if one market is dominated by institutional investors and the other dominated by retail.  Will we see a “tail wagging the dog” phenomenon, with retail investors driving the price movements of institutional positions?
    What the CFTC usually sees in traditional futures markets is that there is balance between institutional hedgers and institutional speculators in a primary market, with related retail markets (i.e., mini and micro futures) much smaller than the institutional market.  What happens in a case where the retail contract (perpetuals) becomes much larger than the related institutional product (traditional futures)?  Should there be concern that this may harm traditional roles of risk transfer and price discovery?
    Direct Access and Non-Intermediated Clearing
    Many of these same issues may also apply to non-intermediation in derivatives markets—providing direct access to market participants (particularly to retail traders) and clearing by CCPs of such direct access customers’ positions in individual accounts.
    In intermediated markets, FCMs clear customer positions as DCO clearing members and guarantee their customers’ positions to the DCO.  Those DCOs build trust in their clearing members by setting and monitoring membership requirements, including capital requirements that match capital to risk, and requiring the review of their members’ risk management procedures.  This trust is enhanced because clearing members protect not only their own and their customers’ positions but also, through mutualization, provide a backstop for the positions of all other clearing members—a defense-in-depth approach that has served the U.S. derivatives markets almost flawlessly for decades.
    FCMs clearing for their customers provide a check on the appropriate setting of margin by CCPs through their own risk management processes.  FCMs know their customers, their businesses, and their resources, and will often call for additional margin from specific customers based on their independent credit risk assessments.
    In a case where a CCP has thousands of direct participants, many of them retail, this detailed knowledge and associated trust is much more challenging.  As a result, all presently operating direct clearing retail DCOs are clearing only fully collateralized contracts where there is no need to accept credit exposure (or to call for additional collateral).
    Auto-liquidation and tear-ups
    CFTC staff are now being asked to consider whether this low trust/no trust model can be extended to a leveraged world where risk management will need to look very different.  In a world like this, the “heartbeat” of CCP risk management will likely need to match that same cadence in trading, at least implying the need for real-time posting of collateral—a “pay in cash, not in credit” model.  When the cash is insufficient—for example, when a customer’s margin has eroded below maintenance margin level as the market moves against them—the account will need to be closed, leading at first to a rules-based liquidation process.
    Unfortunately, this process to protect the CCP from individual participants may, in certain severe circumstances, harm the system as a whole.  Some commenters pointed out the possibility that auto-liquidations in volatile or illiquid weekend markets could be procyclical, leading to additional liquidations, and broader market instability.  These feedback effects may be especially pronounced during times of extraordinary stress, when liquidation is paired with unusually low available liquidity.
    A number of questions are yet to be answered for risk management in a leveraged, direct model:  What should the default waterfall look like in a direct access world? Should the risk of one retail trader be mutualized by other retail traders?  If not, are there other resources that can play the role of the traditional mutualized resource tranche?  What is the equivalent of the key “Cover 2” requirement in a world of direct access retail trading, where a CCP’s clearing members number in the thousands rather than the dozens?  How does one define “extreme but plausible” in such a world?  Many fundamental principles need to be re-analyzed where the credit risk and capital structure of clearing members is much different than today’s intermediated model.
    If traditional protections like prefunded mutualization are not feasible, or feasible only to a reduced extent, then it appears CCPs may need to shift more quickly to other default solutions like “variation margin gains haircutting” (VMGH) and tear-ups.  This might leave markets to grapple with a situation where solvent market participants may not get money they are expecting or find that they don’t hold the positions that are expecting.
    While these tools are already baked into the rules of most existing CCPs, they’ve not been used during this century.  If they are invoked at one direct-access CCP, what would that do to market confidence at other CCPs?  All of which leads to the most important question—can these markets still reliably play a role for hedgers who need position continuity? Will the value of futures markets be fundamentally changed, and not for the better?
    Technology innovation
