Re: [Ext] RE: Recommendation 36.4 re: Fraudulent and Deceptive Practices
Thanks, Susan. Section 4.3(f) in full is as follows (bolded is what was shared yesterday) and it is the same language shared on 25 April. 1. ICANN may, upon notice to Registry Operator, terminate this Agreement if (i) Registry Operator knowingly employs any officer who is convicted of a misdemeanor related to financial activities or of any felony, or is judged by a court of competent jurisdiction to have committed fraud or breach of fiduciary duty, or is the subject of a judicial determination that ICANN reasonably deems as the substantive equivalent of any of the foregoing and such officer is not terminated within thirty (30) calendar days of Registry Operator’s knowledge of the foregoing, (ii) any member of Registry Operator’s board of directors or similar governing body is convicted of a misdemeanor related to financial activities or of any felony, or is determined by a court of competent jurisdiction or by an arbitrator to have committed fraud or breach of fiduciary duty, or is the subject of a judicial or arbitral determination that ICANN reasonably deems as the substantive equivalent of any of the foregoing and such member is not removed from Registry Operator’s board of directors or similar governing body within thirty (30) calendar days of Registry Operator’s knowledge of the foregoing, or (iii) the Registry Operator is determined by a court of competent jurisdiction or by an arbitrator to have committed fraud or deceptive practices in the provision of Registry Services under this Agreement for the TLD, or is the subject of a judicial or arbitral determination that ICANN reasonably deems as the substantive equivalent. Best, Jamie From: Susan Payne <susan.payne@comlaude.com> Date: Wednesday, 14 May 2025 at 11:30 To: Lars Hoffmann <lars.hoffmann@icann.org>, Jamie Hedlund <jamie.hedlund@icann.org> Cc: Karla Hakansson <karla.hakansson@icann.org>, Anne ICANN <anneicanngnso@gmail.com>, Jared Erwin via SubPro-IRT <subpro-irt@icann.org> Subject: [Ext] RE: Recommendation 36.4 re: Fraudulent and Deceptive Practices Thanks Lars (and Jamie) In order that the IRT can properly review this, please would you provide the whole of what is now proposed as section 4.3(f). The language for (iii) needs to be seen in context with the rest of the clause. Based on the text Karla shared in her note as the then latest proposal on 4.3(f) (reproduced below) I’m struggling to see how (iii) is supposed to fit: ICANN may, upon notice to Registry Operator, terminate this Agreement if (i) ICANN receives a complaint, or ICANN otherwise becomes aware, that Registry Operator is engaging in fraudulent or deceptive business practices in provision of Registry Services under this Agreement for the TLD; and (ii) such fraudulent or deceptive business practices have resulted in an adverse action or decision and a failure to remediate finding against the Registry Operator by a relevant governmental consumer protection authority or authorities with jurisdiction over the matter, or Registry Operator is the subject of a determination that ICANN reasonably deems as the substantive equivalent of any of the foregoing; provided that, if ICANN receives a complaint related to the foregoing, all available relevant documentation from such adverse action or decision and a failure to remediate finding must be included as part of the complaint. Is the proposed text for 4.3(f)(iii) meant to replace some or all of this (and so is not in fact (iii)), or is it an additional subclause, following on from (ii), and in which case is this “and” or “or” (either of which seem to lack coherence). As you know, we have a Council meeting at 0500UTC Thursday, where Anne and I have referred this matter. Susan Payne Head of Legal Policy Com Laude T +44 (0) 20 7421 8250 Ext 255 [cid:image001.png@01DBC4F7.9F67D570] [comlaude.com]<https://urldefense.com/v3/__https:/comlaude.com/__;!!PtGJab4!_2vy3wWhHjna8iM...