This one we discussed on the call extensively and I think we already discussed making sure that the there be a balance of support and opposition. If an Applicant demonstrates support from the community and earns full credit on Support,
then the opposition MUST be substantial in order get points taken off. One letter from one individual or group should not necessarily be enough to lose a point (unless that group is substantial in terms of representing the community).
Here is what the FTI Group states on Opposition.
Sub-Criterion 4-B: Opposition
To receive two points for Opposition, an application must have no opposition of relevance.197 To receive one point, an application may have relevant opposition from no more than one group of non-negligible size.198
Nine CPE reports recorded one point for Opposition.199 In each instance, the CPE Provider determined that the underlying applications received relevant opposition from no more than one group of non-negligible size. Opposition
was deemed relevant on several grounds: (i) opposition was from a community not identified in the application but had an association to the applied-for string;200 (ii) the application was subject to a legal rights objection (LRO);201
or (iii) opposition was not made for any reason forbidden by the Applicant Guidebook, such as competition or obstruction.202
Seventeen CPE reports recorded the full two points for Opposition.203 The CPE Provider determined that the applications corresponding to 17 CPE reports did not have any letters of relevant opposition.204 Ultimately,
FTI observed that the CPE Provider engaged in a consistent evaluation process that strictly adhered to the criteria and requirements set forth in the Applicant Guidebook and CPE Guidelines. FTI observed no instances where the CPE Provider's evaluation process
deviated from the applicable guidelines pertaining to the Community Endorsement criterion. Based on FTI's investigation, FTI concludes that the CPE Provider consistently applied the Community Endorsement criterion in all CPEs. While the CPE Provider awarded
different scores to different applications, the scoring decisions were based on the same rationale, namely a failure to satisfy the requirements that are set forth in the Applicant Guidebook and CPE Guidelines.
197 Id. at Pg. 4-17.
198 Id.
199 MERCK (KGaA) CPE Report (https://www.icann.org/sites/default/files/tlds/merck/merck-cpe-1-980- 7217-en.pdf); MERCK (RH) CPE Report (https://www.icann.org/sites/default/files/tlds/merck/merck-cpe-1- 1702-73085-en.pdf); SHOP
(Commercial Connect) CPE Report (https://www.icann.org/sites/default/files/tlds/shop/shop-cpe-1-1830-1672-en.pdf); GAY CPE Report (https://www.icann.org/sites/default/files/tlds/gay/gay-cpe-1-1713-23699-en.pdf); GAY 2 CPE Report (https://www.icann.org/sites/default/files/tlds/gay/gay-cpe-rr-1-1713-23699-en.pdf);
LLP CPE Report (https://www.icann.org/sites/default/files/tlds/llp/llp-cpe-1-880-35508-en.pdf); LLC CPE Report (https://www.icann.org/sites/default/files/tlds/llc/llc-cpe-1-880-17627-en.pdf); INC CPE Report (https://www.icann.org/sites/default/files/tlds/inc/inc-cpe-1-880-35979-en.pdf);
and MUSIC (.music LLC) CPE Report (https://www.icann.org/sites/default/files/tlds/music/music-cpe-1-959-51046-en.pdf). No CPE reports recorded zero points for Opposition. 200 LLP CPE Report (https://www.icann.org/sites/default/files/tlds/llp/llp-cpe-1-880-35508-en.pdf);
LLC CPE Report (https://www.icann.org/sites/default/files/tlds/llc/llc-cpe-1-880-17627-en.pdf); and INC CPE Report (https://www.icann.org/sites/default/files/tlds/inc/inc-cpe-1-880-35979-en.pdf).
201 MERCK (KGaA) CPE Report (https://www.icann.org/sites/default/files/tlds/merck/merck-cpe-1-980- 7217-en.pdf); and MERCK (RH) CPE Report (https://www.icann.org/sites/default/files/tlds/merck/merckcpe-1-1702-73085-en.pdf).
