[Gdd-gnso-ppsai-impl] Action items from today's IRT call

Chris Pelling chris at netearth.net
Thu Mar 8 19:05:14 UTC 2018


We also had to close our offices last week due to lack of actual employees being able to get in. 

So I find Sarah's argument totally acceptable. 

Kind regards, 

Chris 


From: "Michele Neylon" <michele at blacknight.com> 
To: gdd-gnso-ppsai-impl at icann.org 
Sent: Thursday, 8 March, 2018 19:01:01 
Subject: Re: [Gdd-gnso-ppsai-impl] Action items from today's IRT call 



We had to close our offices for two days last week due to the snow storm. Several of our staff had no electricity or internet connection for 24+ hours. 


-- 

Mr Michele Neylon 

Blacknight Solutions 

Hosting, Colocation & Domains 

https://www.blacknight.com/ 

https://blacknight.blog/ 

https://ceo.hosting/ 

Intl. +353 (0) 59 9183072 

Direct Dial: +353 (0)59 9183090 

------------------------------- 

Blacknight Internet Solutions Ltd, Unit 12A,Barrowside Business Park,Sleaty 

Road,Graiguecullen,Carlow,R93 X265, 


Ireland Company No.: 370845 


From: Gdd-gnso-ppsai-impl <gdd-gnso-ppsai-impl-bounces at icann.org> on behalf of Sara Bockey <sbockey at godaddy.com> 
Reply-To: "gdd-gnso-ppsai-impl at icann.org" <gdd-gnso-ppsai-impl at icann.org> 
Date: Thursday 8 March 2018 at 14:58 
To: "gdd-gnso-ppsai-impl at icann.org" <gdd-gnso-ppsai-impl at icann.org> 
Subject: Re: [Gdd-gnso-ppsai-impl] Action items from today's IRT call 





Sure, Steve. 



There could be a hurricane, flooding, snow storm, earthquake (name a natural disaster) that could cause a power outage or worse. There could be a DDoS attack. A provider’s staff could be hit particularly hard by a flu (or insert potential pandemic here) and taking out half or all their staff. I’m not being melodramatic, just pointing out that the provision doesn’t take into account life going sideways. Things do happen outside of our control and to be in breach of contract in such circumstances is not acceptable. 




sara bockey 

sr. policy manager | Go Daddy ™ 

sbockey at godaddy.com 480-366-3616 

skype: sbockey 



This email message and any attachments hereto is intended for use only by the addressee(s) named herein and may contain confidential information. If you have received this email in error, please immediately notify the sender and permanently delete the original and any copy of this message and its attachments. 







From: Gdd-gnso-ppsai-impl <gdd-gnso-ppsai-impl-bounces at icann.org> on behalf of "Metalitz, Steven" <met at msk.com> 
Reply-To: "gdd-gnso-ppsai-impl at icann.org" <gdd-gnso-ppsai-impl at icann.org> 
Date: Thursday, March 8, 2018 at 11:48 AM 
To: "gdd-gnso-ppsai-impl at icann.org" <gdd-gnso-ppsai-impl at icann.org> 
Subject: Re: [Gdd-gnso-ppsai-impl] Action items from today's IRT call 





Sara, sorry if I missed this, but could you give an example of the “extraordinary circumstances” you are referring to? 





Steve Metalitz 




Sent with BlackBerry Work 
(www.blackberry.com) 


From: Sara Bockey < sbockey at godaddy.com > 


Date: Thursday, Mar 08, 2018, 11:04 AM 


To: gdd-gnso-ppsai-impl at icann.org < gdd-gnso-ppsai-impl at icann.org > 


Subject: Re: [Gdd-gnso-ppsai-impl] Action items from today's IRT call 





Amy, 



It seems clear that the additional language is necessary regardless of 4.2. It’s been raised repeatedly and agreed to by pretty much all of the registrars, so it’s unclear to me why you keep trying to remove it. 



Additionally, it has been raised repeatedly and agreed to my pretty much all of the registrars that the 3 instances under 4.2.2 are not sufficient. There are extraordinary circumstances that could arise, as outlined previously. At the very least, we need to amend the language to say “including but not limited to”. 



It’s incredibly frustrating that staff does not appear to hear what we are saying. 



Sara 




sara bockey 

sr. policy manager | Go Daddy ™ 

sbockey at godaddy.com 480-366-3616 

skype: sbockey 



This email message and any attachments hereto is intended for use only by the addressee(s) named herein and may contain confidential information. If you have received this email in error, please immediately notify the sender and permanently delete the original and any copy of this message and its attachments. 