> Follow us on LinkedIn [t-uk.xink.io]<https://urldefense.com/v3/__https:/t-uk.xink.io/Tracking/Index/pRkAAGVfAADw_...> and YouTube [t-uk.xink.io]<https://urldefense.com/v3/__https:/t-uk.xink.io/Tracking/Index/bhkAAGVfAADw_...> From: Lars Hoffmann via SubPro-IRT <subpro-irt@icann.org> Sent: 14 May 2025 09:20 To: Jared Erwin via SubPro-IRT <subpro-irt@icann.org> Cc: Jamie Hedlund <jamie.hedlund@icann.org>; Karla Hakansson <karla.hakansson@icann.org> Subject: [SubPro-IRT] Recommendation 36.4 re: Fraudulent and Deceptive Practices Dear all, Please, find below a message from Jamie Hedlund, SVP Contractual Compliance and U.S. Government Engagement Best wishes. Lars Dear IRT, Attached please find a revised org proposal for implementation of SubPro Recommendation 36.4. I am sharing this revised proposal as Karla is out this week. As you will see, the proposal would: * add a PIC to RA Spec. 11, Section 3 to prohibit a registry operator from engaging in fraudulent or deceptive business practices in performing any Critical Function under this Agreement. By narrowly defining the scope of registry conduct subject to a PIC, it limits the extent to which ICANN org would be placed in the role of enforcing substantive areas of law that are outside ICANN’s mission and bylaws. * amend RA Section 4.3(f) to allow ICANN to terminate an agreement if a registry operator is determined by a court of competent jurisdiction or by an arbitrator to have committed fraud or deceptive practices in the provision of Registry Services under this Agreement for the TLD, or is the subject of a judicial or arbitral determination that ICANN reasonably deems as the substantive equivalent. We look forward to discussing this proposal at the next IRT meeting following Karla’s return from vacation. Thank you. Best, Jamie Hedlund Jamie Hedlund Senior Vice President, Contractual Compliance and U.S. Government Engagement Internet Corporation for Assigned Names and Numbers (ICANN) Office Telephone: +1 310 301 5800 www.icann.org<http://www.icann.org/> ________________________________ 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 Com Laude Group Limited (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 is a limited company registered in England and Wales with company number 10689074 and registered office at 28 Little Russell Street, London, WC1A 2HN England. 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 Little Russell Street, London, WC1A 2HN England; Valideus Limited, a company registered in England and Wales with company number 6181291 and registered office at 28 Little Russell Street, London, WC1A 2HN England; Demys Limited, a company registered in Scotland with company number SC197176 and registered office at 15 William Street, South West Lane, Edinburgh, EH3 7LL Scotland; Consonum, Inc. dba Com Laude USA and Valideus USA, a corporation incorporated in the State of Washington and principal office address at Suite 332, Securities Building, 1904 Third Ave, Seattle, WA 98101; Com Laude (Japan) Corporation, a company registered in Japan with company number 0100-01-190853 and registered office at 1-3-21 Shinkawa, Chuo-ku, Tokyo, 104-0033, Japan; Com Laude Domain ESP S.L.U., a company registered in Spain and registered office address at Calle Barcas 2, 2, Valencia, 46002, Spain. For further information see www.comlaude.com [comlaude.com]<https://urldefense.com/v3/__https:/comlaude.com/__;!!PtGJab4!_2vy3wWhHjna8iM...>
Thanks Lars, so what is the status of the text I identified below, referred to by Karla in her 30/4 note as "Below is the text last proposed by org to the IRT:" Can you confirm that this has been dropped and the IRT should only be considering the text you have shared below? Susan Payne Head of Legal Policy Com Laude T +44 (0) 20 7421 8250 Ext 255 [cid:image002.png@01DBC4F1.A7D18450] <https://comlaude.com/> Follow us on LinkedIn<https://t-uk.xink.io/Tracking/Index/pRkAAGVfAADw_RQA0> and YouTube<https://t-uk.xink.io/Tracking/Index/bhkAAGVfAADw_RQA0> From: Lars Hoffmann <lars.hoffmann@icann.org> Sent: 14 May 2025 16:43 To: Susan Payne <susan.payne@comlaude.com> Cc: Karla Hakansson <karla.hakansson@icann.org>; anneicanngnso@gmail.com; Jared Erwin via SubPro-IRT <subpro-irt@icann.org>; Jamie Hedlund <jamie.hedlund@icann.org> Subject: Re: [Ext] RE: Recommendation 36.4 re: Fraudulent and Deceptive Practices Thanks, Susan. Section 4.3(f) in full is as follows (bolded is what was shared yesterday) and it is the same language shared on 25 April. 