Sent: Friday, November 07, 2003 3:55
PM
Subject:
Unsponsored gTLD Registries Statement on Registry
Services
UNSPONSORED REGISTRIES
STATEMENT
Regarding the Proposed Issues Report on Registry
Services
The gTLD Registries Constituency of the Generic Names
Supporting
Organization is currently comprised of the three Sponsored
and six
Unsponsored Registry Operators, including Afilias, Ltd.
(.info),
DotCooperation, LLC (.coop), Global Name Registry (.name),
Musedoma
(.museum), NeuLevel, Inc. (.biz), Public Interest Registry
(.org),
RegistryPro (.pro), SITA (.aero) and VeriSign (.com &
.net).
On behalf of the six Unsponsored gTLD Registry Operators, we
submit the
following statement set forth
below:
BACKGROUND
Each of the gTLD Registry Operators
has entered an agreement with the
Internet Corporation for Assigned
Names and Numbers which governs the
relationship between ICANN and the
individual registry operator. It
should be noted that only the
Unsponsored Registry Agreements have any
provisions regarding "Registry
Services." In addition, the Unsponsored
Registry contracts only
provide that ICANN consent to the price of a new
"Registry Service" so
long as the operation as such service does not truly
threaten the
technical stability of the domain name system . While
this
constituency recognizes the need for an ICANN procedure for
prompt
technical and security impact review of proposed "Registry
Service", with
a predictable, streamlined and appropriate market-based
approach, the
contracts themselves do not give ICANN or any third
party, including any
of the GNSO Constituencies, Supporting
Organizations, Task Forces or
Advisory Committees, the ability to
consent to any other aspects of
"Registry Services." The
applicable contracts do not provide a role for
ICANN with respect to
prices or specifications for services or products
provided by
registries that are not "Registry Services" as defined in
such
agreements.
To the extent that ICANN wishes to
increase its scope and/or powers with
respect to "Registry Services",
it may only do so in accordance with its
agreements or with the express
written consent of those with which it has
contracts (namely, the
Registry Operators and Accredited Registrars). In
addition, the
meaning of such agreements will be governed according to
applicable
legal principles. It cannot be said that any interpretation by
one
party after having entered the agreement is binding on the other
party
or evidences ambiguity. In addition, interpretations
offered by third
parties have no particular relevance in determining
the meaning intended
by the parties to the relevant
agreements. To the extent that there are
any disputes over
the meaning of any terms within ICANN's Agreements with
the registries,
there is a built in dispute resolution process in the
contracts.
Such dispute resolution does not involve any of the
GNSO
Constituencies, Supporting Organizations, Task Forces or even
Advisory
Committees.
SPECIFIC COMMENTS ON ISSUES
REPORT
The gTLD Registries Constituency is extremely concerned
about the issues
raised in the "Excerpt from Draft Version of Staff
Manager's Issues Report
for the Development of a Process for the
Introduction of New or Modified
Registry Services." Not only are
most of those issues irrelevant to the
introduction of "Registry
Services" as defined in the applicable contracts
with gTLD Unsponsored
Registries, but it also inappropriately suggests
that parties other
than ICANN and the gTLD Registry Operators might be
entitled to prevent
the introduction of otherwise lawful new "Registry
Services." As
stated above, many of these issues involve contractual
interpretation
that involve only the parties to those contracts, and not
the ICANN
community as a whole. ICANN may not unilaterally, or through
the
policy development process, promulgate rules or
regulations
interpreting these agreements without the consent of the
registry
operators. Any attempt to do so would be considered a
violation of those
agreements and subject to the dispute resolution
process set forth in such
agreements.
It is the gTLD
Registries Constituency's view that many of the topics
identified in
the "Issues Report" should not be addressed by the GNSO,
Supporting
Organizations or Advisory Committees, but by the ICANN
staff/board and
the gTLD Registry Operators.
IMPACT OF PDP PROCESS ON GTLD
REGISTRIES
To state the obvious, if there is any one constituency
of the GNSO that
this PDP process potentially affects, it is the gTLD
Registries,
specifically the Unsponsored Registries. Not only
does the introduction
of "Registry Services" impact the competitive
environment in which we
operate, the investment which we are able to
make in our businesses, but
ultimately, it affects the very survival of
our businesses. Without a
procedure for prompt technical and
security impact review of proposed
"Registry Service" with a
predictable, streamlined and appropriate
market-based approach by which
ICANN exercises its rights with respect to
Registry Services, the
future of domain name registries is in jeopardy.
RESERVATION OF
RIGHTS
As the ICANN has posted only a portion of the Issues Report,
the gTLD
Registries reserve the right to comment on the complete Issues
Reports,
when such report is released. In addition, the comments
contained herein
do not address the substance of the issues raised in
the report, but
merely provide, as we were asked to do, an impact
statement.
Afilias, Ltd.
Global Name
Registry
NeuLevel, Inc.
Public Interest
Registry
RegistryPro, Inc.
VeriSign,
Inc.
Jeffrey J. Neuman
Chair, gTLD Registries
Constituency
e-mail: Jeff.Neuman@Neustar.us