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.
If B, C, or D, please elaborate.
Newfold Digital supports the statement made by the RrSG in their public comment. Preferred to have had the respective DPAs between ICANN and registrars and registries completed in tandem with providing public comment to the policy language. Encourage ICANN to complete these negotiations.
Newfold Digital, Inc. thanks all current and past members of the IPT and IRT for their work. We believe the Registration Data Policy presented accurately reflects the recommendations but wish for the data processing agreements, recommended to be in place between ICANN and Contracted Parties per the EPDP Phase 1 Final Report, are completed at the earliest.