Evan, inclusion of the non-ccNSO ccTLDs was an integral (and by some deemed critical) part of the IANA Stewardship transition process, and since IANA serves non-ccNSO ccTLDs, it was felt important that they too can participate in any review. I do not believe
that it is within our (ICANN's) mandate to re-litigate this and change the overall intent. Or at least, that is my understanding.
For the record, currently 17 2ccTLDs out of 249 defined ccTLD are members and the list has been growing at about 5 per year over the last 5 years.
Alan
At 25/07/2019 01:35 AM, Evan Leibovitch wrote:
I understand the problem to be solved but don't like the wording of the replacement.
Why should non-ccNSO-member ccTLD managers even be eligible?
There is precious little incentive for ccTLD registries to have anything to do with ICANN. Eligibility for selection here ought to be part of such incentive.
They should just change "Two" to "Three" in 18.7(a) and drop 18.7(b) entirely. No other rewording is needed.
- Evan
On Wed, 24 Jul 2019 at 18:18, Alan Greenberg <alan.greenberg@mcgill.ca > wrote:
- I was asked to draft the comment for the ALAC's response to the
- Public Comment on the Fundamental Bylaw Change
- ( https://community.icann.org/pages/viewpage.action?pageId=111384218 ).
- The Public Comment closes this Friday at 23:59 UTC. (about 50 hours from now)
- ===================================
- The ALAC supported the current version of the ICANN Bylaws Section
- 18.7(a) and 18.7(b), but understands that it has now proven to be
- difficult to implement.
- The ALAC agrees that the proposed change preserves the intent of the
- original Fundamental Bylaw and supports the change.
- Subject to any new information being brought to the ALAC's attention,
- the current intention is that the ALAC will support this Fundamental
- Bylaw change when it is present to the Empowered Community.
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--
Evan Leibovitch, Toronto Canada
@evanleibovitch or @el56