[gnso-rds-pdp-wg] icann59johannesburg2017 transcript (my notes)

Chuck Gomes Consulting consult at cgomes.com
Sun Jul 2 21:07:52 UTC 2017


Denny & all,

I assume you realize by now that the members in our F2F meeting did not
support this approach so we are not going to follow it.

Chuck

-----Original Message-----
From: gnso-rds-pdp-wg-bounces at icann.org
[mailto:gnso-rds-pdp-wg-bounces at icann.org] On Behalf Of Denny Watson
Sent: Friday, June 30, 2017 10:41 AM
To: gnso-rds-pdp-wg at icann.org
Subject: [gnso-rds-pdp-wg] icann59johannesburg2017 transcript (my notes)

Slide 21;
> Would it help to deliberate first on key concepts for Legal Person 
> data?

Yes, I believe that it would.

First in the E.U., it appears to me that there exists a _requirement_ that
Legal Persons publish contact data!  Including things like organizational
name, address, phone number, and tax id.  I see no reason to exclude these
elements from the minimum public data set (MPDS).

For other jurisdictions (and some edge cases in the E.U.) the Legal Person
may want to mask data, this should be allowed.  But this shouldn't be the
default for Legal Persons.

For Natural Persons, I see no reason why they shouldn't be allowed to
publish these elements (having given informed consent) if they so wish.

Additionally, I believe that country, state, and city should also be
included in the MPDS as to better understand what legal jurisdiction the
domain owner resides in.  This is not data the identifies an individual, or
even a small set of individuals.  I believe that this position is in descent
of the EWG report... I'd looked at it some time ago, and if I recall
correctly it wanted to mask country.

The GDPR is interesting, but only as far requirements for registrars.
Privacy-proxies exist today.  The registrars should be providing them for
free, and allow (also for free) their users to update their contact data to
use a privacy-proxy at any time.



--
Denny Watson
Sr. Investigator
The Spamhaus Project

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