On behalf of the GNSO Intellectual Property Constituency (IPC), see attached for comments on ICANN’s proposed Reserve Fund replenishment strategy. I am submitting these comments on the IPC’s behalf in my capacity as policy participation
coordinator.
Best regards,
Brian Scarpelli
Senior Global Policy Counsel
+1 517-507-1446 |
bscarpelli@actonline.org
ACT | The App Association
1401 K St NW (Ste 501)
Washington, DC 20005