    Given the pace of innovation, it’s clear that direct clearing models will also be impacted by impending changes, like 24/7 trading and clearing.  CFTC staff are now contemplating whether 24/7 trading and a direct clearing model where collateral needs to be exchanged in real time is even possible without the creation and adoption of new forms of collateral, like tokenization, which are not limited by banking hours.
    Here, CFTC staff think operational resiliency will be essential because market downtime will result in the loss of the needed real-time exchange of collateral.  There will also need to be an extensive customer engagement and education process to deal with large numbers of relatively small traders, paired with robust surveillance and operational and volatility controls to handle potentially highly disruptive activities like gamification, meme-ification, and other digital engagement practices likely to follow on to thousands of retail participants in these markets.
    Customer protection
    On the regulatory side, CFTC staff are tasked with determining where, in non-intermediated markets, the crucial obligations traditionally handled by intermediaries will be fulfilled.  I proposed last year that a captive FCM model would achieve the direct clearing market structure for DCMs/DCOs while preserving the important regulatory obligations that intermediaries perform, such as the laborious task of creating and disseminating risk disclosures, trade confirmations, and monthly account statements, complying with AML/KYC obligations, and of course, the bedrock of customer protections: segregation of customer funds, limited investments, acknowledgements from depositories, and daily seg reporting.[18]  Because a CCP is already an SRO, it does not make sense for it to be a member of an SRO such as NFA, FINRA, or similar organization, which are designed to be member organizations for intermediaries such as FCMs or broker-dealers and their personnel.
    Partnership and Trust
    I would like to share a message from CFTC staff to those seeking to innovate or significantly improve the traditional way of operating a market or CCP: 
    We are open to ideas, open to changes that will help the processes of price discovery and risk management.  But, please, engage the CFTC early in the development of novel and innovative products and market operations.  Too often, the CFTC is brought into the conversation long after crucial decisions have been made and resources expended, only to face regulatory obstacles that could have been avoided.  Self-certification should be the end of a dialogue with the CFTC, not the beginning.  Come talk to us.  Get a preliminary view before you commit to a particular course of action.  We are here not as an opponent or enemy, but as a sounding-board, someone who can help identify how innovations can be made consistent with our regulations or point to open questions that need to be answered.
    The CFTC staff have the expertise and knowledge to assist in identifying the challenges of innovations like the ones I have discussed. CFTC staff can help, often even at early stages, noting requirements that need to be accounted for in product and operational designs.
    Most importantly: Help us, help you.  CFTC staff are happy to discuss and provide preliminary views.  But this is often most helpful when innovators come to these discussions prepared, having reviewed CFTC regulatory requirements with knowledgeable professionals and thus ready to offer helpful solutions or alternatives.  Have answers to the questions you know we’ll ask. Consider and develop your trading, clearing, product, staffing, system, and operational plans early in the process. Engage with all relevant CFTC offices and divisions.  Don’t surprise us—don’t wait until the last minute to approach us before submitting an application, product, or rule filing.
    Conclusion
    Let me conclude by saying that the innovation and market structure that I have discussed appears to be just the beginning.  The pace is likely to increase in the coming years. We can only imagine the future of the derivatives markets and the business processes used in today’s trading and clearing systems.  That’s why it is critical that the CFTC must engage in smart regulation that is balanced with input from all stakeholders.  I believe that we can work cooperatively with both new entrants and traditional markets to incorporate innovation while maintaining market integrity.
    Markets operated smoothly throughout the recent volatility and all-time high volumes, and that’s a testament to the strength of U.S. capital markets and our regulatory framework that has been in place for almost a hundred years.  Since the 1930s, both derivatives and securities markets have gone through many transformative changes, from open outcry trading in the pits, to all-electronic trading on screens in fractions of a second.  Each transformation has resulted in the continuing dominance of U.S. capital markets and American innovation.  I look forward to seeing what’s next as we transform our markets again to create greater efficiencies and drive prosperity for American businesses and the American people.

