Dear EPDP Team:
Below, please find high-level notes and action items from the face-to-face meeting.
As a reminder, the next EPDP Phase 2 meeting will be Thursday, 19 September at 14:00 UTC. The Legal Committee will meet on Tuesday, 17 September at 14:00 UTC.
Wishing everyone safe travels home.
Best regards,
Marika, Berry, and Caitlin
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Action Items
High-level Notes
ACCREDITATION–Building Block F
Straw Proposals Presented prior to Discussion: Milton Mueller and Alex Deacon
Outcome / Agreements
Discussion Notes
Purpose | · Remove burden from entity providing disclosure · Provide code of contract or series of contracts · Spread liability (without diminishing protections for data subjects) · Provide process pathway to track data / monitoring |
Who serves as accreditor | · Entity develops request or proposal · Competent authority with legal basis; demonstrates consistency with Article 42 and 43 · EPDP sets outline and principles and assessment activities |
Accreditor Tasks | Authentication – confirm identity Establish preliminary determination on lawful basis Consider how to manage volume requests NOTE: Authorization process is not necessarily with the accreditor. Sub-team will consider whether Authorization should rest with another entity or with the accreditor or unique criteria |
Role: Certifying Accreditor | No Agreement, options discussed: · ICANN – difficult because they process of data · Independent Data Trust · DPA |
Role: Accreditation Body(ies) | · WIPO · Law enforcement–each country would have one entry point. i.e. in U.S. it might be FBI or in other countries, it would be the national country. · Europol and Interpol–agree this is not possible for law enforcement agencies, at least not for certain countries · Limit # of accrediting bodies to be able to manage system · Create track for entities that are not accredited |
Role: Auditor | Agree that auditing is needed; unclear who should conduct audits |
Role & Process: De-Accreditation | EPDP agrees that de-accreditation should be a component Accreditor must be compliant with DPAs Need to establish how to do this, such as: · Safeguards, prevent entity from setting up shop next door · Remedial action, i.e. may not shut down immediately, some corrective action is possible |
Decision to Disclose | Joint Controller Who Balances? Entity with Legal Basis | ||
Options: Who Decides? {Note: EPDP did not decide on preferred option in LA. Group will consider options and potentially write a letter to Board to frame questions} | JC Agreement § Responsibilities identified in agreement; CPs cannot increase their risk § Must be correct to manage liability / risk § Liability is clearly defined (ICANN or CPs) § Establish Joint and Severable Liability | ||
Contracted Parties | ICANN | Independent Data Trust | |
PROS/CONS + Most accountable to data subject + Has physical access to data - Lack of consistency with hundreds of CPs applying policy to make decision to disclose - ICANN unable to indemnify CPs (maybe, shared risk possible) + Bird & Bird Memo states that CPs are controllers and retain liabilities | PROS/CONS + Reduce risk of liability to CPs + Provides consistency + One party that performs decision and auditing role might be preferable + Build body of work / decisions consistently | | Considerations for all Options Standardized clearing house Timely Response Insurance to alleviate risk or establishing risk fund may be possible |
| ICANN sets rules so it has to be a joint controller | | SSAD Not required by law Goal = predictable Easier |
Building Block N, Financial Sustainability
Outcome: Staff to develop Draft 1.0 with implementation guidelines consistent with the F2F discussion.
Note: The EPDP noted the need to make SSAD Determination and consider cost-benefit analysis before finalizing approach to financial sustainability.
Set Up | | Cost of Providing and Making Available an Investigative Tool | | Cost Sharing Share cost across the system Direct and indirect beneficiaries Share costs across the system CPs contribute intangible resources via in-house staff, etc. |
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Use Look at other Models | ||||
ANTICIPATED BENEFITS: Certainty to Process Cost Savings | ||||
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FLIP CHARTS
Each stakeholder group contributed principles / ideas to ignite the conversation.
SSAC All participants have costs:
Issue subsidies? Letting market work RDS as basic service / core service Passing costs to requestors: May burden victims. | GAC
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CPH
| ALAC Consider: · Costs · Cost Savings · Accreditation costs borne by users · Charge / Requestor: consideration of public interest exception · Chares passed through to registrants seems inevitable (it’s part of the infrastructure) |
NCSG Costs [potential funder]
| CSG OK for cost-sharing to vary by volume, requestor type, legal obligation, etc. Fees on per-request basis are problematic Must not create disincentives to costs reductions |