[council] ePDP

Drazek, Keith kdrazek at verisign.com
Thu May 24 04:46:00 UTC 2018


And, as a GNSO PDP, it must respect the picket fence. Not all issues in the Temporary Specification are eligible for a PDP. This is going to be one of the important scoping questions for the Council’s attention.



Regards,

Keith



From: council <council-bounces at gnso.icann.org> On Behalf Of Michele Neylon - Blacknight
Sent: Thursday, May 24, 2018 12:35 AM
To: Darcy Southwell <darcy.southwell at endurance.com>; Rubens Kuhl <rubensk at nic.br>; Susan Kawaguchi <susankpolicy at gmail.com>
Cc: GNSO Council List <council at gnso.icann.org>
Subject: [EXTERNAL] Re: [council] ePDP



Also we need to remember that the ePDP needs to focus on the temporary spec NOT on “fixing” whois. To that end it needs to be focussed on the various policies etc., that are impacted by the temporary spec and are now out of sync.



Regards


Michele



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From: council <council-bounces at gnso.icann.org<mailto:council-bounces at gnso.icann.org>> on behalf of Darcy Southwell <darcy.southwell at endurance.com<mailto:darcy.southwell at endurance.com>>
Date: Thursday 24 May 2018 at 02:21
To: Rubens Kuhl <rubensk at nic.br<mailto:rubensk at nic.br>>, Susan Kawaguchi <susankpolicy at gmail.com<mailto:susankpolicy at gmail.com>>
Cc: GNSO Council List <council at gnso.icann.org<mailto:council at gnso.icann.org>>
Subject: Re: [council] ePDP



Agree with Rubens that no one SO/AC is more important than another.



Is Susan’s suggestion 5-6 per SO/AC or SG/C?   I’m confused.



From: council <council-bounces at gnso.icann.org<mailto:council-bounces at gnso.icann.org>> on behalf of Rubens Kuhl <rubensk at nic.br<mailto:rubensk at nic.br>>
Date: Wednesday, May 23, 2018 at 9:16 PM
To: Susan Kawaguchi <susankpolicy at gmail.com<mailto:susankpolicy at gmail.com>>
Cc: GNSO Council List <council at gnso.icann.org<mailto:council at gnso.icann.org>>
Subject: Re: [council] ePDP



Susan,



Responses inline.







   On 23 May 2018, at 21:26, Susan Kawaguchi <susankpolicy at gmail.com<mailto:susankpolicy at gmail.com>> wrote:



   Hello All,



   I have given the potential ePDP much thought over the last two days.



   To effectively do this work at the speed that it will require we need to focus the ePDP.  As you all know this is a tremendous amount of work.



   We need to address the following:



   Including at the very least the GAC and SSAC in this ePDP will be critical.



   While this is still a GNSO ePDP, the fact that we will likely not run an open WG means that we should invite ACs, but I don't see why some ACs would be critical and others would not.







   The members of the team should be limited to 5-6 members of each SG/AC.



   I'm more inclined to a lesser number of members per SG, and even less from ACs, perhaps one each per AC.









   Each member must agree to accept the fast paced extensive work load, participating on calls, subgroups and drafting when necessary.



   And to be willing to come to common grounds... which is the only way for this effort to not fail like all others before them have.









   Understand that their work is representational of the community they are affiliated with and will receive endorsement to express views.



   I'm not sure of that; while I understand that idea, and this is how Council representation works for 3 of the 4 GNSO SGs, I'm afraid it could be not practical and hamper productivity, but I'm not ready yet to offer an alternative.









   Create a leadership team with extensive knowledge and time to focus on this work.



   Select a Chair that will have the time and skills to effectively manage the ePDP.



   Yeap.







   Include a Board member for oversight and check ins on the team.



   I believe Board liaison(s) would be helpful in not causing a delay by drafting a policy Board wouldn't be able to accept, but I wouldn't call them members.







   This ePDP should focus on the critical needs identified in the Annex of the Temporary Spec. first as these issues are of critical importance. (copied below for ease of reference)





   But if the main topics are not dealt with by the ePDP, temp spec will expire and lose effect... so I would rather see the opposite: taking first the items already included in the spec, bake all the uncontroversial ones into policy and begin implementation of them ASAP. Only after that first report, deal with controversial and further community action ones. Having parallel PDP/IRT teams also seem to be needed to achieve the ambitious timeframe imposed by the temp spec framework.







   Rubens







   Annex: Important Issues for Further Community Action

   The purpose of this Annex is to set forth implementation issues raised during the course of development of this Temporary Specification for which the ICANN Board encourages the community to continue discussing so that they may be resolved as quickly as possible after the effective date of the Temporary Specification. This Annex does not create new or modified requirements for Registrar or Registry Operator, nor is it intended to direct the scope of the Policy Development Process, which will be initiated as a result of the Board’s adoption of thisTemporary Specification.

   1.   Pursuant to Section 4.4, continuing community work to develop an accreditation and access model that complies with GDPR, while recognizing the need to obtain additional guidance from Article 29 Working Party/European Data Protection Board.
   2.   Addressing the feasibility of requiring unique contacts to have a uniform anonymized email address across domain name registrations at a given Registrar, while ensuring security/stability and meeting the requirements of Section 2.5.1 of Appendix A.
   3.   Developing methods to provide potential URS and UDRP complainants with sufficient access to Registration Data to support good-faith filings of complaints.
   4.   Consistent process for continued access to Registration Data, including non- public data, for users with a legitimate purpose, until the time when a final accreditation and access mechanism is fully operational, on a mandatory basis for all contracted parties.
   5.   Distinguishing between legal and natural persons to allow for public access to the Registration Data of legal persons, which are not in the remit of the GDPR.
   6.   Limitations in terms of query volume envisaged under an accreditation program balanced against realistic investigatory cross-referencing needs.
   7.   Confidentiality of queries for Registration Data by law enforcement authorities.

   Looking forward to discussing further tonight.

   Susan Kawaguchi

   BC Councilor.







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