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Geographical Indications (GIs): a tool to promote sustainable development

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Title: Geographical Indications (GIs): a tool to promote sustainable development


1
Geographical Indications (GIs) a tool to
promote sustainable development
  • Massimo Vittori
  • Secretary General,
  • oriGIn

2
Summary
  1. Definition and socio-economic impact of GIs
  2. The protection of GIs at the national level
  3. The international legal framework
  4. The role of oriGIn
  5. Some conclusions

3
Definition
  • Geographical indications are, ..., indications
    which identify a good as originating in the
    territory ..., or a region or locality in that
    territory, where a given quality, reputation or
    other characteristic of the good is essentially
    attributable to its geographical origin. (TRIPS,
    Article 21.1)

4
Economic and social impact of GIs
  • Local development, preservation of traditions and
    job creation
  • Spill over effects (environment, gender, tourism,
    etc.)
  • Marketing through differentiation
  • Globalization has generated a niche of more
    conscious and demanding consumers
  • Reduced transition costs for consumers
  • Trade regulations are shifting towards greater
    traceability requirements

5
Rights conferred to right holders
  • GIs as a peculiar asset of intellectual
    property rights
  • Light monopoly exclusive rights on a name not
    on a product
  • No risks of preventing innovation or slowing-down
    economic development
  • Collective rights GIs are managed by several
    producers (within a given territory/community),
    not to a single economic actor

6
GIs a development friendly tool
  • Collective rights several producers within the
    same geographic area/community have to join
    forces and establish a common platform
  • Collaborative approach throughout the life of a
    GI (economies of scale)
  • GIs are an ideal tool for small producers that,
  • by themselves, would never be able to reach
  • out to markets
  • No delocalisation of production
  • Low/medium level of innovation for GI products
    labour intensive for which developing economies
    hold a competitive advantage
  • GIs vehicle to protect Traditional Knowledge and
    biodiversity

7
GIs as global phenomenon

8
Potential GI products in Sudan
  • Agricultural products
  • - Camel meat
  • - Camel milk
  • Handicrafts
  • - Traditional clothes (Jalabia and Thobe)
  • - Traditional paintings, pottery

9
GI protection at the national level
  • Legal vehicles
  • Sui generis
  • Trademarks and certification marks
  • Unfair competition and consumer protection /
    Passing off

10
1. Sui generis systems
  • Specific system to protect GIs as such through
    registration
  • Strong protection of the geographical name used
    in translation, evocation, etc.
  • Certain level of public involvement in
    enforcement (ex officio) and controls
  • Example EU system (EC Regulation 510/06, EC
    Regulation 479/2008 and EC Regulation 110/2008)

11
The EC Regulation 510/2006 on the protection of
GIs and DOsfor agricultural products and food
staff
  • From the 1992 Regulation to the 2006 Regulation
  • Role of producers associations
  • DO GI (art.2)
  • Rights conferred (art. 13) strong protection
  • Certain level of public involvement in
    enforcement (ex officio) in light of EC
    Regulation 1383/2003 on Customs Controls as well

12
2. Trade marks preliminary considerations
  • Need of distinctive character
  • Cannot be used to register a geographic name,
    except it has acquired a secondary meaning

13
2. Certification Marks (CM)
  • CM indicate that goods or services for which they
    are used have qualities or characteristics that
    are certified by its owner
  • CM are given for compliance with a defined
    standard set by the certifier (can be used to
    certify a specific geographical origin)
  • CM not usable by the owner
  • Example US system (US Lanham Act)

14
CMs v. GIs
CMs MAY certify origin Individual control Can
be produced anywhere Protection must be renewed
periodically High cost of protection /-
1,500 to 2,000 per class and per CM
GIs MUST certify origin Collective
control Production must be rooted in a
region Illumined protection after first
registration Limited registration costs
15
CMs v. GIs
  • GIs
  • Scope of protection
  • Automatic protection for the name used in
    translation, evocation and used with expressions
    like style, type
  • Right on the name even if not used
  • Guarantee against genericity
  • Enforcement
  • Mix of public private (ex officio), reduced
    costs for producers
  • CMs
  • Scope of protection
  • In principle, no protection for the name used in
    translation and used with expressions like
    style, type, etc. or single names
  • Right on the name only if used
  • No guarantee against genericity
  • Enforcement
  • Private (more expensive)

16
The international legal framework
  • The main international treaties dealing with GIs
  • - Lisbon Agreement for the Protection of
    Appellations of Origin and Their International
    Registration
  • - WTO TRIPS Agreement
  • Proliferation of bilateral and regional
    agreements
  • - Need of a minimum level playing field
  • - Problem of transparency for small GI
    producers

17
The Lisbon Agreement
  • Definition of AoO (art. 2)
  • National Protection International Registration
    (WIPO) Protection in contracting parties
    (1-year period for oppositions)
  • Protection against usurpation and imitation, even
    if the true origin of the product is indicated,
    and even in translated form or used accompanied
    by kind, type, imitation, or the like
    (art.3)
  • It prevents the risk for a geographical name to
    become generic, as long as it is protected in
    the country of origin (art. 6)

18
Limits of the Lisbon Agreement
  • Limited numbers of contracting States (26)
  • Restrictive definition of AoO (is reputation a
    constituting element for a product to qualify for
    protection??)

