Resending as the attachment doesn’t seem to have come through.
From: Gnso-epdp-team <gnso-epdp-team-bounces@icann.org>
On Behalf Of Anderson, Marc via Gnso-epdp-team
Sent: Thursday, October 3, 2019 4:42 PM
To: gnso-epdp-team@icann.org
Subject: [EXTERNAL] [Gnso-epdp-team] Proposed letter from EPDP to ICANN board
All,
Pursuant to action item #8 from the LA face-to-face meeting (see below), the Contracted party team members drafted the attached letter to the ICANN Board. The goal as stated in the letter is to seek input from the Board on the scope of operational
responsibility and level of liability (related to decision-making on disclosure of non-public registration data) they are willing to accept on behalf of the ICANN organization along with any prerequisites
that may need to be met in order to do so.
Best,
Marc
From: Gnso-epdp-team <gnso-epdp-team-bounces@icann.org>
On Behalf Of Caitlin Tubergen
Sent: Thursday, September 12, 2019 8:39 PM
To: gnso-epdp-team@icann.org
Subject: [EXTERNAL] [Gnso-epdp-team] High-level notes and action items - EPDP Team F2F - 9-11 September
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
--
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. |
|
|
||||
|
Use Look at other Models |
||||
|
ANTICIPATED BENEFITS: Certainty to Process Cost
Savings |
||||
|
|
||||
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
|
|
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 |