Background information on Gaming Labs certification for gaming regulations.
GLI’s business is to test, review and report on gaming devices and systems against the standards established by relevant gaming jurisdictions worldwide. Each jurisdiction has the authority to set their own standards; however, many use our standards as a starting point in developing their regulations.
In other words, GLI has established the base standards for gaming devices and systems around the world. We are the experts in the industry. *Non-English versions of the most current versions of any/all recently-updated standards will be posted to this website as soon as practical.
Gaming Standards Including Kiosks and Betting Kiosks or Wagering Systems
“GLI-20 – Standards for Kiosks” Release for Industry Comment
April 3, 2019 – Gaming Laboratories International, LLC (GLI), is pleased to announce the release of the draft of “GLI-20 v2.0, Standards for Kiosks” for industry-wide comment.
GLI-20 v2.0 reflects a revision to the core kiosk standard to incorporate technical requirements reflective of the latest trends in kiosk technology, to better align with overlapping requirements in the GLI Family of Technical Standards and other industry standards, and to reflect best-in-industry practices. In general, the changes are largely designed to improve the clarity and consistency of requirements.
The draft of GLI-20 v2.0 is being provided to industry stakeholders for review and comment at this time. Stakeholders include wagering, gaming and lottery regulators, suppliers, test laboratories, operators, and industry trade associations. Written comments are encouraged and can be submitted to GLI by using the linked PDF copy of GLI-20 v2.0 provided below.
The formal comment period begins with the issuance of this Advisory and concludes in 3 weeks, on April 26, 2019.
To further facilitate industry review, an Executive Summary of the Changes from the prior GLI-20 v1.5 is linked above for reference. GLI will process the comments received from industry stakeholders and collaborate as-needed to address their interpretation, evaluation, and resolution in the context of the revision to this technical standard.
Each standard in the GLI Standard Series is a culmination of industry best-practices and is continually updated based on industry feedback. The GLI Standards are true “industry standards” in that they are created using a collaborative approach which involves thousands of gaming industry stakeholders.
These standards are intended to assist regulators by creating baseline technical guidelines which they can adopt and/or utilize in the manner they see fit. In addition to assisting regulators, the standards are of tremendous value to suppliers who use the standards as a guide in their design and development process, saving both time and expense. GLI-20 and the rest of the GLI Standards Series are available for free download on the ‘GLI Standards’ tab found at www.gaminglabs.com.
The Use of Voice Recognition and Speech Command Technology as an Assistive Interface for ICT in Public Spaces.
A whitepaper published by Peter W Jarvis (Senior Executive VP, Storm Interface) and Nicky Shaw (Operations Manager North America).
The emergence and increasing use of smart speakers (AI) in the home environment has delivered significant benefits for those with mobility, sensory, cognitive or dexterity impairment. For millions of disabled people voice recognition and speech command technology, allied with audible confirmation and presentation of requested information, permits more informed decision making and personal control of their immediate environment.
This improved access to information and control opens a new world of communication, entertainment, education and opportunity for those who are unable to see, read or interact with content presented on a display screen and for those who lack the mobility or dexterity to manipulate tactile system interface devices (such as keyboards, trackballs or touch screens etc.). Speech Command Technology creates significant new opportunities for independent living.
This improved accessibility also creates unique challenges for system designers, legislating authorities and those concerned about privacy and misuse of personal data. As Voice Recognition and Speech Command technology moves beyond the domestic environment into public spaces and the urban infrastructure we will need new guidelines to increase public awareness and new regulation to protect the general population against the misuse of recorded information.
This whitepaper explores the implementation and integration of Speech Command technology within ICT kiosks and self-service applications. It is intended to provide a framework for a proposed Code-of-Practice. This CoP to be drafted for public consultation and possible adoption by the Kiosk Manufacturer Association (KMA) as an addendum to its Accessibility Guidelines.
To illustrate certain devices or technologies there are some references in this document to products manufactured by Storm Interface. These are intended as exemplars only. Other brands and products are available.
