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Registrar Advisory Concerning Whois Data Accuracy The purpose of this advisory is to assist ICANN-accredited registrars in understanding their obligations under ICANN's Registrar Accreditation Agreement (RAA) regarding the accuracy of Whois data. Registrars are required to obtain contact information from registrants, to provide it publicly by a Whois service, and to investigate and correct any reported inaccuracies in contact information for names they sponsor. The following advisory will outline the relevant provisions of the RAA and suggest steps registrars can take to ensure they fulfill their obligations with respect to Whois data accuracy.
Several provisions of the RAA are relevant to the accuracy of registrar Whois data. They include:
Subsection 3.7.7.1 of the RAA requires registrars to include in their registration agreement with each registrant a provision under which the registrant promises to "provide to Registrar accurate and reliable contact details and promptly correct and update them ... ." Although 3.7.8 envisions that ICANN may develop a policy requiring registrars to verify the contact details at the time of registration, ICANN has not yet done so. Nonetheless, registrars will find that implementing readily-available techniques to verify the format of data in the registration process (such as screening for blank fields or checking that addresses have valid post codes) will diminish the need for manual processes that would later be necessary to comply with the requirement to investigate reported inaccuracies.
Subsection 3.7.8 of the RAA obliges registrars to "take reasonable steps to investigate" any inaccuracy in Whois data upon notification from "any person." In order to facilitate compliance with this responsibility, registrars should establish a clear mechanism for receiving, investigating, and tracking reported inaccuracies in their Whois data. In the absence of a clearly designated contact or channel for receiving complaints about inaccurate Whois data, registrars are responsible for acting upon "notifications" that may be received by diverse, and even informal, means. This may make it difficult for registrars to fulfill their obligations. Once a registrar receives notification of an inaccuracy, Subsection 3.7.8 requires the registrar to take "reasonable steps" to investigate and correct the reported inaccuracy. The term "reasonable steps" is not defined within the agreement; precisely what constitutes reasonable steps to investigate and correct a reported inaccuracy will vary depending on the circumstances (e.g., accepting unverified "corrected" data from a registrant that has already deliberately provided incorrect data may not be appropriate). At a minimum, "reasonable steps" to investigate a reported inaccuracy should include promptly transmitting to the registrant the "inquiries" concerning the accuracy of the data that are suggested by RAA Subsection 3.7.7.2. The inquiries should be conducted by all commercially practicable means available to the registrar: by telephone, e-mail, and postal mail.
If the registrant fails to respond "for over fifteen calendar days to inquiries by Registrar concerning the accuracy of contact details", then pursuant to RAA Subsection 3.7.7.2 the registrant is in "material breach" of its registration agreement with the registrar. That subsection also provides that "willful provision of inaccurate or unreliable information" shall constitute a material beach of the registration agreement. Under either of these circumstances, the RAA provides that the material breach of the registration agreement shall be "a basis for cancellation of the Registered Name registration." Accordingly, if the registrar's investigation results in a determination that the registrant is in material breach of its registration agreement, then in the absence of extenuating circumstances the registrar should cancel the domain registration.
The registrar obligations outlined above (as well as all other registrar obligations under the RAA) apply with equal force to all registrations sponsored by a registrar in any TLD for which it is accredited by ICANN, whether those registrations were placed directly with the registrar or through some agent or reseller. In other words, registrars are responsible for providing Whois data (and correcting any reported inaccuracies in that data) for all names under their sponsorship, including the data pertaining to customers of their resellers.
This advisory is being published to promote registrar and community understanding about registrar's current obligations under ICANN's Registrar Accreditation Agreement with respect to Whois data accuracy. Interested members of the community should also be aware that ICANN's Domain Name Supporting Organization has convened a Whois Task Force to review and possibly suggest improvements to current ICANN policy and agreements relating to Whois. Anyone interested in contributing to the development of such policies through ICANN's bottom-up, consensus-based policy development system is invited to visit <http://www.icann.org/participate/> to learn how to participate. Please contact ICANN's Registrar Liaison department, with any questions or comments relating to ICANN registrar accreditation and Whois requirements.
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