1. ICANN may, upon notice to Registry Operator, terminate this Agreement if (i) Registry Operator knowingly employs any officer who is convicted of a misdemeanor related to financial activities or of any felony, or is judged by a court of competent jurisdiction to have committed fraud or breach of fiduciary duty, or is the subject of a judicial determination that ICANN reasonably deems as the substantive equivalent of any of the foregoing and such officer is not terminated within thirty (30) calendar days of Registry Operator's knowledge of the foregoing, (ii) any member of Registry Operator's board of directors or similar governing body is convicted of a misdemeanor related to financial activities or of any felony, or is determined by a court of competent jurisdiction or by an arbitrator to have committed fraud or breach of fiduciary duty, or is the subject of a judicial or arbitral determination that ICANN reasonably deems as the substantive equivalent of any of the foregoing and such member is not removed from Registry Operator's board of directors or similar governing body within thirty (30) calendar days of Registry Operator's knowledge of the foregoing, or (iii) the Registry Operator is determined by a court of competent jurisdiction or by an arbitrator to have committed fraud or deceptive practices in the provision of Registry Services under this Agreement for the TLD, or is the subject of a judicial or arbitral determination that ICANN reasonably deems as the substantive equivalent. Best, Jamie From: Susan Payne <susan.payne@comlaude.com<mailto:susan.payne@comlaude.com>> Date: Wednesday, 14 May 2025 at 11:30 To: Lars Hoffmann <lars.hoffmann@icann.org<mailto:lars.hoffmann@icann.org>>, Jamie Hedlund <jamie.hedlund@icann.org<mailto:jamie.hedlund@icann.org>> Cc: Karla Hakansson <karla.hakansson@icann.org<mailto:karla.hakansson@icann.org>>, Anne ICANN <anneicanngnso@gmail.com<mailto:anneicanngnso@gmail.com>>, Jared Erwin via SubPro-IRT <subpro-irt@icann.org<mailto:subpro-irt@icann.org>> Subject: [Ext] RE: Recommendation 36.4 re: Fraudulent and Deceptive Practices Thanks Lars (and Jamie) In order that the IRT can properly review this, please would you provide the whole of what is now proposed as section 4.3(f). The language for (iii) needs to be seen in context with the rest of the clause. Based on the text Karla shared in her note as the then latest proposal on 4.3(f) (reproduced below) I'm struggling to see how (iii) is supposed to fit: ICANN may, upon notice to Registry Operator, terminate this Agreement if (i) ICANN receives a complaint, or ICANN otherwise becomes aware, that Registry Operator is engaging in fraudulent or deceptive business practices in provision of Registry Services under this Agreement for the TLD; and (ii) such fraudulent or deceptive business practices have resulted in an adverse action or decision and a failure to remediate finding against the Registry Operator by a relevant governmental consumer protection authority or authorities with jurisdiction over the matter, or Registry Operator is the subject of a determination that ICANN reasonably deems as the substantive equivalent of any of the foregoing; provided that, if ICANN receives a complaint related to the foregoing, all available relevant documentation from such adverse action or decision and a failure to remediate finding must be included as part of the complaint. Is the proposed text for 4.3(f)(iii) meant to replace some or all of this (and so is not in fact (iii)), or is it an additional subclause, following on from (ii), and in which case is this "and" or "or" (either of which seem to lack coherence). As you know, we have a Council meeting at 0500UTC Thursday, where Anne and I have referred this matter. Susan Payne Head of Legal Policy Com Laude T +44 (0) 20 7421 8250 Ext 255 [cid:image003.png@01DBC4F1.A7D18450] [comlaude.com]<https://urldefense.com/v3/__https:/comlaude.com/__;!!PtGJab4!