Supriya Ghosh (Editor)

Broadcast Protection Discussion Group

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The Broadcast Protection Discussion Group (BPDG) is a working group of content providers, television broadcasters, consumer electronics manufacturers, information technology companies, interested individuals and consumer activists. The group was formed specifically for the purpose of evaluating the suitability of the broadcast flag for preventing unauthorized redistribution (including unauthorized redistribution over the Internet of unencrypted digital terrestrial broadcast television (DTV)) and to determine whether there was substantial support for the broadcast flag. The group completed its mission with the release of the BPDG Report.

Contents

The BPDG has reached a consensus on the use of a technical broadcast flag standard for digital broadcast copy protection. The broadcast flag is an electronic marker embedded in over-the-air digital broadcast signals that would block or limit the ability of consumer electronics devices to make copies of the programs. The broadcast flag would also prevent the redistribution of such programs over the Internet. Despite reaching a consensus on this standard, the BPDG did not reach any agreement concerning how to implement the use of the flag or enforce it.

Digital TV programs protection using broadcast flags

The group proposed that digital TV programs be embedded with a "broadcast flag." All digital devices would be required to recognize the flag, which would prevent the protected content from being distributed on the Internet. The report states, "The proposed technical solution does not interfere with the ability of consumers to both make copies of DTV content, and to exchange such content among devices connected within a digital home network."

BPDG publications

After several meetings, the BPDG has published some reports in order to enforce the idea of the broadcast flag. Those publications are:

  • BPDG Final Reportl
  • Summary of EFF Report on BPDG
  • Full EFF Report on BPDG
  • Table A
  • What is EFF?

    The Electronic Frontier Foundation (EFF) is a nonprofit group of passionate people-—lawyers, technologists, volunteers, and visionaries-—working to protect digital rights.

    Blending the expertise of lawyers, policy analysts, activists, and technologists, EFF achieves significant victories on behalf of consumers and the general public. EFF fights for freedom primarily in the courts, bringing and defending lawsuits even when that means taking on the US government or large corporations. By mobilizing more than 50,000 concerned citizens through our Action Center, EFF beats back bad legislation. In addition to advising policymakers, EFF educates the press and public. Sometimes just defending technologies is not enough, so EFF also supports the development of freedom-enhancing inventions.

    Policy group is not a CPTWG sub-group?

    Several CPTWG (Copy Protection Technical Working Group) participants indicated at CPTWG's June 5 meeting that the "parallel group" or "policy group" is "not a sub-group of CPTWG or "not part of CPTWG".

    Broadcast flag is not a watermark

    Some recent press coverage of BPDG refers to the BPDG proposal as recommending a watermark in digital TV broadcasts. This is a misperception of the nature of the broadcast flag. (There is a distinct proposal called the broadcast watermark which was not discussed extensively within BPDG and is not part of the BPDG's published recommendations.)

    A watermark is commingled directly with the signal it marks, and thereby alters the signal (ideally, in an imperceptible way). By contrast, the broadcast flag exists side-by-side with video content it marks.

    Terms to describe the broadcast flag, rather than watermark, might include "bit", "indicator", "flag", "descriptor", "tag", "header field", or "notice". But use of "watermark" is sure to generate confusion, especially because watermark proposals distinct from BPDG do exist. Watermarking is likely to be a big issue soon in a public forum—but not as a part of BPDG's proposal.

    Misconceptions about BPDG

    An article by John Dvorak seems to contain a misconception: that the result of BPDG's work will be the obsolescence of current digital TV receivers. As Dvorak writes:

    "it appears that the new copy-protection schemes being dreamed up by Hollywood will make every single HDTV set sold to date obsolete. And buyers of new sets are not being told about this situation in a dubious attempt to dump very expensive inventory." What happened was that the Hollywood folks, who are just freaked over the possibility that we'll be copying HDTV movies, have promoted copy protection that requires the decode circuit to be built into the display, not into the set-top box. This requires the set-top box to send a signal to a connector that new HDTV sets will have. If you're thinking of buying an HDTV, don't, unless it has this connector and circuit-whenever they are finalized."