19
TRIPS
  • The two levels of protection for GIs
  • Standard protection of Article 22 for all
    products, protection only if
  • Public is misled by the use of the GI
  • Incorrect use of the GI constitutes an act of
    unfair competition
  • Additional protection of Art. 23 for wines and
    spirits
  • Protection against a simple usurpation of the GI
  • Protection of the GI even if translated
  • Use of delocalizing expressions such as kind,
    type, style, imitation or the like are
    prohibited
  • Mandate for negotiating a multilateral Register

20
Misleading marketing techniques Prosciutto di
Parma ... made in Canada
21
Pruneaux dAgen ... from Canada
22
Basmati Rice ... made in the USA
  • Long Grain American Basmati Rice

23
Turron de Jijona ... from Argentina
24
Parmigiano Reggiano ... from Mexico
25
Current negotiations within the WTOs DDA
  • Extension of art. 23 of TRIPs to all products
  • Art. 22 does not prevent free-riding on the
    reputation and image of well-known GIs
    reputation of traditional products is tarnished
    loss of potential markets 
  • No legal certainty/predictability (national
    jurisdictions might differ on whether the public
    is misled or not)
  • Discrimination (first class / second class
    products) No socio-economic reasons justify such
    discrimination between the majority of GI
    producers and those dealing with wines and
    spirits
  • DDA ....the need for all our people to benefit
    from the increased opportunities and welfare gain
    that the multilateral trading system generates

26
Current negotiations within the WTOs DDA
  • B. Multilateral register
  • Objectives
  • Help producers to protect their GIs worldwide
  • Help judges and administrative authorities when
    taking decisions on GIs/trademarks
    registrations
  • Key questions
  • Scope (products covered) should cover all
    products
  • Participation should be truly multilateral
    (art. 23.4 of TRIPS)
  • Legal effects should not be a mere database

27
Draft modalities on TRIPS, July 2008
  • The extension of art. 23 to all GI (including the
    extension of the Register)
  • A multilateral Register
  • - binding for all WTO members
  • - voluntary notifications of GIs (to be carried
    out by Member States)
  • - No opposition

28
Draft modalities on TRIPS, July 2008
  • Registers legal effect
  • Each WTO Member will have to provide that
    domestic authorities consult the Register and
    take its information into account when making
    decisions regarding registration and protection
    of trademarks and geographical indications in
    accordance with its domestic procedures. In the
    framework of these procedures and in the absence
    of a proof to the contrary, the international
    registration of a GI will be considered as a
    prima facie evidence that, in the Member where
    those procedures are under way, the geographical
    indication at issue meets the definition of
    "geographical indication" laid down in TRIPS
    Article 22.1. Moreover, any assertion on the
    genericness exception laid down in TRIPS Article
    24, will have to be considered by domestic
    authorities only if these are substantiated.

29
The role of
  • OriGIn - Organisation for an International
    Geographical Indications Network
  • When? created in 2003
  • What? first international organisation (NGO) of
    GI producers

30
  • Objectives
  • Producers from all over the world joined forces
  • Advocacy campaigns for an effective international
    legal system for protecting GIs
  • Promotion of GIs as a tool for sustainable
    development
  • Platform for worldwide GI producers and experts
    exchange of best practices dissemination of
    information

31
  • oriGIn today
  • Some 85 organizations of producers
  • Over 35 countries
  • Representing more than 2-million GI producers

32
  • Membership
  • Full Members associations/groups of GI producers
  • Associate members persons/organisations
    interested to promote oriGIns goals

33
Type of products
  • Non-food products
  • Carpets
  • Watches
  • Cigars
  • Artisanal products, etc.
  • Food products
  • Coffee, tea
  • Rice
  • Cheese, butter,
  • Ham, sausage,
  • Fruits, vegetables,
  • Pastry
  • Other
  • Wines
  • Spirits

34
Decentralised structure VPs
President Luis Fernando Samper (Colombia)
North Africa Middle East Z.Charrouf (Morocco) Sub-Saharan Africa Agnes Nyaga (Kenya) Asia Zheng Weihua (China) Brig. Anil Adhlaka (India) North Am. Ramón Glez. Figueroa (Mexico) Central Am. de la Grana (Cuba) South Am. Carlos Mejia (Peru) Eastern Europe Tomislav Galovic (Croatia) Western Europe Stefano Tedeschi (Italy) J. Enrique Garrigos (Spain)
35
in action
  • Partnerships
  • Technical assistance
  • Advocacy campaigns
  • Awareness on GI abuse
  • Updated information for our members
  • Research projects and studies
  • International events

36
Some conclusions
  • Important socio-economic role played by GIs
  • Problems of small producers enforcement of
    rights (costs legal advice)
  • Sui generis systems better guarantee producers
    interests
  • Need to strengthen the multilateral legal
    framework (TRIPS Modalities in the Doha Round
    reform of the Lisbon Agreement)

37
  • Thank you!
  • Massimo Vittori
  • secretariat_at_origin-gi.com
  • www.origin-gi.com
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