_2vy3wWhHjna8iM...> Follow us on LinkedIn [t-uk.xink.io]<https://urldefense.com/v3/__https:/t-uk.xink.io/Tracking/Index/pRkAAGVfAADw_...> and YouTube [t-uk.xink.io]<https://urldefense.com/v3/__https:/t-uk.xink.io/Tracking/Index/bhkAAGVfAADw_...> From: Lars Hoffmann via SubPro-IRT <subpro-irt@icann.org<mailto:subpro-irt@icann.org>> Sent: 14 May 2025 09:20 To: Jared Erwin via SubPro-IRT <subpro-irt@icann.org<mailto:subpro-irt@icann.org>> Cc: Jamie Hedlund <jamie.hedlund@icann.org<mailto:jamie.hedlund@icann.org>>; Karla Hakansson <karla.hakansson@icann.org<mailto:karla.hakansson@icann.org>> Subject: [SubPro-IRT] Recommendation 36.4 re: Fraudulent and Deceptive Practices Dear all, Please, find below a message from Jamie Hedlund, SVP Contractual Compliance and U.S. Government Engagement Best wishes. Lars Dear IRT, Attached please find a revised org proposal for implementation of SubPro Recommendation 36.4. I am sharing this revised proposal as Karla is out this week. As you will see, the proposal would: * add a PIC to RA Spec. 11, Section 3 to prohibit a registry operator from engaging in fraudulent or deceptive business practices in performing any Critical Function under this Agreement. By narrowly defining the scope of registry conduct subject to a PIC, it limits the extent to which ICANN org would be placed in the role of enforcing substantive areas of law that are outside ICANN's mission and bylaws. * amend RA Section 4.3(f) to allow ICANN to terminate an agreement if a registry operator is determined by a court of competent jurisdiction or by an arbitrator to have committed fraud or deceptive practices in the provision of Registry Services under this Agreement for the TLD, or is the subject of a judicial or arbitral determination that ICANN reasonably deems as the substantive equivalent. We look forward to discussing this proposal at the next IRT meeting following Karla's return from vacation. Thank you. Best, Jamie Hedlund Jamie Hedlund Senior Vice President, Contractual Compliance and U.S. Government Engagement Internet Corporation for Assigned Names and Numbers (ICANN) Office Telephone: +1 310 301 5800 www.icann.org<http://www.icann.org/> ________________________________ 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 Com Laude Group Limited (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 is a limited company registered in England and Wales with company number 10689074 and registered office at 28 Little Russell Street, London, WC1A 2HN England. 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 Little Russell Street, London, WC1A 2HN England; Valideus Limited, a company registered in England and Wales with company number 6181291 and registered office at 28 Little Russell Street, London, WC1A 2HN England; Demys Limited, a company registered in Scotland with company number SC197176 and registered office at 15 William Street, South West Lane, Edinburgh, EH3 7LL Scotland; Consonum, Inc. dba Com Laude USA and Valideus USA, a corporation incorporated in the State of Washington and principal office address at Suite 332, Securities Building, 1904 Third Ave, Seattle, WA 98101; Com Laude (Japan) Corporation, a company registered in Japan with company number 0100-01-190853 and registered office at 1-3-21 Shinkawa, Chuo-ku, Tokyo, 104-0033, Japan; Com Laude Domain ESP S.L.U., a company registered in Spain and registered office address at Calle Barcas 2, 2, Valencia, 46002, Spain. For further information see www.comlaude.com [comlaude.com]<https://urldefense.com/v3/__https:/comlaude.com/__;!!PtGJab4!_2vy3wWhHjna8iM...