[[--Translated text (es -> en)--]] Subject: Re: RV: ICANN News Alert - ICANN Seeks Public Comment on 2013 RAA Data Retention Specification Data Elements and Legitimate Purposes for Collection and Retention From: asoto@ibero-americano.org A link on this topic to discuss. Best Regards Alberto Soto From: Fatima Cambronero [mailto: fatimacambronero@gmail.com] Posted on: by saturday, March 22, 2014 8:54 pm To: Alberto Soto CC: Dr. Alejandro Pisanty Baruch; LACRALO Espaol Subject: Re: [lac-discuss-en] Re: [ALAC-Announce] ICANN News Alert - ICANN Seeks Public Comment on 2013 RAA Data Retention Data Elements Specification and Legitimate Purposes for Collection and Retention Alejandro, Alberto, I share the view of that we are facing an interesting topic deberamos to analyze and speak out from our region. The da Monday 24 at 15 pm. Local Singapore estprevista a Table Round about Directory Services Registration: present and future. If While this issue is not specifically on the agenda estincluido of the meeting is closely related perhaps a topic that appears in the discussions. It will be good to participate in this Roundtable to hear and discuss the comments you may have about it. I understand that the hours of our countries is in a strip a little complicated. I'll be attending this meeting. If there sb who want to comment or view to get, I offer to transmit. This is the link to the agenda of the Roundtable: https://community.icann.org/display/atlarge/At-Large+Roundtable+on+Registrat ion + Directory + Services% 3A + Now + and + the + Future + - +2014.03.24 + - + Singapore That link to the Adobe Connect: https://icann.adobeconnect.com/sin49-vip/ (This is the same for all meetings of At-Large of the week). Best Regards, Fatima Cambronero 3/21/2014 23:40 GMT-03: 00 Alberto Soto <asoto@ibero-americano.org <mailto:asoto@ibero-americano.org> >: I think the interest should be sufficient. It is just one of the topics make the existence of end-user oriented entities Internet ie U.S.. Surely there are different laws for each country, at least in some substantial tems. Although there are countries that do not have an legislation. There are 30 days for comments, there is little time for the importance of the subject. Suggest that very quickly the respective ALS each country of our Regin, read the history of this item, then inform the legislacin force in their respective country, with reviews. Also I suggest that for this first phase, the closing date is the Friday Prximo 28/03/2014. Also suggest that those who are participating in Singapore, are exempt from participate, have very important things to do for us. Best Regards Alberto Soto ----- Original Message ----- From: lac-discuss-es-bounces@atlarge-lists.icann.org <mailto:lac-discuss-es-bounces@atlarge-lists.icann.org> [Mailto: lac-discuss-es-bounces@atlarge-lists.icann.org <mailto:lac-discuss-es-bounces@atlarge-lists.icann.org> ] On behalf of Dr. Alejandro Pisanty Baruch Posted on: Friday, March 21, 2014 11:25 pm To: lac-discuss-es@atlarge-lists.icann.org <mailto:lac-discuss-es@atlarge-lists.icann.org> Subject: [lac-discuss-en] Re: [ALAC-Announce] ICANN News Alert - ICANN Seeks Public Comment on Data Retention RAA 2013 Specification and Data Elements Legitimate Purposes for Collection and Retention Colleagues, called Annex may have significant legal implications in our region.Let us summon experts in protection of personal data and other issues related to data retention (Computational forensics, law telecommunications, Civil Marco in the case of Brazil) to form a opininslida, if there is enough interest. Alejandro Pisanty --------------------------- Dr. Alejandro Pisanty UNAM Faculty of Chemistry 3000 University Avenue, 04510 Mexico DF Mexico +52-1-5541444475 FROM ABROAD SMS +525541444475 +525541444475 FROM MEXICO Blog: http://pisanty.blogspot.com LinkedIn: http://www.linkedin.com/in/pisanty Join the LinkedIn group UNAM, http://www.linkedin.com/e/gis/22285/4A106C0C8614 Twitter: http://twitter.com/apisanty ---- >> Join ISOC Mexico, http://www.isoc.org . . . . . . . . . . . . . . . . ________________________________________ From: alac-announce-bounces@atlarge-lists.icann.org <mailto:alac-announce-bounces@atlarge-lists.icann.org> [Alac-announce-bounces@atlarge-lists.icann.org <mailto:alac-announce-bounces@atlarge-lists.icann.org> ] On behalf of ICANN At-Large Staff [staff@atlarge.icann.org <mailto:staff@atlarge.icann.org> ] Sent on: Friday, March 21, 2014 20:00 To: ALAC-Announce@atlarge-lists.icann.org <mailto:ALAC-Announce@atlarge-lists.icann.org> Subject: [ALAC-Announce] ICANN News Alert - ICANN Seeks Public Comment on RAA 2013 Specification Data Retention Data Elements and Legitimate Purposes for Collection and Retention [Http://www.icann.org/images/gradlogo_bow.jpg] <http://www.icann.org/> News Alert http://www.icann.org/en/news/announcements/announcement-3-21mar14-en.htm ________________________________ ICANN Seeks Public Comment on 2013 RAA Data Retention Data Specification Elements and Legitimate Purposes for Collection and Retention 21 March 2014 ICANN has-been in discussions with a number of Registrars Regarding data retention requests waiver ("Waiver Requests") submitted under the 2013 Registrar Accreditation Agreement (the "2013 RAA"). Some Registrars are seeking an exemption from Un certain collection and / or retention requirements under the Data Retention Specification (the "Specification") of the 2013 RAA. Section 2 of the Data Retention Specification sets forth requirements Regarding the written materials to register must submit in support of its good faith determination That the collection and / or retention of any data element specified in the Specification Violates applicable law, and Provides That Following notice to ICANN of the Waiver Request, ICANN and the Register applicable Shall discuss the matter in good faith in an effort to reach a mutually acceptable resolution of the matter. An update on the 2013 RAA data retention and the waiver process can be found here: http://blog.icann.org/2014/02/update-on-2013-raa-and-data-retention-waiver-p <http://blog.icann.org/2014/02/update-on-2013-raa-and-data-retention-waiver- process /> rocess / ICANN staff Understands That data Should be Treated in Accordance with applicable data protection laws, que Generally permit gathering and personnel retention of data for legitimate purpose (s). ICANN Also Understands That the law may vary from country to country as to (i) what is Considered to legitimate purpose, (ii) Whether the personnel data is adequate, relevant and not excessive in relation to the legitimate purpose for Which They are collected and (iii) how long for Un Certain data elements May be Retained. In other words, what is Considered a legitimate purpose for collection of Un certain data in one country May not be Considered a legitimate purpose in another country. During ICANN's discussions in an effort to reach a mutually acceptable resolution of the matter, some have Requested That ICANN Registrars (a) AMclarify and better define Un certain data elements in the Data Described Retention Specification Maintain That the Registrars are not Clearly defined, and (b) describes Potentially legitimate ministering purposes for collection and retention of each data element That would help Provide guidance for Both Whether Registrars Such elements as to Lawfully May be collected, and, if so, for how long Such elements Lawfully Might be Retained. In response to requests from some These Registrars, ICANN is posting for seeking public comment a document to what is meant by AMclarify Un certain data elements Described in the Specification and Describing Data Retention Potentially legitimate ministering purposes for collection and retention of Those data elements. That document can be found here <http://www.icann.org/en/resources/registrars/raa/draft-data-retention-s <http://www.icann.org/en/resources/registrars/raa/draft-data-retention-spec- elements-21mar14-en.pdf> Breast-elements-21mar14-en.pdf> [PDF, 116 KB].The document will be posted for a period of thirty (30) days to seek feedback and input from the community on (i) Whether the data elements are Appropriately described, (ii) Whether ministering purposes cited for the collection and retention are Appropriate and legitimate, and (iii) Whether there are other legitimate Potentially ministering purposes for collection and retention of data Such elements. After the thirty (30) day period has expired Following this posting, ICANN will Consider all feedback and input received in Connection with Ongoing ICANNs discussions to reach a mutually acceptable resolution of Waiver Requests. In the interim, ICANN will continue its Ongoing discussions to reach a mutually acceptable resolution of Waiver Requests with Single Registrars With the additional goal of Granting Waiver Requests as and when to Appropriate. A public comment period will REMAIN open until 11:59 p.m. PDT / California, 21 April 2014. Public comments will be available for consideration by ICANN ICANN staff and the Board. * Comments can be posted to: comments-retention-21mar14@icann.org <mailto:comments-retention-21mar14@icann.org> <mailto:comments-retention-21mar14@icann <mailto:comments-retention-21mar14@icann> . Org> * Comments can be viewed at: http://forum.icann.org/lists/comments-retention-21mar14/ _______________________________________________ [[--Original text (es) http://mm.icann.org/transbot_archive/712110a4b2.html --]]