All,

 

I’m responding to action item #3 from the 20 Feb meeting.  That action item asks us to review the staff proposed language:

 

 

PROPOSED RECOMMENDATION FOR EPDP TEAM CONSIDERATION

Based on input received, EPDP Support Staff recommends the EPDP Team to consider the following recommendation:

Following the implementation of the PPSAI recommendations, the EPDP Team recommends that EPDP Phase 1 recommendation #14 (“In the case of a domain name registration where an "affiliated" privacy/proxy service used (e.g. where data associated with a natural person is masked), Registrar (and Registry where applicable) MUST include in the public RDDS and return in response to any query full non-personal RDDS data of the privacy/proxy service, which MAY also include the existing privacy/proxy pseudonymized email.”) applies to all accredited privacy and proxy services. 

 

 

 

 

I’m ok with the principle that we as a working group already agreed in phase 1 that privacy and proxied data should NOT also be redacted.  In phase 1 the best we could do at the time was a recommendation to not redact where an “affiliated” service was used.  In theory, once privacy/proxy services are accredited that scope could be expanded.  What we heard from the Privacy/Proxy implementation is that “the PP IRT was considering a proposed requirement that all privacy and proxy service providers include a label, which would flag each registration as a privacy/proxy registration and identify which provider is associated with that registration, in the existing WHOIS output “registrant organization” field.”

 

I’m concerned that the draft text isn’t clear and is very conditional.  I think this text is intended to become a new EPDP phase 2 recommendation (rec 20?).  That recommendation would replace, modify or otherwise supersede the EPDP phase 1 recommendation #14 (that hasn’t yet been implemented), but only when/if the Privacy/Proxy implementation produces a new policy that results in domain registration data that clearly identifies that it is a privacy/proxy registration, thus enabling an automated determination by the registrar (and registry if applicable) NOT to redact the data.  Otherwise EPDP phase 1 rec #14 stands.

 

 

Is this everyone else’s understanding?  As I said, the principle sounds fine, but I don’t think the text reflects my recollection of what we discussed and I’m concerned about the squishy conditional nature of this new recommendation.

 

 

 

Thanks,

Marc

 

 

 

 

From: Gnso-epdp-team <gnso-epdp-team-bounces@icann.org> On Behalf Of Caitlin Tubergen
Sent: Sunday, February 23, 2020 5:59 PM
To: gnso-epdp-team@icann.org
Subject: [EXTERNAL] [Gnso-epdp-team] Notes and action items - EPDP Meeting #43 - Thursday, 20 February 2020

 

Dear EPDP Team:

 

Please find below the notes and action items from EPDP Meeting #43 on Thursday, 20 February 2020.

 

As a reminder, the next plenary EPDP Team meeting will be Thursday, 27 February at 14:00 UTC. The small team of volunteers for automation use cases will meet on Tuesday, 25 February at 14:00 UTC.

 

Thank you.

 

Best regards,

 

Marika, Berry, and Caitlin

 

Action Items

 

  1. EPDP Team to review the Priority 2 compilation overview and timetable in detail and flag any major scheduling concerns by Tuesday, 25 February
  2. EPDP Team members are encouraged to provide feedback on Priority 2 topics via the list in advance of the scheduled date(s) for discussion.
  3. EPDP Team to review the EPDP Support Staff’s proposed updated recommendation for the display of information of affiliated vs. accredited privacy / proxy providers by Wednesday, 26 February COB. Specifically, if any EPDP Team members cannot live with the updated recommendation as proposed, please provide an alternate proposal to the list by Wednesday, 26 February COB.
  4. For those EPDP Team members interested in participating in the small team discussion on automation use cases, please attend the meeting on Tuesday, 25 February at 14:00 UTC. EPDP Support Staff sent a calendar invite to the Team; if you did not receive the invite and would like to attend, please reach out to gnso-secs@icann.org.

 

EPDP Phase 2 - Meeting #43

Proposed Agenda

Thursday, 20 February 2020 at 14.00 UTC

 

1.                            Roll Call & SOI Updates (5 minutes)

 

2.                            Confirmation of agenda (Chair)

 

3.                            Welcome and housekeeping issues (Chair) (5 minutes)

  1. ICANN67 Update

 

EPDP Team Feedback:

  1. ICANN Belgian DPA Update
  1. Update from legal committee

 

4.       Timeline review and priority 2 worksheet compilation (20 minutes)

a)       Priority 2 worksheet compilation overview

b)      Consider input received to date

c)       EPDP team input

d)      Confirm volunteers for Automation Use Cases Small Team

e)      Confirm next steps

 

5.       Display of information of affiliated vs. accredited privacy / proxy providers (priority 2) (45 minutes)

  1. EPDP Team to review ICANN Org feedback

 

  1. Consider Support Staff proposed recommendation
  1. Confirm next steps

 

6.                            Wrap and confirm next EPDP Team meeting (5 minutes):

  1. Thursday 27 February 2020 at 14.00 UTC (topics: data retention & feasibility of unique contacts to have a uniform anonymized email address)
  2. Confirm action items
  3. Confirm questions for ICANN Org, if any