Right – the only problem being that FAR Section 45.101 definition may not be the accurate definition since it expressly excludes intellectual property.
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Anne E. Aikman-Scalese, Of Counsel |
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Lewis Roca Rothgerber LLP |
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One South Church Avenue Suite 700 | Tucson, Arizona 85701-1611 |
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(T) 520.629.4428 | (F) 520.879.4725 |
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From: accountability-cross-community-bounces@icann.org [mailto:accountability-cross-community-bounces@icann.org]
On Behalf Of Paul Rosenzweig
Sent: Tuesday, September 29, 2015 1:55 PM
To: accountability-cross-community@icann.org
Subject: [CCWG-ACCT] More on the Legal Grounds for the IANA transfer
The letter yesterday from Senator Cruz et.al, referenced a legal opinion from the General Counsel at the Department of Commerce. I had not seen that letter before and wasn’t even aware that it had been issued. I managed to track it down.
Here is a link, for those who are interested in the question: getliberty.org/wp-content/uploads/2015/06/15.06.11-Strickling-Response-on-NTIA-and-IANA-Property-Letter.pdf
Paul
Paul Rosenzweig
Red Branch Consulting, PLLC
509 C St. NE
Washington, DC 20002
paul.rosenzweig@redbranchconsulting.com
O: +1 (202) 547-0660
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Skype: paul.rosenzweig1066