1. Who’s Listening
1.1 When a private citizen purchases a connected smart speaker device for home use, he/she makes an informed decision to install that device into their home environment. Before connecting their new device to the manufacturer’s cloud-based AI applications new customers are required to agree and accept many terms and conditions of service. By doing so they make a decision to accept a listening device into their home; albeit with an option to mute that device or switch it off at any time. The customer knows where the device is located, what its connected status is and how to switch it off.
1.2 However, to overcome the latency (delay) inherent in delivering cloud-based AI services to a device that has just been switched on, these devices (by default) usually remain in a powered and connected configuration. Amazon have referred to this default configuration as “Always on, always ready”. This configuration is sometimes referred to by more cynical commentators as “Always on, always listening”. The device needs to be configured in this way to operate as an effective ‘hands free’ Voice Recognition and Speech Commanded information system.
2. In a Public Environment.
2.1 Speech Command and Voice Recognition technology will provide an effective and valuable improvement in accessibility to public ICT systems. Applications such as public transport ticketing and airline check-in terminals would be typical examples.
2.2 As part of a multi-modal approach to accessibility, Speech Command will provide an additional option for those with disabilities (and those without) to confirm their biometric identity and to interface with the kiosk’s application software. The kiosk user will be able to choose from a combination of tactile, audible or visual interface devices to best meet their specific accessibility needs.
2.3 However, it will be essential that all kiosk users and those members of the public in proximity to the kiosk be made aware that the terminal includes Voice Recognition and/or Speech Command technology and that the Speech Command facility is “on and listening”. This awareness is essential for two reasons:
2.3.1 To inform the kiosk user that Speech Command / Voice Recognition technology is available for their use and convenience.
2.3.2 To warn members of the public (in proximity) that their conversations may/will be picked up by the Speech Command / Voice Recognition facility and may be transmitted to a remote server for analysis, processing and possible retention.
2.4 This awareness must be provided for members of the public who are sighted, partially sighted, non-sighted or hearing impaired.
3. A Universal Symbol
3.1 It is proposed that a universally recognized symbol for Speech Command functionality be adopted by the Kiosk and Self Service industry.
3.2 The symbol’s purpose is to indicate the presence of Voice Recognition or Speech Command technology.
3.3 Storm Interface have designed a high contrast, highly visible and tactilely discernible symbol that can be easily applied to the kiosk. During the development of this logo, Storm Interface worked closely with the UK’s Royal National Institute of Blind People (RNIB). Feedback received from the RNIB has influenced the logo design. This to aid recognition and ease of use, and to ensure that all contours and edges are rounded to make it comfortable to the touch.
3.4 As with any new logo, but in particular tactile logos, people will need to learn its meaning. This highlights the importance of introducing a standard logo which can be used across all kiosks and sectors to ensure that blind people need only learn one symbol.
3.5 When Voice Recognition or Speech Commanded services are activated the symbol will be illuminated with bright white LEDs.
3.6 The applied symbol should be positioned such that it can be easily seen or tactilely located as a user approaches or addresses the kiosk.
3.7 When the kiosk is in home screen or screen saver mode, with no detected user activity, an audible signal or statement to indicate the presence of an activated Voice Recognition or Speech Command facility should be played periodically. Alternatively, a proximity sensing device could be used to un-mute a VR or SC device only when a kiosk user approaches the kiosk interface zone.
3.7.1 Similar audible indicators of a functioning Voice Recognition or Speech Command technology should also be given when such a facility is activated (switched on or un-muted) after a period of non-functionality.
3.8 A proposed specification for the symbol is reproduced below. Storm Interface and the RNIB propose to make this symbol available as a “free-to-use” graphic device. Storm Interface propose to offer a physical, manufactured version of the graphic device, in the form of an illuminated tile, for sale to and use by kiosk manufacturers, specifiers or operators.
