[Gdd-gnso-ppsai-impl] Review SPECIFICATION 2: CUSTOMER DATA ACCURACY PROGRAM SPECIFICATION
gtheo
gtheo at xs4all.nl
Tue Nov 14 07:43:23 UTC 2017
Correct Darcy, as this is key critical I wanted to have it confirmed I
am reading it correctly and we have no disputes regarding the language
at a later stage.
Thanks,
Theo
Darcy Southwell schreef op 2017-11-14 02:31 AM:
> Isn’t that exactly what the final report envisions?
>
> Sent from Darcy's iPhone. Please excuse errors.
>
> On Nov 8, 2017, at 02:54, theo geurts <gtheo at xs4all.nl> wrote:
>
>> Hi all,
>>
>> A question to the IRT and staff.
>>
>> SPECIFICATION 2: CUSTOMER DATA ACCURACY PROGRAM SPECIFICATION
>>
>> I think I understand most of the requirements here. What am I not
>> sure of, as it is fuzzy, what is a provider supposed to do when
>> Registrant activates a privacy service for a domain name that is
>> ALREADY registered, has NOT been transferred and has NOT received
>> updates?
>>
>> Currently, I think the language says the provider shall do NOTHING
>> except turning on the privacy service.
>>
>> Do we agree this is how it should work?
>>
>> Thanks,
>>
>> Theo Geurts
>>
>> Below the current language in the agreement.
>>
>> Except as provided for in Section 3 below, within fifteen (15) days
>> of (i) the registration
>> of a Registered Name for which Provider is providing the Services,
>> (ii) the transfer of
>> the sponsorship of a Registered Name for which Provider is providing
>> the Services, or
>> (iii) any change in the Customer information associated with a
>> Registered Name for
>> which Provider is providing the Services, Provider will, with
>> respect to the Customer
>> account holder contact information related to such Registered Name:
>
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