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, March 8, 2018 at 8:04 AM 
To: "gdd-gnso-ppsai-impl at icann.org" <gdd-gnso-ppsai-impl at icann.org> 
Subject: Re: [Gdd-gnso-ppsai-impl] Action items from today's IRT call 





Thanks, Lindsay! 



I’ll note that in Section 4.2 (I’ve attached a copy of the specification as it looks now, with no changes), disclosure may be reasonably refused if disclosure would contravene applicable law. 



What if we added something in this section 4.2, such that disclosure may be reasonably refused if a subpoena or a court order is required to obtain the requested information? 




From: Gdd-gnso-ppsai-impl [mailto:gdd-gnso-ppsai-impl-bounces at icann.org] On Behalf Of Lindsay Hamilton-Reid 
Sent: Thursday, March 8, 2018 10:00 AM 
To: gdd-gnso-ppsai-impl at icann.org 
Subject: Re: [Gdd-gnso-ppsai-impl] Action items from today's IRT call 




Hi Amy 



Thank you for the suggestion and while we have reworded another clause to compensate for the first part of your deletion, the part about court orders must remain. We will not provide information without a court order and will certainly not contravene applicable law. I know we are trying to find the right balance here but it must be reasonable. We will of course do what we can to help law enforcement but we are not here for the benefit of LEAs and do have the rights of our customers to protect, particularly in view of the GDPR and the upcoming ePrivacy regulations. 



Many thanks 



Lindsay 



	

Lindsay Hamilton-Reid 

Senior Legal Counsel 

Direct: +44 (0)1452 509145 | Mobile: 07720 091147 | Email: Lindsay.Hamilton-Reid at 1and1.co.uk 

www.fasthosts.co.uk www.1and1.co.uk 
	




	

© 2015 All rights reserved. Fasthosts is the trading name of Fasthosts Internet Limited. Company registration no. 03656438. Registered in England and Wales. Registered office: Discovery House, 154 Southgate Street, Gloucester, GL1 2EX. VAT no. 720821857. 1&1 is the trading name of 1&1 Internet Limited. Company registration no. 03953678. Registered in England and Wales. Registered office: Discovery House, 154 Southgate Street, Gloucester, GL1 2EX. VAT no. 752539027. 
	

This message (including any attachments) is confidential and may be legally privileged. If you are not the intended recipient, you should not disclose, copy or use any part of it - please delete all copies immediately and notify 1&1 on 0844 335 1211 or Fasthosts on 0333 0142 700. Any statements, opinions or information in this message are provided by the author, not on behalf of 1&1 and/or Fasthosts, unless subsequently confirmed by an individual who is authorised to represent 1&1 and/or Fasthosts. 







From: Gdd-gnso-ppsai-impl [ mailto:gdd-gnso-ppsai-impl-bounces at icann.org ] On Behalf Of Amy Bivins 
Sent: 08 March 2018 12:07 
To: gdd-gnso-ppsai-impl at icann.org 
Subject: Re: [Gdd-gnso-ppsai-impl] Action items from today's IRT call 




Thanks, Peter, for your input on this. I’m noticing that while you aren’t happy with the proposed one business day requirement, you didn’t say that it’s a definite non-starter, either. Perhaps there is some room for compromise. 



Sara and other registrars who supported Sara’s proposed language, how would you feel about trimming the proposal to account for the discussion on Tuesday about points that are already covered elsewhere in the framework? If we did that, it would look something like this (edit to Sara’s proposal in redline): 



4.1.2 Where a disclosure request has been categorized as High Priority, LEA will make every effort to contact the Provider directly to discuss the matter, and should it be determined that Provider has useful information, Provider shall use its best efforts to action the request within one business day. , noting that a court order/subpoena may still be required prior to release of any information. Registrar will not be required to take any action in contravention of applicable law. 



As proposed below, we could also update 3.1 to make abundantly clear that this is a direct LEA contact to the provider’s designated LEA contact, which may be an email address, form, phone number, or any other means the provider has shared with LEA. There must be a way for LEA to obtain the designated contact via the website (even instructions to call the provider’s main number would seem to satisfy this request) but the contact itself does not have to be posted on the website. 



3.1 Pre‐Request: Provider will establish and maintain a designated LEA Requestor point of contact for submitting disclosure requests. Provider shall publish on its website the designated contact (e.g. email address, telephone number, form ) or other means for LEA to obtain designated LEA contact information ) . 



If the language looked like this, for compliance purposes we could use some additional clarity about what it means for a provider to “use its best efforts to action the request within one business day.” 