Figure 1: Images courtesy of Keymat Technology Ltd. All rights recognized.
4.1.1 Kiosks that offer Speech Command or Voice Recognition technology must support and provide the means for voice input.
4.1.2 This should be by provision of a suitable standard connection point for an audio headset or ear piece (equipped with its own microphone) and by provision of a suitable microphone (or microphone array) permanently installed as a fixture of the kiosk.
4.1.3 In many public kiosk locations or applications it will be necessary to employ advanced noise cancelling and beam focusing technology to enable effective operation of the Speech Command or Voice Recognition technology.
4.1.4 Connection of a headset or assistive hearing device (equipped with its own integrated microphone) should be detected by the host kiosk and the functionality of any permanently installed microphone (or microphone array) should be automatically adjusted to accommodate and allow correct functioning of the headset or hearing aid device
4.1.5 To facilitate reliable and continued functionality, provision and installation of audio device connection points and/or permanently installed microphone devices should accommodate requirements for regular sanitation (wash-down) procedures and should resist the hard use and abuse associated with ICT installations in public spaces. As a minimum requirement, water and dust resistance in accordance with IP54 (or equivalent) should be achieved. A minimum impact resistance of 10J should be achieved.
Figure 2. Beam array microphone for outdoor or unsupervised public environments. Other brands and products are available.
4.2.1 Kiosks that offer Speech Command or Voice Recognition technology must support and provide the means for audible reproduction of sound or speech.
4.2.2 This should be by provision of a suitable connection point for an audio headset or earpiece and by provision of a suitable amplified speaker system permanently installed as a fixture of the kiosk.
4.2.3 In many public kiosk locations or applications it will be necessary to employ sound directing or sound focusing technology to prevent noise pollution or irritation to those in the local vicinity of the kiosk.
4.2.4 Connection of a headset or assistive hearing device (equipped with its own integrated speakers) should be detected by the host kiosk and the functionality of any permanently installed amplified speakers should be automatically adjusted to accommodate and allow correct functioning of the headset or hearing aid device.
4.2.5 Tactile discernable sound volume controls must be easily accessible to those using assistive headsets, earpieces or hearing aid devices. Tactile sound volume controls should be accessible and functioning throughout the kiosk user session. Wherever possible tactile discernible controls should be suitably shaped to enable function with headsticks or assistive easy grip styli.
Figure 3. Tactile discernable sound volume controls must be easily accessible to those using assistive headsets, earpieces or hearing aid devices and those using headsticks or easy-grip styli.
4.2.6 To facilitate reliable and continued functionality, provision and installation of audio device connection points and/or permanently installed amplified speakers should accommodate requirements for regular sanitation (wash-down) procedures and should resist the hard use and abuse associated with ICT installations in public spaces. A minimum requirement for water and dust resistance in accordance with IP54 (or equivalent) should be achieved. A minimum impact resistance of 10J should be achieved.
4.3 Wireless Devices
4.3.1 For those kiosk users who prefer to use wireless headsets, earbuds or implants in preference to wired devices with a cable and jack-plug connector, it should be possible to connect a personal wireless transponder (powered by a button cell battery) into the jack-plug socket. These personal devices provide encrypted communication between the transponder and a paired personal headset. The transponder would be removed and retained by the kiosk user when the kiosk session is completed.
Figure 4: Compact wireless transponder. These devices can be paired with a wireless headset or earpiece to provide a private listening capability. The transponder can be plugged directly in to the kiosk’s audio jack socket. Other brands and types of transponder are available.
The emergence of Voice Recognition as a means of biometric confirmation of identity, coinciding with the profound impact of AI on speech commanded ICT, will drive adoption of speech command technology in public spaces and applications. Whereas this presents many challenges and risks to privacy and protection of personal data, it will lead to a new era of equality in access to information, freedom and independence for those with disabilities. It will be necessary for accessibility mandates, regulation and standards to be adapted in support of this revolutionary change in the way humans interface with the digital world. Speech Command Technology creates significant new opportunities for independent living.
