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Re: [bc-gnso] Draft BC position EOI v2
- To: "Philip Sheppard" <philip.sheppard@xxxxxx>
- Subject: Re: [bc-gnso] Draft BC position EOI v2
- From: martinsutton@xxxxxxxx
- Date: Thu, 25 Feb 2010 11:59:45 +0000
Philip,
This looks good and has my support.
I would like to make a minor amendment to line 8 by removing '...such as
fraud protection...' - I think this will avoid any misconception of being
the single most important overarching issue (although I have it high on my
list!), the list of issues is then covered in secion 2.
Many thanks,
Martin
Martin C SUTTON
Group Risk
Manager, Group Fraud Risk and Intelligence | HSBC HOLDINGS PLC HGHQ
Group Security & Fraud Risk
8 Canada Square,Canary Wharf,London,E14 5HQ,United Kingdom
________________________________________________________________
Phone. +44 (0)20 7991 8074 / 7991 8074
Mobile. +44 (0) 7774556680
Email. martinsutton@xxxxxxxx
________________________________________________________________
"Philip Sheppard" <philip.sheppard@xxxxxx>
Sent by: owner-bc-gnso@xxxxxxxxx
Feb 25 2010 07:57
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<bc-gnso@xxxxxxxxx>
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Subject
[bc-gnso] Draft BC position EOI v2
Entity
HSBC Holdings plc - GMO
Thanks to BC members for their comments to date.
I attach a revised version 2.
Comments / expressions of support please now on this version referencing
line tracking as appropriate.
Philip
From: Philip Sheppard [mailto:philip.sheppard@xxxxxx]
Sent: Tuesday, February 23, 2010 10:19 AM
To: 'bc-gnso@xxxxxxxxx'
Subject: Draft BC position EOI
For 14 day comment
I have been asked by the new VP policy coordination Steve DelBianco to act
as rapporteur for the issue of Expressions of Interest in the context of
the new gTLDS process.
I attach a proposed draft for the Constituency. Its argumentation and
consequent conclusion is based on the submissions of Bc members in their
individual capacity to the public comments process. These comment were
significant in their commonality. In short all commentators believed that:
- the EOI is a poor substitute for data gathering and an economic study
- the EOI is bad business practice as it requires investors to invest in
ignorance of issues that ICANN is obliged to solve.
Comments, improvements are most welcome ideally by e-mail bullet points
referencing the line numbers rather than Word tracked changes.
This makes the job of the poor rapporteur much easier !
Philip [attachment "BC Position EOI 2-2010 v2.doc" deleted by Martin C
SUTTON/GMO/HSBC]
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