    [1] I would like to thank Frank Fisanich, Richard Haynes, Sebastian Pujol Scott, Tom Smith, Rahul Varna, and Bob Wasserman for their contributions and assistance.

    [3] Section 3(a) of the Commodity Exchange Act (CEA), 7 U.S.C. § 5(a).

    [5] 17 C.F.R. § 40.2.

    [6] CEA section 5e, 7 U.S.C. § 7b.

    [7] This does not refer to situations involving litigation where Commission actions have been contested.

    MIL OSI USA News

  • MIL-OSI USA: AG Labrador Announces Arrest of Custer County Man for Alleged Sexual Exploitation of a Child

    Source: US State of Idaho

    Home Newsroom AG Labrador Announces Arrest of Custer County Man for Alleged Sexual Exploitation of a Child

    BOISE — Attorney General Raúl Labrador has announced investigators within his Idaho Internet Crimes Against Children (ICAC) Task Force assisted the Idaho State Police in arresting seventy-four-year-old William Lindburg on Thursday, May 29, 2025 , for 10 counts of possession of child exploitation material.
    “The arrest in this case underscores the critical role our Internet Crimes Against Children Task Force plays in investigating serious allegations of child exploitation,” said Attorney General Labrador. “Our team will continue working with our law enforcement partners to protect children and pursue justice wherever the evidence leads.”
    The Idaho ICAC Task Force, Idaho Falls Police Department, Pocatello Police Department, and Custer County Sheriff’s Office assisted the Idaho State Police with the arrest.
    Anyone with information regarding the exploitation of children is encouraged to contact local police, the Attorney General’s ICAC Unit at 208-947-8700, or the National Center for Missing and Exploited Children at 1-800-843-5678.
    The Attorney General’s ICAC Unit works with the Idaho ICAC Task Force, a coalition of federal, state, and local law enforcement agencies, to investigate and prosecute individuals who use the internet to criminally exploit children.
    Parents, educators, and law enforcement officials can find more information and helpful resources at the ICAC website, ICACIdaho.org.
    The charges listed above are merely accusations and the defendants are presumed innocent until and unless proven guilty.

    MIL OSI USA News

  • MIL-OSI: XAI Madison Equity Premium Income Fund Will Host its Q1 2025 Quarterly Webinar on June 11, 2025

    Source: GlobeNewswire (MIL-OSI)

    CHICAGO, June 06, 2025 (GLOBE NEWSWIRE) — XAI Madison Equity Premium Income Fund (NYSE: MCN) (the “Fund”) today announced that it plans to host the Fund’s Quarterly Webinar on June 11, 2025 at 11:00 am (Eastern Time). Jared Hagen, Vice President at XA Investments (“XAI”), will moderate the Q&A style webinar with Kimberly Flynn, President at XAI, and Ray Di Bernardo, Portfolio Manager at Madison Investments.

    TO JOIN VIA WEB: Please go to the Knowledge Bank section of xainvestments.com or click here to find the online registration link.

    TO USE YOUR TELEPHONE: After joining via web, if you prefer to use your phone for audio, you must select that option and call in using a number below, based on your current location.

    Dial: (312)-626-6799 or (646)-558-8656 or (267)-831-0333 or (720)-928-9299 or
    (213)-338-8477
    Webinar ID: 854 3642 0691

    REPLAY: A replay of the webinar will be available in the Knowledge Bank section of xainvestments.com.

    The Fund’s primary investment objective is to provide a high level of current income and gains, with a secondary objective of capital appreciation. The Fund pursues its investment objectives by investing in a portfolio consisting primarily of high quality, large and mid-capitalization stocks that are, in the view of the Fund’s Investment sub-adviser, selling at a reasonable price in relation to their long-term earnings growth rates. The Fund will, on an ongoing and consistent basis, sell covered call options on its portfolio stocks to seek to generate current earnings from option premiums. There can be no assurance that the Fund will achieve its investment objectives. The Fund’s common shares are traded on the New York Stock Exchange under the symbol MCN.

    About XA Investments
    XA Investments LLC (“XAI”) serves as the Trust’s investment adviser. XAI is a Chicago-based firm founded by XMS Capital Partners in April 2016. In addition to investment advisory services, the firm also provides investment fund structuring and consulting services focused on registered closed-end funds to meet institutional client needs. XAI offers custom product build and consulting services, including development and market research, sales, marketing, fund management and administration. XAI believes that the investing public can benefit from new vehicles to access a broad range of alternative investment strategies and managers. XAI provides individual investors with access to institutional-caliber alternative managers. For more information, please visit www.xainvestments.com.

    About XMS Capital Partners

    XMS Capital Partners, LLC, established in 2006, is a global, independent, financial services firm providing M&A, corporate advisory and asset management services to clients. It has offices in Chicago, Boston and London. For more information, please visit www.xmscapital.com.

    About Madison Investments
    Madison Investments (Madison) is an independent investment management firm based in Madison, Wisconsin. The firm was founded in 1974, has approximately $28 billion in assets under management as of March 31, 2025, and is recognized as one of the nation’s top investment firms. The firm has managed covered call strategies for over 20 years through various market cycles. Madison offers domestic fixed income, U.S. and international equity, covered call, multi-asset, insurance, and credit union investment management strategies. For more information, please visit www.madisonfunds.com.

    XAI does not provide tax advice; please consult a professional tax advisor regarding your specific tax situation. Income may be subject to state and local taxes, as well as the federal alternative minimum tax.

