[Gnso-ppsai-pdp-wg] For your review - updated template Cat D - Q4

Michele Neylon - Blacknight michele at blacknight.com
Thu Jun 19 12:12:51 UTC 2014


Don

To avoid duplicative efforts wouldn't it be better to see how far APWG et al had got with their standardized reporting stuff?

M


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From: gnso-ppsai-pdp-wg-bounces at icann.org [mailto:gnso-ppsai-pdp-wg-bounces at icann.org] On Behalf Of Don Blumenthal
Sent: Wednesday, June 18, 2014 12:20 PM
To: Marika Konings; gnso-ppsai-pdp-wg at icann.org
Subject: Re: [Gnso-ppsai-pdp-wg] For your review - updated template Cat D - Q4

I shortened the description but didn't make substantive changes.

The WG recommends that the requirements concerning forms of alleged malicious conduct that would be covered by a providers's designated published point of contact should include a list of forms of conduct that would need to be covered. At the same time these requirements should allow for the flexibility to accommodate new types of malicious conduct. Section 3 of the Public Interest Commitments (PIC) Specification in the New gTLD Registry Agreement[1] or Safeguard 2, Annex 1 of the GAC's Beijing Communique[2] could serve as examples for how this could be achieved.
Furthermore, the WG recommends standardizing reporting forms, which would nonetheless continue to include space for free form text. A starting point for such a form could be that used under the Digital Millennium Copyright Act (DMCA) in the United States. At a minimum such a form should include: [to be completed]. It was also suggested that providers have the ability to "categorize" reports received, in order to facilitate responsiveness.

________________________________

[1] Registry Operator will include a provision in its Registry-Registrar Agreement that requires Registrars to include in their Registration Agreements a provision prohibiting Registered Name Holders from distributing malware, abusively operating botnets, phishing, piracy, trademark or copyright infringement, fraudulent or deceptive practices, counterfeiting or otherwise engaging in activity contrary to applicable law, and providing (consistent with applicable law and any related procedures) consequences for such activities including suspension of the domain name.

[2] Registry Operator will include a provision in its Registry-Registrar Agreement that requires Registrars to include in their Registration Agreements a provision prohibiting Registered Name Holders from distributing malware, abusively operating botnets, phishing, piracy, trademark or copyright infringement, fraudulent or deceptive practices, counterfeiting or otherwise engaging in activity contrary to applicable law, and providing (consistent with applicable law and any related procedures) consequences for such activities including suspension of the domain name.

===================

From: Marika Konings <marika.konings at icann.org<mailto:marika.konings at icann.org>>
Date: Wednesday, June 18, 2014 at 10:09 AM
To: PPSAI <gnso-ppsai-pdp-wg at icann.org<mailto:gnso-ppsai-pdp-wg at icann.org>>
Subject: [Gnso-ppsai-pdp-wg] For your review - updated template Cat D - Q4

Dear All,

Following yesterday's meeting, please find attached the updated template for Cat D - Q 4 attached for your review. Based on our discussions, the proposed preliminary recommendation has been updated as follows:

===============
The WG recommends that the requirements in relation to which forms of alleged malicious conduct would be covered by the designated published point of contact at an ICANN-accredited privacy/proxy service provider include an indicative list of forms of malicious conduct that would need to be covered while at the same time these requirements should allow for enough flexibility to accommodate new types of malicious conduct being covered. Section 3 of the Public Interest Commitments (PIC) Specification in the New gTLD Registry Agreement or Safeguard 2, Annex 1 of the GAC's Beijing Communique could serve as examples for how this could be achieved.
Furthermore, the WG recommends standardizing reporting forms, which would nonetheless continue to include space for free form text. A starting point for such a form could be that used under the Digital Millennium Copyright Act (DMCA) in the United States. At a minimum such a form should include: [to be completed]. It was also suggested that providers have the ability to "categorize" reports received, in order to facilitate responsiveness.

Registry Operator will include a provision in its Registry-Registrar Agreement that requires Registrars to include in their Registration Agreements a provision prohibiting Registered Name Holders from distributing malware, abusively operating botnets, phishing, piracy, trademark or copyright infringement, fraudulent or deceptive practices, counterfeiting or otherwise engaging in activity contrary to applicable law, and providing (consistent with applicable law and any related procedures) consequences for such activities including suspension of the domain name.

Registry Operator will include a provision in its Registry-Registrar Agreement that requires Registrars to include in their Registration Agreements a provision prohibiting Registered Name Holders from distributing malware, abusively operating botnets, phishing, piracy, trademark or copyright infringement, fraudulent or deceptive practices, counterfeiting or otherwise engaging in activity contrary to applicable law, and providing (consistent with applicable law and any related procedures) consequences for such activities including suspension of the domain name.

===================



You are encouraged to share any comments / edits you may have with the mailing list.



Best regards,



Marika
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