steve at shinkuro.com
Fri Nov 5 12:41:08 UTC 2021
There are two distinct questions related to purposes.
1. What are the intended purposes?
2. Will the validation requirements be sufficient to support the
I don't have any problem with using the EPDP-identified purposes to answer
the first question. The question that I believe is within scope for the
scoping of accuracy work is the second question.
On Fri, Nov 5, 2021 at 5:36 AM Volker Greimann <
volker.greimann at centralnic.com> wrote:
> Hi all,
> during the last call, Steve asked about the purpose for the data, but I do
> not think that defining should concern for even a second of our work as the
> council was explicit in their instructions to that regard:
> "In carrying out its work above, *the Scoping Team is expected to take
> into account* the policy recommendations from the EPDP on gTLD
> Registration Data (EPDP) Team that have been adopted by the GNSO Council
> and the ICANN Board, including* the EPDP-identified purposes* and the
> related data processing activities. However, the scoping team *is not
> tasked to review these purposes or suggest changes*. If the scoping team
> finds that further review of these purposes is necessary, especially in the
> context of implementation and enforcement of existing requirements, it will
> identify this as an area of further work in its recommendations. "
> So let's just copy/paste the purposes as defined by the EPDP and be done
> with it.
> Volker A. Greimann
> General Counsel and Policy Manager
> *KEY-SYSTEMS GMBH*
> T: +49 6894 9396901
> M: +49 6894 9396851
> F: +49 6894 9396851
> W: www.key-systems.net
> Key-Systems GmbH is a company registered at the local court of
> Saarbruecken, Germany with the registration no. HR B 18835
> CEO: Oliver Fries and Robert Birkner
> Part of the CentralNic Group PLC (LON: CNIC) a company registered in
> England and Wales with company number 8576358.
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