202 GAY CPE Report (https://www.icann.org/sites/default/files/tlds/gay/gay-cpe-1-1713-23699-en.pdf); GAY 2 CPE Report (https://www.icann.org/sites/default/files/tlds/gay/gay-cpe-rr-1-1713-23699-en.pdf); SHOP (Commercial Connect)
CPE Report (https://www.icann.org/sites/default/files/tlds/shop/shop-cpe-1- 1830-1672-en.pdf); and MUSIC (.music LLC) CPE Report (https://www.icann.org/sites/default/files/tlds/music/music-cpe-1-959-51046-en.pdf).
203 ART (eflux) CPE Report (https://www.icann.org/sites/default/files/tlds/art/art-cpe-1-1675-51302- en.pdf); MUSIC (DotMusic Ltd.) CPE Report (https://www.icann.org/sites/default/files/tlds/music/musiccpe-1-1115-14110-en.pdf);
ECO CPE Report (https://www.icann.org/sites/default/files/tlds/eco/eco-cpe-1- 912-59314-en.pdf); HOTEL CPE Report (https://www.icann.org/sites/default/files/tlds/hotel/hotel-cpe-1- 1032-95136-en.pdf); OSAKA CPE Report (https://www.icann.org/sites/default/files/tlds/osaka/osaka-cpe1-901-9391-en.pdf);
SPA CPE Report (https://www.icann.org/sites/default/files/tlds/spa/spa-cpe-1-1309- 81322-en.pdf); RADIO CPE Report (https://www.icann.org/sites/default/files/tlds/radio/radio-cpe-1-1083- 39123-en.pdf). TENNIS CPE Report (https://www.icann.org/sites/default/files/tlds/tennis/tennis-cpe-1-
1723-69677-en.pdf); MLS CPE Report (https://www.icann.org/sites/default/files/tlds/mls/mls-cpe-1-1888- 47714-en.pdf); CPA (USA) CPE Report (https://www.icann.org/sites/default/files/tlds/cpa/cpa-cpe-1-1911- 56672-en.pdf); CPA (AU) CPE Report (https://www.icann.org/sites/default/files/tlds/cpa/cpa-cpe-1-1744-
1971-en.pdf); GMBH CPE Report (https://www.icann.org/sites/default/files/tlds/gmbh/gmbh-cpe-1-1273- 63351-en.pdf); IMMO CPE Report (https://www.icann.org/sites/default/files/tlds/immo/immo-cpe-1-1000- 62742-en.pdf); SHOP (GMO) CPE Report (https://www.icann.org/sites/default/files/tlds/shop/shop-cpe-1-
890-52063-en.pdf); KIDS CPE Report (https://www.icann.org/sites/default/files/tlds/kids/kids-cpe-1-1309- 46695-en.pdf); TAXI CPE Report (https://www.icann.org/sites/default/files/tlds/taxi/taxi-cpe-1-1025- 18840-en.pdf); and ART (Dadotart) CPE Report (https://www.icann.org/sites/default/files/tlds/art/art-cpe1-1097-20833-en.pdf).
204 Id.
Jeff Neuman
Senior Vice President
Com Laude | Valideus
D: +1.703.635.7514
From: Jamie Baxter <jamie@dotgay.com>
Sent: Friday, October 11, 2019 12:41 PM
To: Jeff Neuman <jeff.neuman@comlaude.com>; 'Emily Barabas' <emily.barabas@icann.org>; gnso-newgtld-wg@icann.org
Subject: RE: [Gnso-newgtld-wg] Community Priority Evaluations Review of Supplementary Guidelines
Good afternoon Working Group members
On the last call regarding Community Applications, everyone was asked to review the EIU’s CPE Guidelines to see if there are any items that need further scrutiny before being
added into the AGB for subsequent procedures.
My apologies for the length of this response, but hopefully these notes help provide insight on how the AGB language was interpreted from a Community Applicant perspective, and
what things continue to need further clarification before the next AGB is published.
1-A Delineation
Page 4: “Delineation”
The non-exhaustive list the EIU added into the CPE guidelines that denotes elements of straight-forward member definitions contains a clear bias towards professional and trade
communities. The AGB did not carry this kind of bias, and it would be a concern if the next AGB projected this kind of bias around delineation, especially since many linguistic and cultural communities are straight-forward in the eyes of their members but
do not use a membership card system.