> ________________________________ 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 Com Laude Group Limited (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 is a limited company registered in England and Wales with company number 10689074 and registered office at 28 Little Russell Street, London, WC1A 2HN England. 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 Little Russell Street, London, WC1A 2HN England; Valideus Limited, a company registered in England and Wales with company number 6181291 and registered office at 28 Little Russell Street, London, WC1A 2HN England; Demys Limited, a company registered in Scotland with company number SC197176 and registered office at 15 William Street, South West Lane, Edinburgh, EH3 7LL Scotland; Consonum, Inc. dba Com Laude USA and Valideus USA, a corporation incorporated in the State of Washington and principal office address at Suite 332, Securities Building, 1904 Third Ave, Seattle, WA 98101; Com Laude (Japan) Corporation, a company registered in Japan with company number 0100-01-190853 and registered office at 1-3-21 Shinkawa, Chuo-ku, Tokyo, 104-0033, Japan; Com Laude Domain ESP S.L.U., a company registered in Spain and registered office address at Calle Barcas 2, 2, Valencia, 46002, Spain. For further information see www.comlaude.com<https://comlaude.com/>
Hi Susan, that is correct. The text shared earlier has been replaced by the addition of the PIC and the revisions to 4.3f. The text shared earlier is the proposal from org. Thanks. From: Susan Payne <susan.payne@comlaude.com> Date: Wednesday, 14 May 2025 at 18:08 To: Lars Hoffmann <lars.hoffmann@icann.org> Cc: Karla Hakansson <karla.hakansson@icann.org>, Anne ICANN <anneicanngnso@gmail.com>, Jared Erwin via SubPro-IRT <subpro-irt@icann.org>, Jamie Hedlund <jamie.hedlund@icann.org> Subject: RE: [Ext] RE: Recommendation 36.4 re: Fraudulent and Deceptive Practices Thanks Lars, so what is the status of the text I identified below, referred to by Karla in her 30/4 note as “Below is the text last proposed by org to the IRT:” Can you confirm that this has been dropped and the IRT should only be considering the text you have shared below? Susan Payne Head of Legal Policy Com Laude T +44 (0) 20 7421 8250 Ext 255 [cid:image001.png@01DBC509.664929D0] [comlaude.com]<https://urldefense.com/v3/__https:/comlaude.com/__;!!PtGJab4!_7H3QBYojiHH4YH...> Follow us on LinkedIn [t-uk.xink.io]<https://urldefense.com/v3/__https:/t-uk.xink.io/Tracking/Index/pRkAAGVfAADw_...> and YouTube [t-uk.xink.io]<https://urldefense.com/v3/__https:/t-uk.xink.io/Tracking/Index/bhkAAGVfAADw_...> From: Lars Hoffmann <lars.hoffmann@icann.org> Sent: 14 May 2025 16:43 To: Susan Payne <susan.payne@comlaude.com> Cc: Karla Hakansson <karla.hakansson@icann.org>; anneicanngnso@gmail.com; Jared Erwin via SubPro-IRT <subpro-irt@icann.org>; Jamie Hedlund <jamie.hedlund@icann.org> Subject: Re: [Ext] RE: Recommendation 36.4 re: Fraudulent and Deceptive Practices Thanks, Susan. Section 4.3(f) in full is as follows (bolded is what was shared yesterday) and it is the same language shared on 25 April. 1. ICANN may, upon notice to Registry Operator, terminate this Agreement if (i) Registry Operator knowingly employs any officer who is convicted of a misdemeanor related to financial activities or of any felony, or is judged by a court of competent jurisdiction to have committed fraud or breach of fiduciary duty, or is the subject of a judicial determination that ICANN reasonably deems as the substantive equivalent of any of the foregoing and such officer is not terminated within thirty (30) calendar days of Registry Operator’s knowledge of the foregoing, (ii) any member of Registry Operator’s board of directors or similar governing body is convicted of a misdemeanor related to financial activities or of any felony, or is determined by a court of competent jurisdiction or by an arbitrator to have committed fraud or breach of fiduciary duty, or is the subject of a judicial or arbitral determination that ICANN reasonably deems as the substantive