[gnso-rds-pdp-wg] Why are we spending time on a RDS Purpose statement?

Deacon, Alex Alex_Deacon at mpaa.org
Tue Oct 4 12:41:35 UTC 2016


Thanks Chuck.

This history and background helps focus our discussion.

Looking at the Board resolution, I think the following purpose seems to fit the bill and I’d like to suggest we include this on our list.

“The purpose of collecting, maintaining and providing access to gTLD registration data is to provide a record of domain name ownership”.

Note I suspect the word “ownership” isn’t quite appropriate here - so some word-smithing may be required.

Alex






On Sep 30, 2016, at 5:28 PM, Gomes, Chuck <cgomes at verisign.com<mailto:cgomes at verisign.com>> wrote:

Some of us, myself included, have been getting impatient because  of the time we have been spending on a RDS purpose statement.  In that regard, Lisa reminded me of why it is important to do that and I want to forward her comments to the full WG.  The following is a direct quote from her message.

“We are attempting to be responsive to the board and SSAC request for this PDP to address up front this question:

"Resolved (2015.04.26.10), the Board reaffirms its request for a Board-initiated GNSO policy development process to define the purpose of collecting, maintaining and providing access to gTLD registration data, and consider safeguards for protecting data, using the recommendations in the Final Report<https://www.icann.org/en/system/files/files/final-report-06jun14-en.pdf> [PDF, 5.12 MB] as an input to, and, if appropriate, as the foundation for a new gTLD policy."

In SAC055, WHOIS: Blind Men and an Elephant<https://www.icann.org/en/system/files/files/sac-055-en.pdf>, [1] the SSAC found that further work should be undertaken prior to implementation of the WHOIS Policy Review Team?s recommendations, concluding:

"1. It is critical that ICANN should develop a policy defining the purpose of domain name registration data;

2. ICANN should create a committee to develop a registration data policy that defines the purpose of domain name registration data; and

3. ICANN should defer other activity directed at finding a ?solution? to ?the WHOIS problem? until the registration data policy identified in (1) and (2) has been developed and accepted."

This is why this WG must examine not just policies that pertain to access, and not just a system that provides that access, but the entire purpose of collecting, maintaining, and providing access to data. This applies whether that system is a new next-gen system or an updated WHOIS system. If we cannot make some headway on the question of purpose, as SAC055 pointed out and the board agreed, then we are unlikely to make headway on specific policies intended to support each stakeholder's varying and sometimes divergent views about what the purpose should be.

Chuck

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