    Investors should consider the investment objectives and policies, risk considerations, charges and expenses of the Trust carefully before investing. For more information on the Trust, please visit the Trust’s webpage at www.xainvestments.com.

    This press release shall not constitute an offer to sell or a solicitation to buy, nor shall there be any sale of these securities in any state or jurisdiction in which such offer or solicitation or sale would be unlawful prior to registration or qualification under the laws of such state or jurisdiction.

             
    NOT FDIC INSURED        NO BANK GUARANTEE    MAY LOSE VALUE
             

    Paralel Distributors, LLC – Distributor

    Media Contact:

    Kimberly Flynn, President
    XA Investments LLC
    Phone: 312-374-6931
    Email: kflynn@xainvestments.com
    www.xainvestments.com

    The MIL Network

  • MIL-OSI Economics: PureTech’s LYT-100 holds potential to expand treatment options for idiopathic pulmonary fibrosis, says GlobalData

    Source: GlobalData

    PureTech’s LYT-100 holds potential to expand treatment options for idiopathic pulmonary fibrosis, says GlobalData

    Posted in Pharma

    Idiopathic pulmonary fibrosis (IPF) is a chronic, progressive lung disease characterized by scarring of lung tissue, leading to impaired lung function and respiratory symptoms. The emerging therapies aim to address unmet needs in IPF management by targeting specific fibrotic pathways. Therapies such as LYT-100 by PureTech, currently in Phase IIb clinical trials, show promise in potentially offering improved efficacy and safety profiles, as it is a deuterated form of pirfenidone, which allows it to break down slower than pirfenidone, says GlobalData, a leading data and analytics company.

    One of the primary challenges in managing IPF is the difficulty in achieving an early diagnosis. The nonspecific nature of IPF symptoms often leads to misdiagnosis or late-stage identification, delaying the initiation of treatment. The current treatment landscape is limited; therapies such as Boehringer Ingelheim’s Ofev (nintedanib) and Roche’s Esbriet (pirfenidone) can only slow disease progression and are associated with side effects that may impact the patient’s quality of life.

    Filippos Maniatis, Healthcare Analyst at GlobalData, comments: “The standard of care for IPF currently includes Ofev and Esbriet. These drugs have been approved based on their efficacy in slowing disease progression, but many studies have previously demonstrated the low adoption of both marketed therapies due to high costs, further highlighting the need for alternative therapies.”

    The clinical development pipeline for IPF includes various agents that offer potential new treatment options for patients. The entry of new agents, as well as generics, could disrupt the market currently dominated by Ofev and Esbriet, leading to significant shifts in treatment paradigms.

    Maniatis concludes: “LYT-100 offers a new approach to targeting fibrosis in IPF, which could significantly benefit patients. PureTech presented promising Phase IIb data from its ELEVATE study at the American Thoracic Society 2025 conference, demonstrating the potential to stabilize lung function decline at 26 weeks while maintaining safety and tolerability. Therefore, LYT-100 may be able to demonstrate superior outcomes compared to existing therapies, positioning LYT-100 as a potential game-changer in the IPF treatment landscape.”

    MIL OSI Economics

  • MIL-OSI Economics: Global digital twins market will be worth $154 billion in 2030, forecasts GlobalData

    Source: GlobalData

    Global digital twins market will be worth $154 billion in 2030, forecasts GlobalData

    Posted in Strategic Intelligence

    Digital twins are increasingly transforming industries such as manufacturing, healthcare, and aerospace, offering solutions to optimize operations, improve efficiency, and enable predictive capabilities across various sectors. Against this backdrop, the global digital twins market is expected to grow at a compound annual growth rate (CAGR) of 35.6% from $5 billion in 2019 to $154 billion by 2030, forecasts GlobalData, a leading data and analytics company.

    GlobalData’s latest Strategic Intelligence report, “Digital Twins,” reveals that the growth of the global digital twins market will be driven by low-cost sensors used in Internet of Things (IoT) devices, a decline in the cost of high-performance computing (HPC), and cloud accessibility. Advances in data analytics and artificial intelligence (AI) will also drive the growth.

    Aisha U-K Umaru, Strategic Intelligence Analyst at GlobalData, comments: “Large companies such as Amazon have tapped into their reach and reputation to partner with firms such as Matterport and Anthropic to enhance their digital twin offerings, and smaller companies such as Aerogility are providing services to specific industries such as aerospace and defense.”