equivalent of any of the foregoing and such member is not removed from Registry Operator’s board of directors or similar governing body within thirty (30) calendar days of Registry Operator’s knowledge of the foregoing, or (iii) the Registry Operator is determined by a court of competent jurisdiction or by an arbitrator to have committed fraud or deceptive practices in the provision of Registry Services under this Agreement for the TLD, or is the subject of a judicial or arbitral determination that ICANN reasonably deems as the substantive equivalent. Best, Jamie From: Susan Payne <susan.payne@comlaude.com<mailto:susan.payne@comlaude.com>> Date: Wednesday, 14 May 2025 at 11:30 To: Lars Hoffmann <lars.hoffmann@icann.org<mailto:lars.hoffmann@icann.org>>, Jamie Hedlund <jamie.hedlund@icann.org<mailto:jamie.hedlund@icann.org>> Cc: Karla Hakansson <karla.hakansson@icann.org<mailto:karla.hakansson@icann.org>>, Anne ICANN <anneicanngnso@gmail.com<mailto:anneicanngnso@gmail.com>>, Jared Erwin via SubPro-IRT <subpro-irt@icann.org<mailto:subpro-irt@icann.org>> Subject: [Ext] RE: Recommendation 36.4 re: Fraudulent and Deceptive Practices Thanks Lars (and Jamie) In order that the IRT can properly review this, please would you provide the whole of what is now proposed as section 4.3(f). The language for (iii) needs to be seen in context with the rest of the clause. Based on the text Karla shared in her note as the then latest proposal on 4.3(f) (reproduced below) I’m struggling to see how (iii) is supposed to fit: ICANN may, upon notice to Registry Operator, terminate this Agreement if (i) ICANN receives a complaint, or ICANN otherwise becomes aware, that Registry Operator is engaging in fraudulent or deceptive business practices in provision of Registry Services under this Agreement for the TLD; and (ii) such fraudulent or deceptive business practices have resulted in an adverse action or decision and a failure to remediate finding against the Registry Operator by a relevant governmental consumer protection authority or authorities with jurisdiction over the matter, or Registry Operator is the subject of a determination that ICANN reasonably deems as the substantive equivalent of any of the foregoing; provided that, if ICANN receives a complaint related to the foregoing, all available relevant documentation from such adverse action or decision and a failure to remediate finding must be included as part of the complaint. Is the proposed text for 4.3(f)(iii) meant to replace some or all of this (and so is not in fact (iii)), or is it an additional subclause, following on from (ii), and in which case is this “and” or “or” (either of which seem to lack coherence). As you know, we have a Council meeting at 0500UTC Thursday, where Anne and I have referred this matter. Susan Payne Head of Legal Policy Com Laude T +44 (0) 20 7421 8250 Ext 255 [cid:image002.png@01DBC509.664929D0] [comlaude.com]<https://urldefense.com/v3/__https:/comlaude.com/__;!!PtGJab4!_2vy3wWhHjna8iM...> Follow us on LinkedIn [t-uk.xink.io]<https://urldefense.com/v3/__https:/t-uk.xink.io/Tracking/Index/pRkAAGVfAADw_...> and YouTube [t-uk.xink.io]<https://urldefense.com/v3/__https:/t-uk.xink.io/Tracking/Index/bhkAAGVfAADw_...> From: Lars Hoffmann via SubPro-IRT <subpro-irt@icann.org<mailto:subpro-irt@icann.org>> Sent: 14 May 2025 09:20 To: Jared Erwin via SubPro-IRT <subpro-irt@icann.org<mailto:subpro-irt@icann.org>> Cc: Jamie Hedlund <jamie.hedlund@icann.org<mailto:jamie.hedlund@icann.org>>; Karla Hakansson <karla.hakansson@icann.org<mailto:karla.hakansson@icann.org>> Subject: [SubPro-IRT] Recommendation 36.4 re: Fraudulent and Deceptive Practices Dear all, Please, find below a message from Jamie Hedlund, SVP Contractual Compliance and U.S. Government Engagement Best wishes. Lars Dear IRT, Attached please find a revised org proposal for implementation of SubPro Recommendation 36.4. I am sharing this revised proposal as Karla is out this week. As you will see, the proposal would: * add a PIC to