[gnso-rds-pdp-data] Analysis....

Holly Raiche h.raiche at internode.on.net
Sat Apr 9 07:19:53 UTC 2016


First - thanks Alex for looking.  The documents you found will be a part of the response to the final part of the question - what data elements should be disclosed.

And I must disagree with Stephanie’s comment that the focus is not on individual data items (sorry if I am misquoting).  My understanding is that our starting point IS each and every bit of data that is collected.  From there, we can work through why it is collected - its purpose - and then what should/should not be stored, and then accessed, by whom and in what circumstances.

Again, SAC 54 is one of the best sources to start with - all of the data collected, and for what purpose is there.  The other document that I should go through is the EWG since it was a really in depth look at the data collected and stored - before working out who should/should not have access and in what circumstances

HOlly
On 9 Apr 2016, at 8:59 am, Deacon, Alex via gnso-rds-pdp-data <gnso-rds-pdp-data at icann.org> wrote:

> Hi,  
> 
> My analysis of the following 3 documents.    
> 
> Question: What data elements should be collected, stored and disclosed?
> 
> Declaration of the Committee of Ministers on ICANN, human rights and the rule of law
> 
> This document does not make any specific statements regarding the collection, storage and disclosure of user data elements.    It does however make one very general statement in paragraph 3 that is germane to “disclosure” of information , e.g. 
> 
> "In certain criminal investigations, criminal justice authorities need to secure evidence on computer systems and to identify offenders, subject to the conditions and safeguards providing for the adequate protection of human rights pursuant to Article 15 of the Convention on Cybercrime (ETS No. 185)."    
> 
> In addition, this document references two additional documents that I did not review but may be relevant
> Convention for the Protection of Individuals with regard to Automatic Processing of Personal Data (ETS No. 108)
> Article 15 of the Convention on Cybercrime (ETS No. 185)
> 
> Dissenting Report from Stephanie Perrin (24 Jun 2014)
> 
> The focus of this document is not on the specifics of individual data elements but on topics more relevant to the other sub groups.   
> 
> There are however two mentions of data elements on page one.   Specifically
> Legal Contact Email and Legal Contact Phone Number
> Registrant Address, Registrant Phone Number
> It is important to note however that these mentions occur in a section where the author (Stephanie) states that she does not agree with the consensus of the EWG Final Report.
> 
> 
> Process Framework for a PDP on Next-Generation RDS
> 
> This document does not make any specific statements regarding the collection, storage and disclosure of user data elements. 
> 
> 
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