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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The Registries Stakeholder Group (RySG) welcomes the opportunity to comment on the Draft PTI FY26 Operating Plan and Budget. The assumptions appear reasonable and consistent with prior years. In addition, activities outlined in the Draft Operating Plan seem reasonable for the scope of PTI operations.
We note a lack of specificity in the manner in which preparations for the next round of new generic top-level domains are being accounted for during FY26. While this activity is mentioned in the Highlights section, it does not appear subsequently. The document would also benefit from clarity related to the duration and impact of multi-year projects, such as preparations for the next KSK rollover and the implementation of the algorithm rollover study recommendations. Such clarity would help to distinguish these special projects from the normal maintenance and improvement cycle required for relevant systems.
In general, the RySG is supportive of the PTI FY26 Operating Plan and Budget and appreciates this opportunity to review and comment along with PTI’s efforts to address previous questions and comments.
In general, the RySG supports the PTI FY26 Operating Plan and Budget. We would welcome greater specificity on how preparations for the next round are being accounted for, as well as more clarity on the duration and impact of multi-year projects.