I agree that this would be an important addition to the existing draft charter. Sincerely, Zahid Jamil Barrister-at-law Jamil & Jamil Barristers-at-law 219-221 Central Hotel Annexe Merewether Road, Karachi. Pakistan Cell: +923008238230 Tel: +92 21 5680760 / 5685276 / 5655025 Fax: +92 21 5655026 <http://www.jamilandjamil.com/> www.jamilandjamil.com Notice / Disclaimer This message contains confidential information and its contents are being communicated only for the intended recipients . If you are not the intended recipient you should not disseminate, distribute or copy this e-mail. Please notify the sender immediately by e-mail if you have received this message by mistake and delete it from your system. The contents above may contain/are the intellectual property of Jamil & Jamil, Barristers-at-Law, and constitute privileged information protected by attorney client privilege. The reproduction, publication, use, amendment, modification of any kind whatsoever of any part or parts (including photocopying or storing it in any medium by electronic means whether or not transiently or incidentally or some other use of this communication) without prior written permission and consent of Jamil & Jamil is prohibited. From: owner-bc-gnso@icann.org [mailto:owner-bc-gnso@icann.org] On Behalf Of HASSAN Ayesha Sent: Wednesday, October 21, 2009 4:14 PM To: BC Secretariat; BC gnso Subject: RE: [bc-gnso] Clarification as to which draft Charter to comment upon Dear colleagues, I would like to suggest the addition of clear language in 3.3.2 to ensure that business associations like ICC and others who have members who belong to other ICANN constituencies are not excluded from BC membership because of the range of their membership. See suggested addition below in yellow highlighting and underlined. Text to this effect would ensure that business organizations like ICC, USCIB and others can remain BC members. Best regards, Ayesha 3.3. Membership Criteria 3.3.1 In keeping with the selective membership criteria of other GNSO constituencies, the Business Constituency represents the interests of a specific sector of Internet users. The purpose of the Constituency is to represent the interests of businesses described in Article 3.1. 3.3.2 To avoid conflicts of interest this excludes: not for profit entities excepting trade associations representing for profit entities; entities whose prime business is a registry, registry operator, prospective registry, registrar, reseller, other domain name supplier interests, or similar; other groups whose interests may not be aligned with business users described in Article 3.1. Trade associations whose members may also include companies/associations that belong to or could belong to any of the other ICANN constituencies are not excluded from BC membership. _____ From: owner-bc-gnso@icann.org [mailto:owner-bc-gnso@icann.org] On Behalf Of BC Secretariat Sent: mercredi 21 octobre 2009 11:19 To: BC gnso Subject: [bc-gnso] Clarification as to which draft Charter to comment upon Posted on behalf of the BC Officers Dear Members, Consequent to some queries regarding which draft of the Charter members should comment upon. For clarification and to save the little time left in terms of the Charter submission please note that the Charter under discussion and for comments is the 'BC charter 2009 v16.doc' which is attached for members' convenience. BC Officers