Copyright Peter W Jarvis 2018. All rights retained. Contact: Peter Jarvis: peterJ@storm-interface.com Nicky Shaw: email@example.com
Feedback Form for General Public and Working Group
The Kiosk Manufacturer Association (KMA) welcomes comments from any and all regarding this proposed framework.
Whitepaper – Voice Recognition & Speech Command Assistive Interface was last modified: December 16th, 2018 by News Editor
After four years of preparation and debate the GDPR was finally approved by the EU Parliament on 14 April 2016. Enforcement date: 25 May 2018 – at which time those organizations in non-compliance may face heavy fines.
The EU General Data Protection Regulation (GDPR) replaces the Data Protection Directive 95/46/EC and was designed to harmonize data privacy laws across Europe, to protect and empower all EU citizens data privacy and to reshape the way organizations across the region approach data privacy. The key articles of the GDPR, as well as information on its business impact, can be found throughout this site.
Key Changes with the General Data Protection Regulation was last modified: April 5th, 2018 by Kiosk Industry
The next webinar in the Section 508 Best Practices Webinar Series will take place July 25from 1:00 to 2:30 (ET) and review requirements for hardware, including mobile devices, in the updated Section 508 Standards that the U.S. Access Board published in January. Presenters will cover requirements for operable parts, technologies with two-way voice communication, devices with display screens, closed caption and audio description processing technologies, closed functionality, and privacy, among others.
The Section 508 Best Practices Webinar Series provides helpful information and best practices for federal agencies in meeting their obligations under Section 508 of the Rehabilitation Act which ensures access to information and communication technology in the federal sector. This webinar series is made available by the Accessibility Community of Practice of the CIO Council in partnership with the Access Board.
Section 508 Best Practices: Revised Section 508 Chapter 4 – Hardware July 25, 2017, 1:00- 2:30 (ET)Add to Calendar Presenters: • Bruce Bailey, IT Specialist, U.S. Access Board • Timothy Creagan, Senior Accessibility Specialist, U.S. Access Board • Deborah Kaplan, Section 508 Policy Lead, Office of the CIO, HHS (moderator) Registration: https://www.accessibilityonline.org/cioc-508/session/?id=110614
ADA Kiosk – Upcoming webinar on hardware Section 508 was last modified: July 6th, 2017 by News Editor
Editor Note:there are many requirements that must be met in order to do business with the government. Most of them apply most of the time. GSA schedule is very important (KioWare for example is on GSA). The Trade Agreements Act is another and notable for the countries NOT on the list (China e.g.). In case the PR by TSItouch is a good opportunity to illustrate TAA.
FOR IMMEDIATE RELEASE
TAA Compliant Touch Screens
Uniontown, PA, September 27, 2016:
TSItouch is now offering touch screen overlay solutions that meet the requirements of the Trade Agreements Act (TAA) and are approved to be acquired by the United States Government for use.
The Trade Agreements Act (19 U.S.C. §§2501-2581) is intended to foster fair and open international trade. It requires that the U.S. Government may acquire only products that are U.S. made or are made in countries that are recognized as supporting fair and open international trade. The TAA requires U.S. Government and affiliated entities with federal contracts to purchase end products made or substantially transformed within the United States or other TAA designated countries.
Not every solution in our product line is TAA compliant, but a listing of every TAA compliant solution we offer is available upon request. For more information on these products, please contact our sales team:
TSItouch is a veteran owned small business located in Uniontown, Pennsylvania.
Established as an independent company in 2011, TSItouch specializes in large format and video wall interactive touch overlays and integrated touch solutions. TSItouch offers hardware to meet the universe of touch screen applications. Considered excellent in customer service, TSItouch is dedicated to providing the best touch solution for every customer’s application. For more information, visit http://tsitouch.com/
Doing business with U.S. Government – TAA GSA was last modified: September 28th, 2016 by News Editor