Can review be done to determine what other forms of delineation were accepted in CPE scoring from all community applications in the 2012 round? And can those examples be included
in the examples already noted by the EIU?
2-A Nexus
“Identify”
The AGB very clearly states that “”identify” means that the applied for string closely describes the community
or the community members,” providing two distinct paths to establish if an applied for string identifies the community. These paths are not interconnected or contingent on one another in the AGB, but instead suggest separate routes to establishing nexus.
My interpretation of this AGB language is that an applicant can select a string that is a known identifier of the community, or a string that identifies the specific members
of that community. Additionally, no rule is placed on the “known identifier of the community” as needing to be the only identifier of that community.
The AGB additionally provides two examples to help illustrate the definition of “identity” for each of the possible paths.
What the AGB does not do with these examples is suggest that both paths must be successfully maneuvered in order to achieve 2 points. The definition of “identify” in the AGB
suggests the applicant had the choice to design their application around a name of the community (TENNIS community), or the member attributes in the community (TENNIS players, TENNIS coaches, etc).
This is clearly noted in example 1 where 2 points were achieved when it’s confirmed the string identifies the actual community members. The second example denying 2 points for
.TENNIS however does not further elaborate on how 2 points could have been achieved in the case of describing the TENNIS community.
The second example could suggest that if an internationally recognized tennis club applied for .TENNIS instead of a local tennis club, for use among those in the wider TENNIS
community (broadcasters, networks, physical therapists, vendors, fans, etc – all tertiary parts of the community that also have other identifiers), then it could have been successful on the path of “closely describes the community.” When the average person
thinks of the TENNIS community they could reasonably include the list above, yet these participants in the TENNIS community may not identify naturally with the word TENNIS (i.e. a tennis broadcaster that also covers football).
Although the EIU’s CPE guidelines are silent on establishing further clarity around the AGB language related to the two paths to “identify,” the practice of the EIU did not align
with the flexibility of the AGB. The EIU appears to have conflated the two distinct paths as one and made them both requirements under the definition of “identity,” or at least imposed the requirement that the string be a term the community members naturally
call themselves. This may have happened because the two examples outlined above run sequentially in the AGB, causing confusion without distinction.
Given the unfortunate implementation route taken by the EIU, it should be more clear in the AGB what is meant by “identify means that the applied for string closely describes
the community or the community members.” I believe it offers two separate paths to success for community applicants, one based on a widely used and identifiable name of the community (known by those inside & outside the community) and the other based
on the identity of the actual members in the community.
4-B Opposition
“Relevance”
As discussed on the last call, guidance for “relevance” in 4-B must include a balance of opposition in relation to documented support, and not just an isolated determination
of whether the opposing entity is part of the community explicitly or implicitly addressed. One misaligned community member/entity should not have the power to impact CPE scores of a largely aligned community, yet that was the EIU’s interpretation and practice
in the 2012 round.
To illustrate this point, if an applicant has hundreds of organizations from around the world supporting an application, and those endorsements represent the voices of tens of
thousands of other local and regional organizations, then an expression of opposition from one single, small and even locally based organization from within the defined community among the thousands globally expressing support should not be able to put 1 of
the 2 CPE points for this criteria in jeopardy.
Cheers
Jamie
Jamie Baxter
dotgay LLC
A Certified LGBT Business Enterprise (LGBTBE)
Please join us on Facebook at
www.facebook.dotgay.com
and follow us at
www.twitter.com/dotgay
From: Gnso-newgtld-wg [mailto:gnso-newgtld-wg-bounces@icann.org]
On Behalf Of Jeff Neuman
Sent: Thursday, October 10, 2019 2:54 PM
To: Emily Barabas; gnso-newgtld-wg@icann.org
Subject: [Gnso-newgtld-wg] Community Priority Evaluations Review of Supplementary Guidelines
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.
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.
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
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
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