Dear All,
The ccNSO Council recently clarified its position regarding the exclusion of ccTLD policy related matters from
ICANN’s Reconsideration and Independent Review Processes.
Council sent a letter, following a question from
ICANN Legal concerning the proposed ccTLD retirement policy (ccPDP3-RET), aiming
to ensure that the Board’s consideration process of the proposed retirement policy will be completed. Read
more.
The ccNSO Council is of the view that following disputes and claims should be excluded
from ICANN’s Reconsideration Process as well as from
the Independent Review Process (IRP) for Covered Actions:
- all disputes and claims related to the delegation, transfer and revocation of ccTLDs,
until both ccPDP3-RM and ccPDP4-IDN
have been concluded.
-
the ccTLD retirement-related issues set-out in section 5.2 of the proposed ccTLD Retirement policy and other disputes or claims related to the retirement of ccTLDs
Background
Policy Development Processes (PDP) for
the delegated Top-Level Domains associated with the country codes assigned to countries and territories listed in the ISO 3166-1:
- ccPDP3-RET.
On 28 September 2021, the ccNSO policy recommendation pertaining to the retirement of ccTLDs was submitted for consideration and decision by the
ICANN Board of Directors, as per Annex B, section 14 of the ICANN Bylaws.
Read more here
and here.
-
ccPDP3-RM.
The goal of the ccPDP3 Review Mechanism Working Group
is to report on and recommend a policy for a review mechanism with respect to decisions pertaining to the delegation, transfer, revocation and retirement of ccTLDs.
-
ccPDP4-IDN. The ccPDP4-IDN Working Group
defines the criteria, process, and procedures for (de)selecting IDN ccTLD strings.
-
ccNSO Council Resolution 185-04 from 21 July 2022.
Best regards,
Joke Braeken
joke.braeken@icann.org