    Digital twins: Diverse use cases

    Conceptually, digital twins have been around for decades; a forerunner was used in NASA’s Apollo 13 mission to the moon in 1970. While far from ubiquitous today, adoption is increasing across industries.

    Umaru continues: “Digital twins are employed in various industries, including oil and gas, power, sport, and government. They serve a wide range of purposes within these fields, from enhancing the efficiency of a factory to providing an enriched viewing experience for sports fans.”

    AI’s impact on digital twin industry

    Digital twins are increasingly harnessing AI to provide more context to the users. This approach has created a hybrid technology called semantic twins, which can provide a deeper level of understanding by letting users ask large language models (LLMs) questions about a twin and its components. In response to these questions, the LLM can draw from its knowledge of the twin, the twin’s aims and objectives, and its broader understanding of systems and the world. For example, a semantic twin of a city may be asked, “How can I update this twin to be in line with other cities with similar population and transport systems that are managing traffic congestion more effectively?”. Semantic twins also benefit from other features of generative AI, including advanced predictive analytics and information retention.

    Umaru concludes: “AI is pervading almost every industry, and it can offer more depth to digital twins. Semantic twins can allow users to draw deeper meaning from their digital twins, using LLMs for support.”

    MIL OSI Economics

  • MIL-OSI Global: It’s time to stop debating whether AI is genuinely intelligent and focus on making it work for society

    Source: The Conversation – UK – By Andrew Rogoyski, Innovation Director, Surrey Institute of People-Centred AI, University of Surrey

    ‘Pleased to beat you.’ Aileenchik

    Half of entry-level white collar jobs might cease to exist in the near future, according to Dario Amodei, the CEO of leading AI company Anthropic. Amodei, whose company is behind the Claude platform, has since called for transparency standards requiring companies making AI models to demonstrate how they are handling risks such as the AI enabling cyberattacks or helping to make bioweapons.

    Time and again, such claims suggest the pace of development in artificial intelligence is vastly outstripping our ability to adapt and adopt, creating a series of short-term crises.

    Yet the debate between AI doomers, accelerationists, utopians and other factions is largely trapped in arguments about whether current AIs are truly demonstrating creativity, problem solving, planning and other intelligent characteristics. It’s as if we’re collectively in denial.

    AI is arguably the most important technology humankind will ever invent. We owe it to ourselves, and future generations, to make conscious decisions about introducing AI into everything we do, ensuring that humanity benefits.


    Get your news from actual experts, straight to your inbox. Sign up to our daily newsletter to receive all The Conversation UK’s latest coverage of news and research, from politics and business to the arts and sciences.


    We know that AI is threatening the creative industries, for example. We can argue about whether AI is truly creative or we can set about preserving human creativity, originality and income security.

    For instance, the new CREAATIF report from Queen Mary University of London lays out a series of recommendations, such as treating creatives as co-designers along with AIs, not victims. It calls for clear disclosures about AI-generated creative works, and ensuring creatives can opt out of having their work in AI training datasets.

    We know that AI is being used in warfare. We can argue about what it means for a human to still take crucial battlefield decisions – the idea of “human in the loop”. Or we can set down explicit rules of war, as hinted at by the UN meeting in May on possible restrictions in the use of lethal autonomous systems.

    We know that AI is being used in medicine, from screening blood tests to virtual hospitals – as created by Tsinghua University in China. We can argue about whether AI can ever replace doctors, or we can actively explore where it is most appropriate and desirable to supplement human healthcare expertise with AI.

    Jobs and knowledge

    We also strongly suspect that AI will displace human jobs more broadly. Besides Amodei’s warnings, certain companies are already adopting “AI first” strategies. These treat AIs as the core driver of company operations, not just support tools.

    The canary in the coalmine may be graduate jobs, since companies will likely initially use AI for jobs requiring the least experience. Graduate hiring in the UK is falling. We can argue about whether there is a link with AI, or we can start putting serious thought into the future of education, skills and the meaning of a career in the 21st century.

    Finally, we know that AI is being used to mediate human access to knowledge, whether it’s the recommendation engines in platforms like TikTok and X, or search engines like Google and Bing providing AI summaries in preference to linked websites.

    Misinformation, disinformation and fakery is rife, often enabled by AI tools. And a more insidious side-effect of AI-mediated access to knowledge is the potential decline in how we know what’s true or reliable.

