2.1) Element of potential concern to the BC: New bylaws might prevent ICANN from enforcing contracts and Public Interest Commitments with registries and registrars.
In our Jun-2015 comments on the CCWG’s 1st draft, the BC raised a concern with the proposal to limit the scope of ICANN’s mission via the Bylaws, worrying that it would prevent ICANN from taking appropriate steps to enforce certain provisions of its contracts.
As we stated in our Jun-2015 comments, the BC believes that ICANN should be able to enforce contracts that are voluntarily entered by registries and registrars, and to enforce contract terms that are voluntarily added by new gTLD registries in the form of Public Interest Commitments
However, public comments from Danielle Kehl and David Post at New America requested stress tests designed to suggest that ICANN’s enforcement of contract provisions such as section 3.18 of the 2013 RAA could violate the new limited mission and prohibition on regulation of services and content12.
The BC believes that the CCWG’s bylaws text is not clear on the tension between contract enforcement and a limited mission for ICANN.
On the one hand, CCWG’s text could be read to prevent ICANN from enforcing Public Interest Commitments, or from agreeing to other contract provisions implementing consensus policies. On the other hand, CCWG’s text does not effectively limit ICANN from acting outside consensus policy in the implementation of those contracts.
The BC asks CCWG to resolve the ambiguity with more clarity in the final proposal.
Dear Becky,
According to our charter, the following definitions are used:a) Full Consensus - a position where no minority disagrees; identifiedby an absence of objectionb) Consensus a position where a small minority disagrees, but most agree
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I am writing to supply evidence that two of your consensus levelestimations are not consistent with these standards.
I am writing to disagree with your estimation of the level of consensuson certain points.
o To the extent that registry operators voluntarily assume obligationswith respect to registry operations as part of the application process,ICANN should have the authority to enforce those commitments./NOTE: There is not ³full consensus² on this position/.
To the extent that this principle as stated would override the principlethat ICANN should not seek to regulate the content of web sites or thegeneral business practices of domain registrants (parties who have noprivity of contract with ICANN), I believe there is widespreaddisagreement with your proposal in evidence in the public comment record.
Please find attached 11 comment extracts from the first public commentperiod. I have chosen these 11 comments as being examples that clearlyand unequivocally expresses opposition to your proposed principle, tothe extent stated above. These comments come from a broad range ofstakeholders, including a Congressional Resolution.
I therefore content that the correct assessment is that there is *noconsensus* in favour of this principle.
*We do not appear to have consensus on the following concept*: /Withoutin any way limiting the foregoing absolute prohibition, ICANN shall notregulate services that use the Internet's unique identifiers, or thecontent that such services carry or provide./
The same attached comments express clear support for this concept, andin many cases explicit endorsement of the wording.
The only criticism of it in the public comment was from the intellectualproperty stakeholders spread across BC/IPC.
Since there is both broadly based support and the only objections tothis principle come from a narrow segment of the community, I contendthat the proper assessment is that this principle *has achievedconsensus, stopping short of full consensus*.
Coordinating development, implementation, and enforcement of ConsensusPolicy, as defined by Specification 1 of the New gTLD Registry Agreementand Specification 4 of the 2013 Registrar Accreditation Agreement, iswithin ICANN¹s Mission.
Becky, I'm afraid the only person who keeps coming back to Specification1/Spec 4 as an adequate statement of the bounds of the Mission is you.And whenever you do so, it is challenged.
I don't think you have any basis whatsoever for claiming that this groupas a whole has selected these documents as its view of the best or mostappropriate way to define or describe the parameters of the Mission, letalone the best mechanism for recording those parameters.
I contend that the text in the first and second public comment roundshas a much better claim to represent a consensus view of how to draw thebounds of ICANN's Mission in this area. Unlike those demanding furtherchanges, I offer evidence in support of this claim, in the form of theattached document.
It seems to me deeply regretable and contrary to our declared aims oftransparency and inclusion to disregard both the general tenor andexplicit recommendations of the public comment, and to allow vitallyimportant last minute changes to be pushed through at the behest of asmall group merely because that group has greater stamina for conductinga war of attrition.
Removing the widely popular restriction on ICANN's Mission woulddishonour the public comment. For that reason, this group really oughtnot to support your proposal. Public comment replies should matter.
There being no new proposal that has reached consensus and that stillhonours the public comment response, the only proper course is toproceed with the existing text. Those few that disagree may be invitedsubmit a minority statement, should they wish to do so.
Kind Regards,
Malcolm.
--Malcolm Hutty | tel: +44 20 7645 3523Head of Public Affairs | Read the LINX Public Affairs blogLondon Internet Exchange |_&d=CwIF-g&c=MOptNlVtIETeDALC_lULrw&r=62cJFOifzm6X_GRlaq8Mo8TjDmrxdYahOP8WDDkMr4k&m=meioLcwo4WoKkpjbb8u-zgp25NiZ0ljNmk77u-KFnfI&s=Otta_4g1f9RBJbUkPaovRLs9e9UkRYWqz25dWn6TU1Y&e=
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