=? Iso-8859-1? Q? Declaration = F3n_de_LACRALO_sobre_Nu? == Iso-8859-1? Q? Evo_Modelo_para_la_Pr = F3xima_Generaci = F3n_de_Servic? == Iso-8859-1? Q? Ios_de_Directorio_de_gTLD? =
[[--Translated text (es -> en)--]] Subject: =? Iso-8859-1? Q? Declaration = F3n_de_LACRALO_sobre_Nu? == Iso-8859-1? Q? Evo_Modelo_para_la_Pr = F3xima_Generaci = F3n_de_Servic? == Iso-8859-1? Q? Ios_de_Directorio_de_gTLD? = From: fatimacambronero@gmail.com Dear, As recordarn have compiled the existing material on the New Model for next scheduled Generacin Directory Services gTLD (Known as new whois) LACRALO in this Wiki: https://community.icann.org/pages/viewpage.action?pageId=41899285 We have been receiving comments on the list and in that Wiki, and I compiled these comments to build a name declaracina LACRALO I am copying below and also can be found in this link: https://community.icann.org/pages/viewpage.action?pageId=41899285 (Bottom of the page as a comment). Also at this time is estvotando one statement prepared by ALAC you can find here: https://community.icann.org/display/alacpolicydev/At-Large+Explore+the+Draft... We consulted with the Chairman of LACRALO and has decided that if he no objections to this draft until tomorrow Friday 06 September at 20 UTC, we will be sending as LACRALO name Comment. We know that time is short, however this draft is not long as to review and express their positions. Your comments are welcome. Thank you very much. Best regards, Fatima Cambronero * Draft Declaration of LACRALO on New Model for the next scheduled Generation of gTLD Directory Services * ** LACRALO recognizes the importance of the Working Group of Experts on GTLD Services Directory has undergone all comments community the draft next scheduled New Model for Generacin of GTLD Services Directory. We believe that determining the advantages and disadvantages of a new model is very important because of the positive or negative impact it may have on Internet end users of our region of Latin America and Caribbean. Also understand that the new model contains some elements novel comprensiny merit deep reflection by the different stakeholders involved in the development and implementacin thereof. In this context it should be noted their possible impact not only in generic TLDs and ccTLDs but at all levels of use DNS. Among the new features in this new model we call attention on a new layer that will be created indireccin in a new service or organization take log data domain names, the will add, and will be responsible for providing access ste rather than directly in the registration occurs, as in the Today.It's our perverse incentives preocupacin this indireccin layer will be able to generate by the records and registers in the interface to access the registration information (Neglect of this function, certain kinds of abuse and even services new that can provide). Also this layer aggregators and consultation services will have to be operated by a new organizacina which granted him great confidence and create a tremendous asset informtico that could attract numerous and novel types of attacks. At this point, we share the preocupacin on one of the disadvantages of the new model sealada by EWG regarding the creation of a source of "big data" with valuable data that can be misused without an audit and maintenance appropriate. Also consider that it should be analyzed whether within the new model proposed or not an authentication tendency to force the data to identify the registrant, reducing anonymity options for some users or organizations is necessary to ensure development and exercise of certain business operations, communications policies or digital activism within certain contexts. Also consider it necessary to check whether or barriers were raised for the user to access common data registration domain names. Because if this happens, and private companies can pay for value-added services and various authorities (law order, authorities copyright protection and ownership industry) may access such data, generate situations informacinms privileged access full benefit of these latest to the detriment of he was not given access to the end user. In this context we consider important to accurately determine the situations in which the authorities will have access to legtimo data provided by the new system to prevent illegal situations knowledge in making data storage and mocking the respective laws and related court orders. In this context it seems appropriate to remind the EWG's revision of the SSAC in document 58 which handles the validation of the log data and includes use cases, which we consider convenient study and review them in the context of the new model proposed registration. Finally we consider appropriate to analyze the effects that the new model may result in the rights of users Internet that have already been acquired and recognized by both instruments international as national legislation, such as its privacy, personal data protection, the principle of legality, the presumption of innocence, due process, among others, that although escape the mission of ICANN have a direct impact on users Internet end. - * Fatima Cambronero * Attorney-Argentina Phone: +54 9351 5282 668 Twitter: @ facambronero Skype: fatima.cambronero * Join the LACRALO / ICANN discussions: * https://atlarge-lists.icann.org/mailman/listinfo/lac-discuss-es * Join the Diplo Internet Governance Community discussions: * http://www.diplointernetgovernance.org/ * Join to the Internet Society (ISOC): * http://www.internetsociety.org/ _______________________________________________ [[--Original text (es) http://mm.icann.org/transbot_archive/5a8bb760eb.html --]]
participants (1)
-
fatimacambroneroï¼ gmail.com