"NTIA sees any deviation from the current standard of consensus as introducing instability into the system while also inadvertently diminishing the important role of governments."
"But the right place to deal with that issue [of single-country veto] is not at the last minute in the CCWG but in a more reasoned and full discussion of this issue within the GAC. "
hi Arun,I think you are eliding two things in an unfortunate way - the GAC decision-making process, and the fact of the United States using its leverage in the transition discussion. The fact that NTIA has set out requirements for the transition to occur, and sharing its view about ST18's importance in validating one of those requirements, is not a commentary on decision-making in GAC.Or am I missing something?bestJordan--On 26 November 2015 at 16:43, Arun Mohan Sukumar <arun.sukumar@orfonline.org> wrote:Thank you for posting NTIA's comment on this, Suzanne.It is for GAC colleagues in the CCWG to weigh in on Assistant Secretary Strickling's note. What concerns me is the NTIA's effort to intervene at this crucial stage in ST 18 discussions. Frankly, it defeats the spirit of compromise that the CCWG has been striving for on this issue. The NTIA suggests GAC should not be worried about a "single country veto", when it is exercising precisely that during this important exercise.Apologies for what may sound like harsh words: the CCWG is well attuned to attempts by one powerful stakeholder to steer the debate, and has so far resisted/responded to them admirably. One hopes this will be no exception.Best,Arun--Head, Cyber InitiativeObserver Research Foundation, New DelhiOn Thu, Nov 26, 2015 at 5:30 AM, Phil Buckingham <phil@dotadvice.co.uk> wrote:_______________________________________________Hello Suzanne,
Thank you for the NTIA’s timely comments and suggestions.
Regards,
Phil
Phil Buckingham
CEO,Dot Advice Limited
Skype: philip.buckingham14
Mobile: 00 44 (0)7957643357
LinkedIn: Phil Buckingham
From: accountability-cross-community-bounces@icann.org [mailto:accountability-cross-community-bounces@icann.org] On Behalf Of Radell, Suzanne
Sent: 25 November 2015 22:33
To: Accountability Cross Community
Cc: ACCT-Staff
Subject: [CCWG-ACCT] NTIA Statement on ST 18
Hello everyone, Assistant Secretary Strickling has asked that I share this with the CCWG. Best regards, Suz
NTIA Statement on Stress Test 18
November 25, 2015
NTIA has been closely following the discussions in the CCWG-Accountability, including the recently concluded small group on stress test 18. As has been the case throughout the work of the CCWG, we are impressed by the time and dedication so many of you are putting into these important discussions. We thank everyone for their efforts as the group works to finalize the proposal for publication on November 30.
NTIA has long believed that governments, like all stakeholders, have an important role to play within multistakeholder processes, including ICANN. Our position on that has not changed. As the CCWG finalizes its proposals for enhancing ICANN’s accountability, we feel we should reiterate our view, as we stated last July, that ICANN preserve and clarify the current practice of the Board in responding to advice it receives from the Governmental Advisory Committee (GAC). Specifically, ICANN should amend its Bylaws to clarify that the Board is required to enter into a formal consultation process with the GAC only where it receives GAC advice that is consensus advice based on the current definition within the GAC’s Operating Principles, that is, advice to which no GAC member has raised a formal objection.
We want to make clear that nothing about this proposal is intended to limit how the GAC determines what advice it submits to the Board. As the Bylaws make clear, the Board is obligated to duly take all GAC advice into account. However, it is not practicable for the Board to give GAC advice special consideration unless it is consensus advice as currently defined in the GAC Operating Principles. Anything less than consensus places the Board in the awkward, if not impossible, position of trying to choose between governments with conflicting opinions. NTIA sees any deviation from the current standard of consensus as introducing instability into the system while also inadvertently diminishing the important role of governments. Accordingly, every time the GAC provides consensus advice that it expects to trigger the special Bylaws consideration from the Board, it must be unambiguous and consistent with the current definition in the Operating Principles. Asking the Board to interpret any other threshold of support seems counter to the spirit of the CCWG’s efforts to empower the community in a clear and consistent manner. It also undermines the work done to implement the relevant recommendations of ATRT1 to fix what the community diagnosed as a dysfunctional Board-GAC relationship.
We are aware that some countries are concerned that the current GAC Operating Principles could lead to a single-country veto of GAC advice to the detriment of other countries. We too share that concern. But the right place to deal with that issue is not at the last minute in the CCWG but in a more reasoned and full discussion of this issue within the GAC. NTIA stands ready to participate in and contribute to such a discussion to resolve that concern at the appropriate time and place.
Suzanne Murray Radell
Senior Policy Advisor, NTIA/OIA
202-482-3167
Accountability-Cross-Community mailing list
Accountability-Cross-Community@icann.org
https://mm.icann.org/mailman/listinfo/accountability-cross-community
_______________________________________________
Accountability-Cross-Community mailing list
Accountability-Cross-Community@icann.org
https://mm.icann.org/mailman/listinfo/accountability-cross-community
Jordan Carter
Chief Executive
InternetNZWeb: www.internetnz.nz
A better world through a better Internet
_______________________________________________
Accountability-Cross-Community mailing list
Accountability-Cross-Community@icann.org
https://mm.icann.org/mailman/listinfo/accountability-cross-community