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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If B, C, or D, please elaborate.
The expression “other purposes” should be further clarified to identify what purposes would be covered under section 2.2.
If B, C, or D, please elaborate.
The section should be clarified in particular with regard to the obligation for the parties to "enter into required data protection agreements", either under applicable law or the aforementioned policy recommandations.
If B, C, or D, please elaborate.
Further clarification is needed regarding the obligation to have a Data Processing Agreement.
If B, C, or D, please elaborate.
Section 12 only sets sets a minimum retention period of no less than fifteen (15) months. The Provision should be further reviewed considering article 5 of the GPDR and data minimisation principles.
AFNIC appreciates the opportunity to provide comments and inputs on the Registration Data Consensus Policy for gTLDs. We also would like to convey our thanks to the working group, the community as well as the Implementation Review Team (IRT) and Implementation Project Team (IPT) for the work done one.
The draft Registration Data Policy mostly reflects the recommandations with regards to the collection, transfer, and publication of gTLD registration data but further clarification and slight modifications are needed to allow for a clear and consistent implementation of the policy.