Submissions

British Music Rights response to Treasury Select Committee Inquiry: Impact of China on the World and UK Economy
January 2005

Executive Summary:

Recommendations:

Background to our interests in China

1. The UK music industry contributes £4.6 billion per year to the UK GDP, with exports valued at over £1.3 billion a year (see note 2). Copyright royalties make up the vast proportion of composers' and publishers' income. They receive royalties for the broadcast and performance of their music overseas through the international network of collecting societies or sub-publishing networks. Revenue from international territories directly depends on copyright law in those countries and its enforcement in practice.

2. One of our member organisations, the Performing Right Society (PRS), signed a reciprocal representation contract with the MCSC (Music Copyright Society of China) in 1995, by which PRS represents Chinese repertoire here in the UK and MCSC represents the repertoire of PRS' members in China. This contract is an investment in the long term, which will provide for a flow of income when the market in China develops and when rights become recognised and valued.

3. With its population of more than 1.3 billion, China is a key market for British music when the legal framework allows a valuable market to develop. Adequate and effective protection of intellectual property rights is not only in the interest of international right holders such as the ones represented by British Music Rights; it is also of China's direct interest in its endeavour to attract foreign investment.

4. Our main concerns relate to (i) the continuing high level of piracy; (ii) the limited impact of recent amendments to Chinese copyright law; and (iii) Market access restrictions for foreign companies.

Piracy in China

5. Piracy remains at an unacceptable high level in China - there is a piracy rate for sound recordings of 90% representing a loss to the music industry of US$ 286.0 million in 2003 (see note 3). Inadequate legal protection combined with ineffective tools for enforcement of intellectual property rights were partly addressed during the negotiations for China's entry into the WTO, and it is vital that as a full WTO member, China improves its actual record on law enforcement in order to comply with its obligations under TRIPS. This requires:

6. Although we acknowledge that there have been some efforts to improve the high levels of piracy and counterfeit goods by the Chinese Government following its accession to the WTO, this still falls well short of internationally accepted standards.

Practical impact of amendments to Chinese copyright legislation

7. The Chinese Government adopted amendments to its Copyright Law of 1990 on 27th October 2001 to bring its copyright regime into compliance with the TRIPS Agreement, and we understand it is also considering further amendments to facilitate ratification of the 1996 WIPO "Internet" treaties.

8. There was one change to the law with particular significance to writers and publishers. Broadcasting is huge business in China, with 38 provincial television broadcasters, 752 local stations and more than 2,100 cable operators throughout the country. However, until the amendments in October 2001, a wide exception permitted broadcasters to use musical works without either authorisation or remuneration. The exception also made it impossible for MCSC to collect royalties from bars or restaurants for public reception of broadcasts. We hope that these changes in the law make a real economic difference to copyright owners, though their application in practice must be reviewed on a regular basis.

9. In 2003, PRS received only £8,196 in payments from MCSC. Whilst this is an improvement from literally nothing in previous years, this still falls very short of what should have been paid to UK music creators and publishers.

Market access

10. As regards music publishers, market access restrictions have presented an impediment to receipt of payable income. Typically publishers promote musical works in their catalogues internationally through appointment of sub-publishers or through the establishment of subsidiary companies in different territories. The rules prohibiting foreign company investment in China have inhibited the development of appropriate business networks and consequently reduced the potential for market entry. The UK music industry has been working with officials from UK Trade and Investment and will shortly be announcing details of a new partnership which will greatly support the commercial exploitation of this key strategic market for the future. If the Committee would like further details of this initiative we can provide more information.

Notes

1. Fourteenth Report of Session 2002-03: Trade and Investment Opportunities with China and Taiwan. The Government response was issued on the 16 December 2003.

2. Music Education Council report - Counting the Notes (November 2002)

3. Source: IIPA 2004 Special 301 report (www.iipa.com)