    We can argue about whether this is happening or we can focus on protecting reliable sources of information, and making sure everyone can access them. For example, the US-based Coalition for Content Provenance and Authenticity (C2PA) develops standards to verify where digital media comes from and whether it has been tampered with.

    What you can do

    AI is not going away, and there will be positives as well as negatives. For instance, AI will undoubtedly help to solve the hard problems of global health, energy generation and climate change.

    We need to recognise the power of existing AI technologies, and acknowledge that AI is likely to get even more advanced very quickly and that we need to act personally and collectively. And there are several things we can do now.

    First, take a personal interest. AI literacy is fast becoming a life skill. Leading AI platforms like ChatGPT, Claude and Gemini can create, summarise or rewrite text for you, compile research reports, jazz up presentations, create music, do data analysis, come up with new cooking recipes – the options are endless.

    The future is here.
    Aileenchik

    I’ve seen schoolteachers create AI mentors for students, pensioners create songs and presentations, children transform their artwork into historical contexts, all with no technical skills. Similarly, anyone can now use AI to code. So-called “vibe-coding” allows anyone to describe, in words, what they want a piece of software to do, and the AI will create a version of it – to an increasingly good level of completeness.

    The ability to adapt and adopt is key. Knowing and practising how to use AI will not only position you for future opportunities and changes, but may allow you to steer your workplace to a better outcome too.

    Second, become an advocate for how AI should be used. AI developments in the US and China will continue to drive AI innovation, but we have some choices when it comes to adoption and use.

    So become an “informed buyer”, actively selecting AI technology from companies which have strong ethical, security and privacy standpoints. For instance, I prefer Anthropic’s Claude to OpenAI’s ChatGPT, largely because of the former’s constitutional approach, which means its AIs are trained on a set of principles rather than on what it thinks the user will prefer.

    I like Meta’s track record on publishing detailed papers of how it trained and tested its LLMs (a type of AI model), and the fact that it open-sources them. This makes the best models available to a wider and more diverse range of people or organisations, not just to the wealthiest companies. I’m uncomfortable with the way that OpenAI sought to change its non-profit status recently. These are personal opinions and we should each form our own views.

    Third, voice your advocacy, to your boss, your local MP, and other decision makers you may come across. It’s only by making AI an everyday topic that we can influence the world we live in. As Tim Cook, CEO of Apple once said, “Artificial intelligence is the future, but we must ensure it is a future that we want.”

    Andrew Rogoyski’s department receives research funding from UKRI. He acts as an advisor to TechUK, one of the UK’s leading tech industry trade associations, as is a member of the NatWest Technology Advisory Board.

    ref. It’s time to stop debating whether AI is genuinely intelligent and focus on making it work for society – https://theconversation.com/its-time-to-stop-debating-whether-ai-is-genuinely-intelligent-and-focus-on-making-it-work-for-society-258430

    MIL OSI – Global Reports

  • MIL-OSI Economics: New features in Microsoft Store on Windows focus on personalization, faster search

    Source: Microsoft

    Headline: New features in Microsoft Store on Windows focus on personalization, faster search

    The Microsoft Store on Windows is used by over 250 million users each month – and we take the responsibility we have to you, our customers, seriously. We use the feedback you send to ensure we’re focusing on the most important things our customers care about. Last December, we announced a variety of product quality improvements, and in February, we shared how we’re evolving our Store into an AI marketplace. And we’re excited to keep the momentum going, with many more updates planned for this year.

    Today, we’re excited to announce a variety of newly available features that we believe will level up your Store experience.

    Let’s jump in!

    Home page, curated for you

    The Microsoft Store homepage will now be personalized for you. Whether you’re a gamer chasing the next big hit, a productivity enthusiast looking for time-hacks or a developer in search of tools, the newly redesigned homepage will elevate the content most meaningful to you. In the coming weeks, you’ll see fresh recommendations based on recent activities, what’s trending in your region and the most recent deals. Personalized recommendations are controlled by your Store settings.

    Find what you’re looking for, faster

    We are making four big improvements to help you to search for and discover new content faster. First, search in Store just got a whole lot smarter. We have rearchitected how search works – it is now more intent-aware, leverages signals like app updates and ratings more diligently for ranking and addresses language-specific nuances. This translates to results that are more relevant to what you are looking for – try it out today!

    Second, for users in the United States, Copilot is now available in the bottom right corner to answer questions while you’re browsing product pages. You can open it up to ask questions about the page you’re viewing or select two products for comparisons.

