Isn’t that exactly what the final report envisions? 

Sent from Darcy's iPhone. Please excuse errors.

On Nov 8, 2017, at 02:54, theo geurts <gtheo@xs4all.nl> wrote:

Hi all,

A question to the IRT and staff.

SPECIFICATION 2: CUSTOMER DATA ACCURACY PROGRAM SPECIFICATION

I think I understand most of the requirements here. What am I not sure of, as it is fuzzy, what is a provider supposed to do when Registrant activates a privacy service for a domain name that is already registered, has not been transferred and has not received updates?

Currently, I think the language says the provider shall do nothing except turning on the privacy service.

Do we agree this is how it should work?

Thanks,

Theo Geurts

Below the current language in the agreement.

Except as provided for in Section 3 below, within fifteen (15) days of (i) the registration
of a Registered Name for which Provider is providing the Services, (ii) the transfer of
the sponsorship of a Registered Name for which Provider is providing the Services, or
(iii) any change in the Customer information associated with a Registered Name for
which Provider is providing the Services, Provider will, with respect to the Customer
account holder contact information related to such Registered Name:









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