This statement on behalf of NeuLevel relates to the GNSO Policy Development Process (PDP) on a procedure for use by ICANN in considering requests made by registry operators or sponsors for consents or related amendments to the agreements these entities have with ICANN. In accordance with Section 7(d) (1) of the GNSO Policy Development Process, ICANN initiated a PDP to develop a predictable procedure to handle such requests. The GNSO Council voted to initiate the PDP subject to additional Terms of Reference (TOR). Both changes to the nature of the agreements between ICANN and the registries/sponsors and non-contractual discussions between registries/sponsors and ICANN are explicitly "out-of scope" of the TOR. To date, the gTLD Registries Constituency as a whole has been unable to come to a consensus position regarding the Registry Services Policy Development Process. Although many of the concepts set forth herein have been discussed at length within the constituency, this statement reflects the views of only NeuLevel. However, NeuLevel believes that this statement should be submitted in the hopes of moving this important process forward. NeuLevel welcomes the steps by ICANN and the GNSO Council towards making the Internet more secure and stable, and we would like to co-operate in development of a predictable and timely procedure for ICANN to handle requests for consents required by our contracts or related contractual amendments in which we are interested. We believe that implementation of a predictable and timely procedure by ICANN to handle changes in the registry agreements is in the best interest of the gTLD Registries Constituency. Such a procedure will limit the uncertainty, improve the timeliness of any changes and allow both the unsponsored registries and the communities served by the sponsored registries to continue development of the gTLDs in a manner that is predictable and best suited to serve the interests of Internet users. Although we believe it is important to develop a predictable procedure for contractual approvals and amendments, specific contractual changes (or changes in the relationship between the registries and ICANN) should not be considered as part of this Policy Development Process. Rather, once a process has been adopted under this PDP for the introduction of new registry services, a similar process could be used to ensure the timely approval of changes to registry agreements. Finally, NeuLevel believes that the implementation of a such a procedure must take into consideration differences among TLDs, respect the role of the sponsored communities in sTLDs, appreciate the different levels of impact a change will have on different Internet constituencies, and favor development and innovation while maintaining the stability and security of the Internet. Process Notes NeuLevel notes that ICANN has received a number of statements from various constituencies that discuss which matters should and which should not be considered as part of the new "Registry Service Process." The intent of this document, however, is not to address this very important issue, but rather to detail a process that should be implemented once it as been determined that a particular service or action by a Registry Operator falls within the jurisdiction of the "Registry Services Process." We believe that further work needs to be done to determine precisely which matters should properly be considered by ICANN under the applicable Registry agreements under this new process. The following information is provided in reference to the Registry Services Outreach Process flow chart (PDF), which has been provided in conjunction with this statement. The item numbers in the table below correlate to shape numbers in the flow chart. Time limits are shown in flow chart shapes where applicable and are always in calendar days. A "yes" in the NDA column indicates that the terms of a nondisclosure agreement apply to the involved parties. Although an NDA is not a fail-safe to ensure that sensitive registry information is kept confidential, we believe it is an essential element in various steps throughout the process. It should also be noted that the following process is not a final product and considerable work still needs to be done. For example, the process introduces a new body called the Outreach Advisory Panel ("OAP"), which we believe will be a way to ensure appropriate involvement of the various ICANN constituencies (including the SECSAC, GNSO, and relevant technical standards bodies) impacted by the proposed registry service, while at the same time protecting registry confidential information. Specific membership of the OAP and their selection are questions that still need to be explored.
1This gets into the subject of whether the service falls within the jurisdiction of this new process. We will work with the ICANN and the other relevant stakeholders in the community to help establish objective criteria to aid the registry's determination. 2Objective criteria should be developed to determine which new services go through the "quick look" process and which merit the full blown process set forth in this paper. 3More details would need to be specified as to how the IDR Panel is constituted and the rules by which it needs to operate, including the relevant standard of review. |
- Home
- Registry Services Outreach Process