Public Comment is a vital part of our multistakeholder model. It provides a mechanism for stakeholders to have their opinions and recommendations formally and publicly documented. It is an opportunity for the ICANN community to effect change and improve policies and operations.
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Please share any additional comments you have on this principle:
The RySG suggests that when drafting the updated version of the ICP-2 document, the authors are clear about what the term "ICANN" refers to in this context - the ICANN Organization, Board or Community.
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The RySG suggests that when drafting the updated version of the ICP-2 document, the authors are clear about what the term "ICANN" refers to in this context - the ICANN Organization, Board or Community.
Please share any additional comments you have on this principle:
The RySG suggests that when drafting the updated version of the ICP-2 document, the authors consider how this principle will apply during a potential transition between RIRs. As an example: "… continually receive RIR services, and that the transition of any geographic area between RIRs be planned and managed, so as to avoid unnecessary operational disruption for impacted users."
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The Service Region principle does not indicate the resolution mechanism if there is confusion and/or dispute regarding the Service Region of RIRs. The RySG suggests that when drafting the updated version of the ICP-2 document, the authors provide clarification.
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The RySG notes that the Recognition principle does not require the RIR to meet the requirements in an auditable fashion, as is required under the Operation Principle. The RySG suggests that when drafting the updated version of the ICP-2 document, the authors consider adding an audit requirement to avoid a newly recognized RIR from quickly being out of compliance.
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The RySG notes that this principle seems to be in conflict with the Recognition and Operation principles, which require compliance with the ICP-2, while the Derecognition principle only describes that an RIR “may” be derecognized. The RySG suggests that the ASO AC consider whether more specificity regarding the consequences of not meeting the requirements of the ICP-2, including a possible cure period, be added to this principle.
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The RySG suggests that the Community Support principle should apply both to a Candidate RIR and an operational RIR. This would clarify that continued community support is required to comply with the ICP-2.
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The RySG again believes this principle should apply to both Candidate RIRs and existing RIRs to ensure a continued Community Commitment to the RIR beyond its candidate stage.
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The RySG suggests that when drafting the updated version of the ICP-2 document, the authors consider an additional requirement that the claim of financial stability and independence be verifiable, such as through an independent auditor’s statement.
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The RySG suggests that when drafting the updated version of the ICP-2 document, the authors augment this principle with some qualification of the "not-for-profit basis"; perhaps something similar to "consistent with regulations in its jurisdiction".
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The RySG suggests that when drafting the updated version of the ICP-2 document, the authors provide specified time periods for audits conducted pursuant to the Audit principle. Annual audits are typical in business and operational contexts.
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The RySG suggests that when drafting the updated version of the ICP-2 document, the authors add clarity and sources regarding the "standard protocols and specifications" by which RIRs must operate.
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The RySG notes the ambiguity of the word “capture” and suggests that when drafting the updated version of the ICP-2 document, the authors add clarity to the intended meaning of this term.
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As written, this item appears that could be interpreted that other RIRs need to provide funding, technology, and/or operational resources to support the operations of another RIR which is flagging. The RySG is unsure this was the intended meaning and suggests that when drafting the updated version of the ICP-2 document, the authors provide additional clarity.
The Registries Stakeholder Group (RySG) represents the interests of gTLD Registry Operators. It is in the best interest of our members, and of all gTLD registries, for the Regional Internet Registries (RIRs) to operate in a stable and predictable manner and for the system that governs the RIRs to ensure such stability. We believe that the proposed principles provide a solid foundation on which to revise ICP-2 in a way that will improve the governance of the RIRs. We recognize that the principles are just an initial step, though, and that it will be critical to assess how they are put into practice in the revised version of ICP-2. The RySG looks forward to reviewing that document when the time comes.