Hi Alan I have concerns with your statement - and since your reply below, with our statement of principles for the EPDP. As I suggested in my email of 1 August, we need to be VERY clear that we are NOT arguing against implementation a policy that is compliant with the GDPR. We are arguing for other issues that impact on users - WITHIN the umbrella of the GDPR. And if we do not make that very clear, then we look as if we are not prepared to operate within the bounds of the EPDP - which is all about developing a new policy to replace the RDS requirements that will allow registries/registrars to comply with their ICANN contracts and operate within the GDPR framework. So your statement below that ‘yes, other issues trump privacy’ - misstates that. What we are (or should be) arguing for is a balance of rights of access that - to the greatest extend possible - recognises the value of RDS to some constituencies with legitimate purposes - WITHIN the GDPR framework. That implicitly accepts that people/organisations that once had free and unrestricted access to the data will no longer have that open access. And for ALAC generally, I will repeat what I said in my 1 August email - our statement of principles must be VERY clear that we are NOT arguing for a new RDS policy that goes outside of the GDPR. Holly On 3 Aug 2018, at 1:29 am, Alan Greenberg <alan.greenberg@mcgill.ca> wrote:
At 02/08/2018 10:37 AM, Michele Neylon - Blacknight wrote:
Jonathan / Alan
Thanks for the clarifications.
3 - I don't know how you can know what the interests of a user are. The assumption you seem to be making is that due process and privacy should take a backseat to access to data
Privacy is not absolute but based on various other issues. So yes, we are saying that in some cases, the other issues trump privacy. Perhaps we differ on where the dividing line is.
4 - Same as 3. Plenty of ccTLDs never offered PII in their public whois and there weren't any issues with security or stability.
Skipping due process for "ease of access" is a very slippery and dangerous slope.
Both here and in reply to #3, the term "due process" tends to be used in reference to legal constraints associated with law enforcement actions as sanctioned by laws and courts. That is one path to unlocking otherwise private information. A major aspect of the GDPR implementation will be identifying other less cumbersome and restricted processes for accessing WHOIS data by a variety of partners. It will not be unconstrained nor will it be as cumbersome as going to court (hopefully).
Alan
Regards
Michele
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On 02/08/2018, 15:03, "Jonathan Zuck" <JZuck@innovatorsnetwork.org> wrote:
Thanks Michele! 3. Where there appears to be a conflict of interest between a registrant and non-registrant end user, we'll be endeavoring to represent the interests of the non-registrant end user. 4. Related to 3. This is simply an affirmation of the interests of end users in a stable and secure internet and it is those interests we'll be representing. We've included law enforcement because efficiencies regarding their access may come up. Just because there's always a way for them to get to data doesn't mean it's the best way.
Make sense? Jonathan
-----Original Message----- From: GTLD-WG <gtld-wg-bounces@atlarge-lists.icann.org> On Behalf Of Michele Neylon - Blacknight Sent: Wednesday, August 1, 2018 12:34 PM To: Alan Greenberg <alan.greenberg@mcgill.ca>; CPWG <cpwg@icann.org> Subject: Re: [GTLD-WG] [CPWG] [registration-issues-wg] ALAC Statement regarding EPDP
Alan
1 - good 2 - good 3 - I don't understand what that means 4 - Why are you combining law enforcement and private parties? Law enforcement can always get access to data when they follow due process.
Regards
Michele
-- Mr Michele Neylon Blacknight Solutions Hosting, Colocation & Domains https://www.blacknight.com/ https://blacknight.blog/ Intl. +353 (0) 59 9183072 Direct Dial: +353 (0)59 9183090 Personal blog: https://michele.blog/ Some thoughts: https://ceo.hosting/ ------------------------------- Blacknight Internet Solutions Ltd, Unit 12A,Barrowside Business Park,Sleaty Road,Graiguecullen,Carlow,R93 X265,Ireland Company No.: 370845
On 01/08/2018, 17:27, "registration-issues-wg on behalf of Alan Greenberg" <registration-issues-wg-bounces@atlarge-lists.icann.org on behalf of alan.greenberg@mcgill.ca> wrote:
Yesterday, the EPDP Members were asked to present a 1-3 minute summary of their groups position in regard to the EPDP. The following is the statement agreed to by me, Hadia, Holly and Seun.
1. The ALAC believes that the EPDP MUST succeed and will be working toward that end.
2. We have a support structure that we are organizing to ensure that what we present here is understood by our community and has their input and support.
3. The ALAC believes that individual registrants are users and we have regularly worked on their behalf (as in the PDP that we initiated to protect registrant rights when their domains expire), if registrant needs differ from those of the 4 billion Internet users who are not registrants, those latter needs take precedence. We believe that GDPR and this EPDP are such a situation.
4. Although some Internet users consult WHOIS and will not be able to do so in some cases going forward, our main concern is access for those third parties who work to ensure that the Internet is a safe and secure place for users and that means that law enforcement, cybersecurity researchers, those combatting fraud in domain names, and others who help protect users from phishing, malware, spam, fraud, DDoS attacks and such can work with minimal reduction in access to WHOIS data. All within the constraints of GDPR of course.
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