I am good with this Marc (like you need my blessing, lol). Slightly different, this gives like 90 days of testing more or less. This is under normal circumstances enough. However, we might be dealing with some other ICANN-related stuff. So this 90 day period is going to be short actually. This itself is no issue I suspect. But we are dealing with some rather old data, far older then .ORG ever faced. When we migrated data over several new backends we had a plan B and C. Does Verisign have a plan B? Plan B in the sense we hit issues with on OTE that the IRT never anticipated. As an IRT I think we covered a ton of stuff here, but there always edge cases and it is not up to us to discuss them or have solutions. But what are we gonna do with the edge cases and what if we do encounter a major problem the IRT did not anticipate? Thanks! Theo Anderson, Marc schreef op 2016-10-06 08:30 PM:
Dennis,
I have some additional feedback on the thick transition policy document. Section 2.3 in this version reads:
2.3 By 1 May 2017, Registry Operator MUST provide to applicable Registrars and ICANN, documentation reflecting the system changes necessary to support the requirements of Sections 2.1 concerning relevant Operating Test Environments (OT&E) available to Registrars and by 1 August 2017 for Section 2.2.
I believe one of the intents of this section is to require Registries to have the OT&E environment ready for Registrars to begin testing with contacts starting 1 May 2017. This is what we’ve discussed on IRT calls and what is represented in the timeline chart. It has been pointed out to me that reading this section it is not clear that Registries are required to start supporting contact operations in OT&E on 1 May 2017.
I suggest splitting this out into two sections one for the documentation requirement, and one for the OT&E requirement. How about something along these lines:
_By 1 May 2017, Registry Operator MUST provide to applicable Registrars and ICANN, documentation reflecting the system changes necessary to support the requirements of Sections 2.1_
_ _
and
Registry Operator MUST deploy an EPP mechanism in relevant Operating Test Environments (OT&E) by 1 May 2017 for registrars to test the migration of registration data for Existing Domain Names (i.e., transition from Thin to Thick).
I think that makes it a little clearer what is required and when.
Thank you,
Marc
FROM: gnso-impl-thickwhois-rt-bounces@icann.org [mailto:gnso-impl-thickwhois-rt-bounces@icann.org] ON BEHALF OF Dennis Chang SENT: Saturday, October 01, 2016 12:58 PM TO: gnso-impl-thickwhois-rt@icann.org SUBJECT: [Gnso-impl-thickwhois-rt] Thick Transition policy draft v5 for IRT review
Dear Thick Whois IRT,
Attached is the draft transition policy document for IRT review.
Now version 5 both clean and redlined.
As before, please provide your comments prior to the meeting if possible.
—
Kind Regards,
Dennis S. Chang
GDD Services & Engagement Program Director
+1 213 293 7889
Skype: dennisSchang
www.icann.org [1] "One World, One Internet"
Links: ------ [1] http://www.icann.org _______________________________________________ Gnso-impl-thickwhois-rt mailing list Gnso-impl-thickwhois-rt@icann.org https://mm.icann.org/mailman/listinfo/gnso-impl-thickwhois-rt