    Third, when you’re browsing product pages, you’ll now see a new “Discover More” section that includes related content that you may be interested in. And fourth, we have added product page badges to help you easily tell which apps have AI features, and which apps are great for Copilot+ PCs.

    Deeper Windows integration

    One of the superpowers of Store apps is their ability to integrate into the rest of Windows – so here are two new ways we’re trying to meet you where you are. First, if you’re like us and use Windows search to look for most things on your PC, we have exciting news! You’ll now be able to launch Windows search, search for an app or game from the Store and install it quickly1.

    Second, we’re experimenting with offering app suggestions to open select file extensions, which is particularly helpful if you don’t have an app for that extension, or haven’t selected a default app. If you’re a Windows Insider in the U.S. or China regions, you’ll soon be able to try this out by using the context menu to select an app to “Open With” and browsing our recommendations. If you’ve already selected a default app, that will show up first.

    More fixes under the hood

    The Store is getting faster. After rigorous performance investments, the Store launches two times faster than it did six months ago2. We have also significantly improved installation reliability and speed over the last six months. To make sure you see the latest improvements, please ensure you have the latest Windows update.

    Other goodies in Store

    There’s a long list of fit and finish improvements for you to go try, including: a new capability that lets you install individual components for games; faster in-apps rating dialogs for when you want to share your feedback with developers; and a new field on product pages to let you know when an app or game was last updated.

    And we would be remiss if we did not acknowledge the importance of our Store developers. Since last December, we’ve welcomed new partners like Notion, Perplexity, Docker and Day One. And more are on the way – including Manus, an autonomous AI agent (productivity tool) designed to perform and deliver complex tasks for knowledge workers across various domains – so please keep checking for new releases.

    Built with care and tested with precision, the Microsoft Store on Windows is here to help you find what you’re looking for. As always, we are listening to your feedback, so please submit via Feedback Hub (WIN + F) under Microsoft Store. We still have a lot more in the pipeline, so visit the “What’s New” section in the Store to stay connected on new releases.

    1Feature availability varies by market.

    2 Data based on internal testing and subject to factors such as device, location, Windows and Store app versions.

    MIL OSI Economics

  • MIL-OSI Economics: Connect with Microsoft at Gartner Security & Risk Management Summit June 9-11

    Source: Microsoft

    Headline: Connect with Microsoft at Gartner Security & Risk Management Summit June 9-11

    Security professionals visiting booths scattered around a hall, eager for solutions to today’s top cybersecurity challenges to protect their resources and people. The hum of hundreds of conversations. Presenters in packed sessions sharing expertise, trends, and stories to energize attendees. Few occasions are as thrilling as a cybersecurity event, knowing that all around you are people who understand the frustrating challenges and exciting wins of working in cybersecurity. The rise in quantum computing and AI as tools used by adversaries make such events both inspiring and necessary as professionals seek new approaches and ways to manage risk and protect assets.  

    Join Microsoft Security at Gartner Security & Risk Management Summit, where we will showcase end-to-end security innovations and share world-class threat and regulatory intelligence to give you the advantage you need in the era of AI. This is an opportunity to learn how Microsoft’s AI-first end-to-end security platform can help you overcome the top security challenges and manage risk effectively even as high-level threats evolve.  

    The Summit is one of many top cybersecurity events in 2025 where security professionals like you can hear insights from Microsoft Security and interact with your peers. Microsoft Security offers AI-first, end-to-end protection for identities, endpoints, apps, and clouds, providing comprehensive security in the AI era, powered by unmatched threat intelligence. Accelerate your secure adoption of AI with ready-to-go security and governance tools built for generative AI. 

    We’re excited to be returning to the Gartner Security & Risk Management Summit and look forward to giving attendees several ways to connect.  We invite you to come see our innovation and engage with us. Our experts will be giving two sessions, we’ll be offering live demos in our booth (#945), and we’ll be chatting with attendees during one-on-one meetings.  