    One view is that Dvorak has got the situation backwards. Old equipment will continue to work. This is because BPDG is not planning to encrypt broadcasts at all—merely to cause them to include a "broadcast flag", and to obtain legislation forcing all manufacturers to comply with its rules.

    The result of this would be that old equipment would be better and more useful than new equipment. Not only would it work properly, but it wouldn't have been crippled by having to comply with the Compliance and Robustness Rules. This is to say that old equipment would be more functional, not less functional, than new equipment.

    Alphabet soup

    "BPDG wants the Federal Communications Commission (FCC) to mandate Digital Rights Management (DRM) for ATSC DTB receivers

    In the body of this article, there are expansions for about 80 of the most common acronyms used in discussions about this issue. (The acronyms expanded include every acronym which appears in the BPDG's Draft Compliance and Robustness Rules, among others.)

    Of course, this it not enough to appreciate the context behind these acronyms. For example, knowing that PCMCIA stands for Personal Computer Memory Card International Association gives no clue that the Association in question published a standard for tiny removable cards used in laptops. Hearing that 8VSB means "8-level vestigial side band" explains nothing about 8VSB's role in digital television broadcasting (that is DTB for the initiated).

    The following list contains some of the most important acronyms related to this subject:

    4C
    4 companies
    5C
    5 companies
    8/VSB
    8 level vestigial side band
    AC3
    audio code 3
    ADC
    analog to digital converter, analog to digital conversion
    AGP
    accelerated graphics port
    AHRA
    audio home recording act
    ASIC
    application-specific integrated circuit
    ATSC
    advanced television systems committee
    BF
    broadcast flag
    BPDG
    broadcast protection discussion group
    BW
    broadcast watermark
    CA
    conditional access
    CBDTPA
    consumer broadband and digital television promotion act
    CE
    consumer electronics
    CEA
    consumer electronics association
    CIG
    computer industry group
    CMI
    copyright management information
    CP
    copy protection, content protection
    CPRM
    content protection for recordable media
    CPTWG
    copy protection technical working group
    CRT
    cathode ray tube
    CSS
    content scramble system
    D-VHS
    digital VHS
    DAC
    digital to analog converter, digital to analog conversion
    DMCA
    digital millennium copyright act
    DRM
    digital rights management
    DT
    digital terrestrial
    DTB
    digital terrestrial broadcasting, digital terrestrial broadcast
    DTCP
    digital transmission content protection
    DTLA
    digital transmission licensing administrator
    DTV
    digital television
    DVD
    digital versatile disc
    DVDCCA
    DVD copy control association
    DVI
    digital video interface
    ECM
    entitlement control message
    EEPROM
    electrically erasable programmable read-only memory
    EFF
    electronic frontier foundation
    EIT
    event information table
    EPN
    encryption plus non-assertion
    FCC
    federal communications commission
    FPGA
    field-programmable gate array
    HD
    high definition
    HDCP
    high-bandwidth digital content protection
    HDTV
    high-definition television
    HRRC
    home recording rights coalition
    IEC
    international electrotechnical commission
    IF
    intermediate frequency
    ISO
    International Organization for Standardization
    IP
    intellectual property
    IP
    internet protocol
    IT
    information technology
    LAN
    local-area network
    LMI
    license management incorporated
    MEI
    Matsushita Electrical Industrial Corporation
    MPAA
    motion picture association of America
    MPEG
    motion picture experts group
    NAB
    national association of broadcasters
    NCTA
    national cable and telecommunications association
    NTSC
    national television standards committee
    OOB
    out of band
    OTA
    over the air
    PAL
    phase alternating line
    PC
    personal computer
    PC
    printed circuit
    PCI
    peripheral component interconnect
    PCM
    pulse code modulation
    PCMCIA
    personal computer memory card international association
    PMT
    program map table
    POD
    point of deployment
    PSIP
    program and system information protocol
    PVR
    personal video recorder
    QAM
    quadrature amplitude modulation
    RC
    redistribution control [descriptor]
    RD
    redistribution descriptor
    RF
    radiofrequency
    SCMS
    serial copy management system
    SCR
    software-controlled radio
    SD
    standard definition
    SDR
    software-defined radio
    SI
    system information
    SPDIF
    Sony/philips digital interface
    SSSCA
    security systems standards and certification act
    STB
    set-top box
    TPM
    technological protection measure
    TS
    transport stream
    TSP
    transport stream processor, transport stream processing
    TV
    television
    VCR
    videocassette recorder
    VHDL
    vhsic hardware description language
    VOD
    video on demand

    What is Table A?