Sara and other registrars who support this proposal, if we kept the “one business day” standard, would you be able to compromise by editing this a bit to make clear that a human (non-automated) response would be required within one business day of receipt of the request (perhaps by simply reverting to the word “action” if we were to clearly define that as discussed previously)? 



Peter, what would you and your PSWG colleagues think about this? 



Thanks, all for your continued attention to this matter. Hopefully, we can reach a conclusion on this while many of you are at ICANN61 in Puerto Rico. 



I’ll note that the poll is still open through EOD Friday, https://www.surveymonkey.com/r/CMGF8FZ . As of now, there are 18 responses. Four IRT members support raising this issue to the Council, and 14 oppose that (including some registrars). 



Best, 

Amy 








From: Gdd-gnso-ppsai-impl [ mailto:gdd-gnso-ppsai-impl-bounces at icann.org ] On Behalf Of Roman, Peter (CRM) 
Sent: Wednesday, March 7, 2018 1:08 PM 
To: gdd-gnso-ppsai-impl at icann.org 
Subject: Re: [Gdd-gnso-ppsai-impl] Action items from today's IRT call 




FWIW, I am not very happy with the one business day requirement to action the law enforcement High Priority request. Even a 24 hour window is too long. This is an emergency, that’s why we will be using this process. It really should be actioned more or less immediately. If it didn’t need immediate attention, we wouldn’t be using the High Priority process. 




Peter Roman 



Senior Counsel 

Computer Crime & Intellectual Property Section 

Criminal Division 

Department of Justice 

1301 New York Ave., NW 
Washington, DC 20530 
(202) 305-1323 

peter.roman at usdoj.gov 





From: Gdd-gnso-ppsai-impl [ mailto:gdd-gnso-ppsai-impl-bounces at icann.org ] On Behalf Of Amy Bivins 
Sent: Tuesday, March 6, 2018 11:42 AM 
To: gdd-gnso-ppsai-impl at icann.org 
Subject: [Gdd-gnso-ppsai-impl] Action items from today's IRT call 




Dear Colleagues, 



Thank you for your participation on today’s privacy/proxy IRT call. If you couldn’t attend, I encourage you to listen to the recording, https://community.icann.org/display/IRT/06+March+2018 



If you haven’t already, please complete the IRT poll regarding the potential policy implications surrounding the IRT discussions on the LEA framework specification no later than Friday, https://www.surveymonkey.com/r/CMGF8FZ Currently, two IRT members have indicated that they believe the issue should be escalated to the Council. Fourteen responded that this should not be escalated to the Council at this stage. 



Today, we solicited any additional feedback related to the draft reporting specification. I’ve attached a draft with some notes indicating the feedback received to date. We will begin updating the specification based on this feedback, and will consider any additional feedback received between now and the end of the IRT session at ICANN61 in updating the draft. 



We also discussed a proposal from Sara Bockey on-list, which has been supported by several other registrar members of the IRT, for alternative language for the LEA Framework Specification. 



The proposed language is: 



4.1.2 Where a disclosure request has been categorized as High Priority, this 

must be actioned within 24 hours. The LEA Requestor will detail the 

threat type and justification for a request with a Priority Level of High Priority. Where a disclosure request has been categorized as High Priority, LEA will make every effort to contact the Provider directly to discuss the matter, and should it be determined that Provider has useful information, Provider shall use its best efforts to action the request within one business day, noting that a court order/subpoena may still be required prior to release of any information. Registrar will not be required to take any action in contravention of applicable law. 



Based on the discussion today, it’s possible that an edit could potentially be made in Section 3.1, to eliminate the perceived need for the “contact the Provider directly” language, such as: 3.1 Pre‐Request: Provider will establish and maintain a designated LEA Requestor point of contact for submitting disclosure requests. Provider shall publish on its website the designated contact (e.g. email address, telephone number, form ) or other means for LEA to obtain designated LEA contact information ) . 



I’ll note that because LEA are not a party to this contract, I don’t think they could be required via this contract to “make every effort,” so that may be a point to consider. Also, the draft already states, at Section 4.2.2.2 that a Provider can refuse disclosure if the disclosure would lead to a contravention of applicable law. Concerns have also been raised about the “best efforts” language. 



IRT feedback is requested on-list on the above proposed language. If IRT members who oppose the current PSWG-proposed text can reach agreement on proposed language, this can be published for public comment. This will be on the agenda for the session on Sunday at ICANN61. A full agenda will be distributed later this week. In addition, if the IRT would like to discuss any items from the updated PPAA draft in Puerto Rico, please let me know. 



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 



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