All,

 

I would hope that everyone reads all of the notes sent out on each of the meetings carefully, but just in case, I want to draw your attention to one of the biggest action items that arose as a result of our call this morning (Wednesday night for those in the US).  In addition, I would like to pose a question for consideration by the Working Group.

 

  1. “ACTION ITEM: WG members will go through the guidelines and flag anything they think should not be incorporated into the AGB for subsequent procedures. See guidelines at: https://newgtlds.icann.org/en/applicants/cpe/guidelines-27sep13-en.pdf

 

One of the universal criticisms about the CPE process was that there were additional rules and guidelines that were adopted by the CPE Evaluators (EIU) after all of the applications were submitted.  The Working Group will most likely be recommending that all rules be set forth in the Applicant Guidebook or at the very latest prior to the Application Window opening up.   That message has been delivered loud and clear.

 

Something that can help, however, would be if the Working Group could review the CPE Guidelines that were developed by EIU (at the link above) to see if those Guidelines make sense and whether those Guidelines or something similar to those Guidelines could be formally adopted as part of our recommendations.  Putting aside the fact that these came after applications were submitted, many of the Guidelines make sense.  If we formally approve them, then this will go a long way to helping potential applicants understand how CPE evaluations will work.

 

  1. Clarifying Questions and CPE:  A second item which looks likely to be a recommendation will be that CPE Evaluators should utilize the CQ process (Clarification Questions process) to seek clarifications (but not new material) from the applicant on items where it has questions or issues.  However, would it also be advisable for the CPE Evaluators to be able to send CQs to those that oppose a community application (and that have submitted letters of opposition)?  In other words, CPE Evaluators can ask those that oppose the application questions about themselves and how representative they are.  They can drill down on details about what it is that they oppose, etc.  Those on the call thought this may be a good idea to help weed out frivolous letters of opposition or also emphasize the opposition of real entities, persons and communities. 

 

We believe these should be non-controversial, but would like to input other than that which we got on the call.

 

Best regards,

 

Jeff Neuman

Senior Vice President 

Com Laude | Valideus

D: +1.703.635.7514

E: jeff.neuman@comlaude.com

 

From: Gnso-newgtld-wg <gnso-newgtld-wg-bounces@icann.org> On Behalf Of Emily Barabas
Sent: Thursday, October 10, 2019 7:16 AM
To: gnso-newgtld-wg@icann.org
Subject: [Gnso-newgtld-wg] Notes and Action Items - New gTLD Subsequent Procedures PDP WG - 10 October 2019

 

Dear Working Group members,

 

Please see below the notes from the meeting on 10 October 2019. These high-level notes are designed to help WG members navigate through the content of the call and are not a substitute for the recording, transcript, or the chat, which will be posted at: https://community.icann.org/display/NGSPP/2019-10-10+New+gTLD+Subsequent+Procedures+PDP.

 

On the call, it was suggested that guidelines used by CPE evaluators in the 2012 round should be incorporated into the Applicant Guidebook in subsequent procedures to improve predictability. Please see the notes below for details. As a follow up to the action item below, WG members are encouraged to review the 2012 CPE guidelines (https://newgtlds.icann.org/en/applicants/cpe/guidelines-27sep13-en.pdf) and raise on the mailing list if there are elements of the guidelines that they believe should not be incorporated into the AGB.

 

Kind regards,

Emily

 

 

 

Notes and Action Items:

 

Action Item:

 

ACTION ITEM: WG members will go through the guidelines and flag anything they think should not be incorporated into the AGB for subsequent procedures. See guidelines at: https://newgtlds.icann.org/en/applicants/cpe/guidelines-27sep13-en.pdf

 

 

Notes:

 

1. Welcome and Update to Statements of Interest 

 

2.a. Community Applications

3. AOB

 


The contents of this email and any attachments are confidential to the intended recipient. They may not be disclosed, used by or copied in any way by anyone other than the intended recipient. If you have received this message in error, please return it to the sender (deleting the body of the email and attachments in your reply) and immediately and permanently delete it. Please note that the Com Laude Group does not accept any responsibility for viruses and it is your responsibility to scan or otherwise check this email and any attachments. The Com Laude Group does not accept liability for statements which are clearly the sender's own and not made on behalf of the group or one of its member entities. The Com Laude Group includes Nom-IQ Limited t/a Com Laude, a company registered in England and Wales with company number 5047655 and registered office at 28-30 Little Russell Street, London, WC1A 2HN England; Valideus Limited, a company registered in England and Wales with company number 06181291 and registered office at 28-30 Little Russell Street, London, WC1A 2HN England; Demys Limited, a company registered in Scotland with company number SC197176, having its registered office at 33 Melville Street, Edinburgh, Lothian, EH3 7JF Scotland; Consonum, Inc. dba Com Laude USA and Valideus USA, headquartered at 1751 Pinnacle Drive, Suite 600, McLean, VA 22102, USA; Com Laude (Japan) Corporation, a company registered in Japan having its registered office at Suite 319,1-3-21 Shinkawa, Chuo-ku, Tokyo, 104-0033, Japan. For further information see www.comlaude.com