[Gnso-ppsai-pdp-wg] Section III-C-(5)

Kiran Malancharuvil Kiran.Malancharuvil at markmonitor.com
Tue Apr 14 16:03:30 UTC 2015

Hi Kathy,

How does Terri's language exclude those groups?



From: gnso-ppsai-pdp-wg-bounces at icann.org [mailto:gnso-ppsai-pdp-wg-bounces at icann.org] On Behalf Of Kathy Kleiman
Sent: Tuesday, April 14, 2015 9:01 AM
To: gnso-ppsai-pdp-wg at icann.org
Subject: Re: [Gnso-ppsai-pdp-wg] Section III-C-(5)

I much prefer the original language since we are also working with the privacy and speech protections also of political groups, battered women's shelters, minority religious groups, Mom- and home-based small businesses, etc. -- the wide array of legitimate groups, organizations and businesses that use proxy/privacy providers.

Perhaps I am over-simplifying, but since agreement has not been reached on the current language, and III-C-(3) actually gives the provider quite a bit of lee-way to decide against disclosure, I propose the following:

the Provider has found, specific information, facts and/or circumstances that reveal the Requestor's trademark or copyright complaint is a pretextual means of obtaining the Customer's contact details solely for the purpose of contravening the Customer's personally identifiable information.
1.       Personally identifiable information (PII) is any data that could potentially identify a specific individual. Any information that can be used to distinguish one person from another and can be used for de-anonymizing anonymous data can be considered PII.

Terri Stumme
Intellligence Analyst


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