RA Spec. 11, Section 3 to prohibit a registry operator from engaging in fraudulent or deceptive business practices in performing any Critical Function under this Agreement. By narrowly defining the scope of registry conduct subject to a PIC, it limits the extent to which ICANN org would be placed in the role of enforcing substantive areas of law that are outside ICANN’s mission and bylaws. * amend RA Section 4.3(f) to allow ICANN to terminate an agreement if a registry operator is determined by a court of competent jurisdiction or by an arbitrator to have committed fraud or deceptive practices in the provision of Registry Services under this Agreement for the TLD, or is the subject of a judicial or arbitral determination that ICANN reasonably deems as the substantive equivalent. We look forward to discussing this proposal at the next IRT meeting following Karla’s return from vacation. Thank you. Best, Jamie Hedlund Jamie Hedlund Senior Vice President, Contractual Compliance and U.S. Government Engagement Internet Corporation for Assigned Names and Numbers (ICANN) Office Telephone: +1 310 301 5800 www.icann.org<http://www.icann.org/> ________________________________ 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 Com Laude Group Limited (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 is a limited company registered in England and Wales with company number 10689074 and registered office at 28 Little Russell Street, London, WC1A 2HN England. 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 Little Russell Street, London, WC1A 2HN England; Valideus Limited, a company registered in England and Wales with company number 6181291 and registered office at 28 Little Russell Street, London, WC1A 2HN England; Demys Limited, a company registered in Scotland with company number SC197176 and registered office at 15 William Street, South West Lane, Edinburgh, EH3 7LL Scotland; Consonum, Inc. dba Com Laude USA and Valideus USA, a corporation incorporated in the State of Washington and principal office address at Suite 332, Securities Building, 1904 Third Ave, Seattle, WA 98101; Com Laude (Japan) Corporation, a company registered in Japan with company number 0100-01-190853 and registered office at 1-3-21 Shinkawa, Chuo-ku, Tokyo, 104-0033, Japan; Com Laude Domain ESP S.L.U., a company registered in Spain and registered office address at Calle Barcas 2, 2, Valencia, 46002, Spain. For further information see www.comlaude.com [comlaude.com]<https://urldefense.com/v3/__https:/comlaude.com/__;!!PtGJab4!_2vy3wWhHjna8iM...> ________________________________ 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 Com Laude Group Limited (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 is a limited company registered in England and Wales with company number 10689074 and registered office at 28 Little Russell Street, London, WC1A 2HN England. 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 Little Russell Street, London, WC1A 2HN England; Valideus Limited, a company registered in England and Wales with company number 6181291 and registered office at 28 Little Russell Street, London, WC1A 2HN England; Demys Limited, a company registered in Scotland with company number SC197176 and registered office at 15 William Street, South West Lane, Edinburgh, EH3 7LL Scotland; Consonum, Inc. dba Com Laude USA and Valideus USA, a corporation incorporated in the State of Washington and principal office address at Suite 332, Securities Building, 1904 Third Ave, Seattle, WA 98101; Com Laude (Japan) Corporation, a company registered in Japan with company number 0100-01-190853 and registered office at 1-3-21 Shinkawa, Chuo-ku, Tokyo, 104-0033, Japan; Com Laude Domain ESP S.L.U., a company registered in Spain and registered office address at Calle Barcas 2, 2, Valencia, 46002, Spain. For further information see www.comlaude.com [comlaude.com]<https://urldefense.com/v3/__https:/comlaude.com/__;!!PtGJab4!_7H3QBYojiHH4YH...>
participants (2)
-
Lars Hoffmann -
Susan Payne