[CPWG] Meeting Invitation: Consolidated Policy Working Group (CPWG) Call on Wednesday, 17 October 2018 at 13:00 UTC for 90mins

Hadia Abdelsalam Mokhtar EL miniawi Hadia at tra.gov.eg
Sun Oct 14 13:10:54 UTC 2018


Dear Greg and all,

I can see on the agenda item 7 assigning an internal deadline for the submission of the comments on the unified access model, first off thank you for the comprehensive comments statement I don't know if it is too late but I have a couple of comments.

With regard to the terms of use, question number 14  the ALAC comment says
"The statement that WHOIS data “must be used for the purposes [for which] it was provided” points to a potential “Achilles heel” for any plan for access – it depends a great deal on the purposes specified at the time of collection.
The statement in the proposed model reads "Terms of Use would establish a framework for the use of non-public WHOIS data by authenticated users accessing non-public WHOIS data through a unified access model, and in particular appropriate limitations on the use of such data, proper procedures for accessing the data, and other safeguards and public policy considerations relating to the responsibilities and practices for the Eligible User Groups. In general, the non-public WHOIS data must be used for the purposes it was provided, and it must not be forwarded to unauthorized third parties."

My understanding of the above statement is quite different than yours, I understood that the statement is saying that the non-public WHOIS data must be used for the purpose for which the access was provided, i.e for the purpose for which the data was provided to the requestor, the ALAC comment suggests that the proposed statement is saying "WHOIS data must be used for the purpose for which the data was collected" . In my opinion the statement is not referring to the purpose of the collection of the data it is referring to the purpose for which it was made available to the authenticated user. Therefore I don't see the ALAC comment on this part necessary. That being said a clearer language could be required.

My other comment is with regard to question number 8 would a unified access model incorporate transparency requirements? The ALAC comment suggests publishing the list of authenticated users, I don't see how this could possibly be GDPR compliant.

Kind Regards
Hadia



From: CPWG [mailto:cpwg-bounces at icann.org] On Behalf Of Olivier MJ Crépin-Leblond
Sent: Friday, October 12, 2018 1:11 PM
To: cpwg at icann.org
Subject: Re: [CPWG] Meeting Invitation: Consolidated Policy Working Group (CPWG) Call on Wednesday, 17 October 2018 at 13:00 UTC for 90mins

Hello all,

you are probably wondering why we are having such a call since we had not discussed it at the end of our call this week. My mistake: in my haste to finish on time, I forgot this essential agenda item, plus I was under the impression that the Barcelona meeting started next week for some reason; early next week.
We chose the earlier time as it is more convenient for me plus several people will already be on the move at the latter time.
Kindest regards,

Olivier
On 12/10/2018 15:56, ICANN At-Large Staff wrote:
Dear All,

The next At-Large Consolidated Policy Working Group (CPWG) Call is scheduled for Wednesday, 17 October 2018 at 13:00 UTC for 90 mins.

For other times:  https://tinyurl.com/y7l65hjg

The agenda (to be updated) and call details can be found at:  https://community.icann.org/x/Nw28BQ

AC Room: https://participate.icann.org/cpwg/

ADIGO Conference Bridge:
EN: 3535

Toll-free access number (US and Canada):  800 550 6865

Other toll-free numbers: http://adigo.com/icann/

At-Large Consolidated Policy Working Group (CPWG) Wiki Space:  https://community.icann.org/x/jYDpB

If you require a dial-out please contact At-Large staff at: staff at atlarge.icann.org<mailto:staff at atlarge.icann.org>


Thank you.
Kind regards,

At-Large Staff
ICANN Policy Staff in support of the At-Large Community
Website: atlarge.icann.org<https://atlarge.icann.org/>
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