    Many of the practical consequences of the BPDG proposal for consumers (and for competition in the marketplace) lie in a yet-to-be-written appendix to the specification. This appendix, called Table A, enumerates the kinds of digital outputs which are allowed on devices which can receive digital television signals.

    The idea is that a device which receives a TV program with the broadcast flag set is not allowed to output the content of that program in digital form, except via a technology specifically mentioned on Table A.

    This raises three questions: first, why should this be so? (What's wrong with letting device manufacturers choose for themselves what kinds of outputs their devices will have? If consumers want a particular kind of output, why shouldn't they have it? Why should legislation determine the capabilities of future digital televisions?) Second, what technologies will be permitted? Third, how is that decision going to be made?

    The first question goes to the heart of the BPDG proposal and is addressed elsewhere (at least, by skeptics of BPDG; there has not been much in the way of a public defense of this mandate, which is being represented as a fait accompli in most circles).

    The second and third questions are empirical matters. An earlier draft of the BPDG Compliance and Robustness Rules divided Table A into Authorized Digital Outputs and Authorized Digital Removable Media Recording Methods. The two Authorized Outputs mentioned were Digital Transmission Content Protection (DTCP) and High-bandwidth Digital Content Protection (HDCP); the two Recording Methods mentioned were Content Protection for Recordable Media (CPRM) and D-VHS.

    DTCP is a copy-control scheme for digital video devised by five companies (called the "5C consortium"). HDCP is a similar copy-control scheme devices by only four companies (the "4C consortium"). Both of these schemes restrict what a consumer can do with digital video; both require a license if a device manufacturer is going to be able to implement them; both constrain the functionality of products in which they are incorporated. Both cost money to implement—the licenses are not free. DTCP encrypts video transmitted over a digital bus called IEEE 1394 (or "FireWire"). HDCP encrypts video transmitted over a different—and video-specific—bus called Digital Visual Interface ("DVI"). The encryption, in both cases, is meant to "protect" the content against the consumer, and to restrict playback of the content to "authorized", licensed devices.

    Content Protection for Recordable Media (CPRM) is an encryption scheme for recordable media which is also meant to prevent media from being played back in devices other than those licensed by the 4C consortium. D-VHS is a new digital videotape spec which—you guessed it—also prevents media from being played back, except in licensed devices.

    So here the suggestion was that four particular copy-control technologies, all closed standards and all of which have "compliance and robustness rules" of their own, were to be permitted as outputs from digital television receivers; all other video standards, and all other recording media, were to be banned by default.

    Since the BPDG was formed by companies from the 5C and 4C consortia, it is difficult to imagine that it would recommend that their technologies not be permitted. Subsequently, the specific technology list was removed from Table A; the current discussion draft from BPDG does not contain any specific technologies at all, though it still bans "unauthorized" technologies by default. But now Table A has been left blank, and a discussion has begun about a proper procedure for choosing technologies to be added. (This shift took place as a result of a discussion at the last BPDG in-person meeting in Los Angeles.)

    Interestingly, all current proposals for filling in Table A seem to involve agreement by some number of major movie studios—that is, members of the Motion Picture Association of America (MPAA) -- and, perhaps, agreement by some number of major electronics companies or other corporations. No agreement has been reached within BPDG, but various "vehicles" or "methods" for approving technologies have been suggested. These typically employ a formula such as "n% of Major Studios and m% of manufacturers". No studio proposal, has yet contemplated the possibility that technologies could be approved without any Hollywood sign-off. Thus, the discussion appears to be centered on choosing values for the percentages to be plugged into these formulas.

    References

    Broadcast Protection Discussion Group Wikipedia