- From: Bruce Bailey <Bailey@Access-Board.gov>
- Date: Mon, 22 May 2023 12:48:34 +0000
- To: "Abou-Zahra, Shadi" <sabouzah@amazon.at>
- CC: "public-silver@w3.org" <public-silver@w3.org>
Apologies, regrets for today. I have a (routine, but hard to schedule) doctor's appoint. Following up from my comments last week, one item I am hoping we might get traction on is what we mean by "Policy Makers". The guidance AGWG might wish to give for legislation like U.S. Section 508 and EN 301 549 is probably different than the guidance AGWG might give large companies. But small organizations might also be in position to make accessibility policy for themselves, and if so, does the subgroup think that guidance differs from the others? Thank you, -- Bruce Bailey (he/him) Accessibility IT Specialist U.S. Access Board 1331 F Street NW, Suite 1000 Washington, DC 20004-1111 202-272-0024 (work) bailey@access-board.gov Thank you for your questions concerning section 508 of the Rehabilitation Act Amendments of 1998. Section 508 authorizes the Access Board to provide technical assistance to individuals and Federal departments and agencies concerning the requirements of this section. Technical assistance provided in this email is intended solely as informal guidance; it is neither a determination of your legal rights or responsibilities, nor a statement of the official views of the U.S. Access Board or any other federal agency. Any links to non-federal websites are provided as a courtesy and do not represent an endorsement of the linked information, products, or services.
Received on Monday, 22 May 2023 12:48:44 UTC