Important changes of China software copyright registration may impact every applicants
- ExpertinChina

- Mar 23
- 4 min read
Updated: Mar 25
After March 15, 2026, Important changes of China software copyright registration may impact every applicants. The new application form will be implemented, materials will be reviewed more strictly, and abnormal applications will be targeted, these changes will directly affect the declaration process of every company and developer.
There is no transition period for this new regulation. Starting from 18:00 on March 15, the old application forms will be officially abolished. Submissions using the old forms will be directly rejected. All declarations must use the new forms, and companies need to prepare in advance.
Update 1
The application form has been completely updated
According to the official notice from the China Copyright Protection Center, starting from 18:00 on March 15, the old version of the computer software copyright registration application form will be officially abolished. Regardless of whether the old form was previously filled out or printed, any submissions made after this time will be directly rejected. All applicants must log in to the official website to download and use the newly optimized and updated version of the application form from 18:00 on March 15, 2026.
Update 2
Requirements for writing functional/technical features have been significantly tightened
The writing requirements for this function/technical feature have been significantly increased, adjusted from the original 100-200 words to 500-1300 words.
it is necessary to fully cover the five core modules: software development background (clearly state the purpose of development and the industry pain points it addresses), core architecture (clearly explain the overall architecture design and core technical framework of the software), functional modules (provide a detailed introduction of the specific functions and operation logic of each core feature), technical implementation (briefly explain the application and implementation method of key technologies), and application scenarios (clearly specify the industries, user groups, and practical application value of the software).
Update 3
Responsible person’s real name + handwritten commitment
The handler must be an internal employee of the applicant. It is strictly forbidden for personnel from an agency to serve as the handler. If it is found during verification that the handler is not an internal employee, the application materials will be directly rejected.
In addition, the specified commitment terms must be handwritten with a black gel pen; printing, signing on behalf of someone else, or making alterations is strictly prohibited, and the handwritten content must be completely consistent with the official template.
The core content of the commitment includes: This software is indeed independently developed, no AI was used to write code, prepare documents, or generate any application materials; the functions, technical features, and actual development results of the software are completely consistent, and all application materials are true and valid with no false information; the software contains no illegal or non-compliant content and strictly complies with relevant national laws and regulations; if there is any false declaration, I voluntarily agree to be listed in the copyright dishonesty list, and the related dishonesty record will be synchronized to the personal credit system, assuming all legal responsibilities arising therefrom.

Update 4
Abnormal application rejected
The new regulations clearly list four types of abnormal application situations that are the focus of enforcement.
1. Mass applications: Submitting multiple software copyright applications in a short period of time, where the software involves cross-fields or unrelated industries, deviating from the normal research and development logic of enterprises;
2. Research for profit: The software copyright applications have no connection with the enterprise's own business, existing only to obtain qualifications, subsidies, or other benefits, with no genuine research and development process or practical application scenarios;
3. Fraudulent practices: Involves plagiarizing others' software, falsifying research and development materials, submitting duplicate applications, or being unable to substantiate software innovations;
4. Non-compliant materials: Application materials are generated by AI, overly templated, hollow in content, severely disrupting the review process.
Risks arising from the rejection of the application
Many companies and applicants think that if a software copyright application fails, it is simply a matter of 'not getting the certificate and reapplying.' However, after the new regulations are fully implemented on March 15, 2026, the consequences of a failed application go far beyond just a single failure.
Ordinary rejections caused by unclear material formatting or content descriptions, while not directly recorded on a dishonesty list, will leave multiple correction and rejection records. This will make your subsequent software copyright applications a key target for scrutiny, resulting in stricter reviews and longer processing times.
Once an application is determined to be abnormal, involve falsified materials, conceal AI-generated content, or have significant discrepancies between functionality and code, the applicant and the agency will be included on the copyright registration dishonesty list. The related records will be synchronized to personal and corporate credit records, which not only restricts intellectual property applications for several years but also directly affects enterprise certification, project applications, bidding, financing, loans, and other important business activities.
In summary:
The core of the new 3.15 software copyright regulations is 'strict'—strict review, strict requirements, and strict punishment. By thoroughly understanding these changes, conducting self-inspections in advance, and preparing according to standards, you can avoid all pitfalls in the application process and efficiently obtain the software copyright certificate.
If you find this article useful, remember to like, save, and share it with those in need. If you have practical questions about software copyright applications, contact our expert today to get more detailed information.



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