[Gdd-gnso-ppsai-impl] PP IRT status update; no meeting Tuesday

Amy Bivins amy.bivins at icann.org
Wed Jul 18 13:55:39 UTC 2018


Thanks, Theo and Sara,

I will take these questions and comments back to the legal team for discussion, and hope to have more to share next week.

Sent from my iPhone

> On Jul 18, 2018, at 4:49 AM, gtheo <gtheo at xs4all.nl> wrote:
> 
> I Agree with Sara on several levels here. But I think we need to know what kinda of processing agreement we are talking here before we go into the weeds. Is the agreement meant for ICANN as an organization, or are we going to create a language for third party privacy providers (just an example), which will be a real challenge?
> 
> Theo
> 
> 
> 
> 
> 
> 
> 
> Sara Bockey schreef op 2018-07-17 10:12 PM:
>> Hi Amy,
>> I’m a little unclear as to how we intend the Privacy/Proxy
>> Accreditation Agreement to dictate the terms for data processing, as
>> this is something that will need to be agreed to between the Registrar
>> and the Privacy/Proxy Provider, unless the intent is to create a
>> standard set of terms that are included as a model, but capable of
>> being modified or supplemented by the Registrar?  If so, then perhaps
>> this should be handled similar to that of the recent RRA Amendment,
>> which adds appropriate data processing terms to the RAA (via the form
>> and process outlined here
>> https://www.icann.org/en/system/files/files/rra-amendment-terms-temp-spec-02jul18-en.pdf
>> [1]).  It would differ in that these terms could be directly
>> incorporated into the P/P Accreditation Agreement, rather than via an
>> amendment as in the case of the previously executed RAAs, and the form
>> and substance would need to be modified for these particular purposes,
>> but the concept of “model clauses” might be viable.
>> In any event, we do not believe use of Section 4 of the Temp
>> Specification is adequate or appropriate for these purposes.
>> Sara
>> SARA BOCKEY
>> SR. POLICY MANAGER | GODADDY™
>> SBOCKEY at GODADDY.COM  480-366-3616
>> SKYPE: SBOCKEY
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>> FROM: Gdd-gnso-ppsai-impl <gdd-gnso-ppsai-impl-bounces at icann.org> on
>> behalf of Amy Bivins <amy.bivins at icann.org>
>> REPLY-TO: "gdd-gnso-ppsai-impl at icann.org"
>> <gdd-gnso-ppsai-impl at icann.org>
>> DATE: Thursday, July 12, 2018 at 12:13 PM
>> TO: "gdd-gnso-ppsai-impl at icann.org" <gdd-gnso-ppsai-impl at icann.org>
>> SUBJECT: [Gdd-gnso-ppsai-impl] PP IRT status update; no meeting
>> Tuesday
>> Dear Colleagues,
>> We will not have a PP IRT meeting on Tuesday, 17 July. Our next
>> meeting is scheduled for Tuesday, 24 July.
>> The Legal review of the current PPAA draft is not yet complete.
>> However, I do have an update on the GDPR-related work.
>> We believe that we will likely need to add data processing provisions
>> in the PP materials—potentially in the policy document. We are
>> planning to begin drafting this, for discussion with you, using
>> Section 4 of the Temporary Specification [2] as a model for
>> adaptation. If you have other ideas or recommendations for this
>> initial drafting exercise, please let us know. We can discuss this at
>> our next meeting. A data processing addendum may also be needed for
>> the PPAA.
>> In addition, we are also considering how to address data processing in
>> data escrow agreements. I should have more to share on that with you
>> by our next meeting.
>> Best,
>> Amy
>> AMY E. BIVINS
>> Registrar Services and Engagement Senior Manager
>> Registrar Services and Industry Relations
>> Internet Corporation for Assigned Names and Numbers (ICANN)
>> Direct: +1 (202) 249-7551
>> Fax:  +1 (202) 789-0104
>> Email: amy.bivins at icann.org
>> www.icann.org [3]
>> Links:
>> ------
>> [1]
>> https://www.icann.org/en/system/files/files/rra-amendment-terms-temp-spec-02jul18-en.pdf
>> [2] https://www.icann.org/resources/pages/gtld-registration-data-specs-en/#4
>> [3] http://www.icann.org
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