    We’re excited to meet with conference attendees and encourage you to book a time. During these meetings, we can exchange perspectives on the latest cybersecurity threats, security best practices, and industry trends. It’s also a good time to learn more about specific Microsoft product capabilities and which features can address your organization’s unique challenges. We’re always up for sharing security strategies too. Book a one-on-one meeting with a Microsoft expert 

    When choosing session topics for conferences, we consider several factors. What topics or trends are top of mind in the industry? What is sparking conversation with our clients? Where can we add the most value to help organizations facing modern security challenges? The Gartner Security & Risk Management is no exception and attendees can benefit from attending one – or even better, both of Microsoft’s two sessions at the event If you want to hear insights on AI news and maximize the value of Microsoft products, you won’t want to miss these sessions for insights that can help you better manage your organization’s risk:

    • “Microsoft: Security in the Age of Agentic AI” (11:30 AM-12:00 PM on Tuesday, June 10): Hammad Rajjoub, Director, Security will explore the future of security AI agents and the human-driven way they introduce innovative security principles tailored for AI-driven enterprises. Agentic workflows are set to revolutionize security by enabling complex problem-solving, agent collaboration, and iterative learning. Hammad will also discuss the continued importance of principles like Zero Trust, least privilege, and assume breach, but share why they will be insufficient as AI reshapes enterprises and cybersecurity, requiring new principles.  
    • Trustwave: Unlocking Your Data Fortress: Mastering Microsoft Purview for Proactive Cybersecurity” (2:00–2:45 PM  on Wednesday, June 11): Microsoft Global Partner Solutions Architect David Branscome will share strategies for fortifying your security and maximizing ROI with Microsoft Purview, the integrated data governance and compliance solution transforming security. You’ll learn more about Purview capabilities like data classification, data loss prevention, insider risk management, and eDiscovery and hear from Purview clients on how it enables proactive data protection. Don’t let your data be the next target—empower your defense with Purview.  

    Elevate your defenses, enhance efficiency, and empower your team to focus on the most critical threats with generative AI for cybersecurity. We’d be thrilled to meet one-on-one with you at the Gartner conference. Whether you have questions, want a personalized demo, or want to chat about how AI could impact your security, schedule a time to speak with one of our experts at the event. And stop by Booth #945 for a live demo. In the meantime, explore how AI-powered cybersecurity can transform how you protect your organization   

    Hope to see you at the Gartner event!  

    MIL OSI Economics

  • MIL-OSI Canada: Saskatchewan Agriculture Industry Benefits from Funding for Research Demonstration Projects

    Source: Government of Canada regional news

    Released on June 6, 2025

    The Governments of Canada and Saskatchewan announced that 32 Agriculture Demonstration of Practices and Technologies (ADOPT) projects and six Strategic Field Program (SFP) projects received more than $1.4 million in funding for fiscal 2024-25 under the Sustainable Canadian Agricultural Partnership (Sustainable CAP).

    “Research is at the root of how we grow the sector and strengthen Canada’s position as a world leader when it comes to agriculture,” Canada’s Minister of Agriculture and Agri-Food Heath MacDonald said. “These projects will help get best practices directly into the hands of farmers and processors in Saskatchewan and keep them on the cutting edge.”

    “Saskatchewan is a global leader in agriculture technology and sustainability practices thanks to initiatives like ADOPT,” Saskatchewan Agriculture Minister Daryl Harrison said. “By investing in demonstration and knowledge transfer projects, we are ensuring the long-term sustainability and competitiveness of Canada’s agricultural sector.” 

    The ADOPT program provides funding to assist producer groups and First Nations communities to evaluate and demonstrate new agricultural practices and technologies at the local level. ADOPT focuses on practical, short-term research projects that can be applied by producers soon after completion.

    The SFP provides funding for relevant and timely field-level studies to support agriculture producers and processors in Saskatchewan and helps to develop new best practices that reinforce Saskatchewan’s global leadership in sustainable agriculture production and expertise. 

    Several projects will be demonstrated at Agriculture-Applied Research Management (Agri-ARM) sites throughout the province this year for producers to take part in learning first-hand about the new technologies and production practices. 

    Sustainable CAP is a  five year, $3.5 billion investment by federal, provincial and territorial governments to strengthen competitiveness, innovation, and resiliency of Canada’s agriculture, agri-food, and agri-based products sector. This includes $1 billion in federal programs and activities and a $2.5 billion commitment that is cost-shared 60 per cent federally and 40 per cent provincially/territorially for programs that are designed and delivered by provinces and territories. 

    Sustainable CAP has committed $10 million over five years to demonstration projects through ADOPT and SFP.

    -30-

    For more information, contact:

    Agriculture
    Regina
    Phone: 306-787-5155
    Email: ag.media@gov.sk.ca

    Agriculture and Agri-Food Canada
    Media Relations
    Ottawa, ON
    Phone: 1-866-345-7972
    Email: aafc.mediarelations-relationsmedias.aac@agr.gc.ca 

    MIL OSI Canada News