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[bc-gnso] RE: POSTED: Business Constituency comment on recognizing new UDRP providers

  • To: Steve DelBianco <sdelbianco@xxxxxxxxxxxxx>, "'bc - GNSO list'" <bc-gnso@xxxxxxxxx>
  • Subject: [bc-gnso] RE: POSTED: Business Constituency comment on recognizing new UDRP providers
  • From: Phil Corwin <pcorwin@xxxxxxxxxxxxxxxxxx>
  • Date: Thu, 28 Oct 2010 21:56:11 +0000

The ICA just posted its own statement, which is attached.

In addition to sharing the BC's view regarding the need for ICANN to institute 
standard agreements with all UDRP providers, we also oppose ACDR's application 
based upon its numerous material deficiencies.

We look forward to continuing the dialogue with other BC members regarding the 
form and scope of a standard UDRP provider agreement.

Best to all,
Philip

-----Original Message-----
From: owner-bc-gnso@xxxxxxxxx [mailto:owner-bc-gnso@xxxxxxxxx] On Behalf Of 
Steve DelBianco
Sent: Thursday, October 28, 2010 5:21 PM
To: 'bc - GNSO list'
Subject: [bc-gnso] POSTED: Business Constituency comment on recognizing new 
UDRP providers


As discussed over last two weeks, the BC posted comments today on ICANN's plan 
to approve a new UDRP provider.

Thanks to Phil Corwin, our rapporteur for this topic, and to all who 
contributed to this effort.
 
Comment is shown below and is posted now at 
http://forum.icann.org/lists/acdr-proposal/msg00004.html

--Steve


------ Forwarded Message
Date: Thu, 28 Oct 2010 16:58:06 -0400
To: <acdr-proposal@xxxxxxxxx>
Subject: Business Constituency comment on recognizing new UDRP providers

Business Constituency (BC) Comment on ICANN Proposal to Recognize New Domain 
Name Dispute Provider

*Background*
There is a pending request for comment regarding the application of the Arab 
Center for Domain Name Dispute Resolution (ACDR) to become a certified Uniform 
Dispute Resolution Procedure (UDRP) arbitration provider.
 
*Summary*
The Business Constituency (BC) cannot support approval of this or any other 
UDRP accreditation application at this time on the grounds that no new UDRP 
providers should be accredited until ICANN implements a standard mechanism for 
establishing uniform rules and procedures and flexible means of delineating and 
enforcing arbitration provider responsibilities.

*Explanation*
The BC notes that the voluntary registration or renewal of a gTLD domain must 
be undertaken via an ICANN-accredited registrar. All registrars are subject to 
a uniform contractual agreement with ICANN, the Registrar Accreditation 
Agreement (RAA). ICANN recently strengthened the RAA with additional amendments 
and the addition of flexible enforcement options, and a Final Report proposing 
additional RAA amendments has just been delivered to the GNSO for its 
consideration.
 
In stark contrast, the involuntary termination or transfer of a domain can be 
ordered under the authority of a UDRP provider that has been accredited by 
ICANN but which is not bound by any constraints on or requirements pertaining 
to the exercise of that delegated authority.  This has led to increasing 
concerns about the lack of adequate procedural and substantive consistency in 
the UDRP process. Such concerns are likely to grow if additional providers are 
accredited in the absence of the uniform framework of a standard mechanism.
 
The BC strongly advocates that ICANN must first implement a standard mechanism 
with any and all UDRP arbitration providers that defines and constrains their 
authority and powers, and establishes regular and standardized review by ICANN 
with flexible and effective means of enforcement. The ultimate sanction of 
cancelling accreditation is an extreme sanction that ICANN has demonstrated a 
reluctance to initiate in other contexts. 
 
ICANN appears to be transitioning from an environment in which the vast 
majority of UDRP cases (approximately 98%) were handled by two arbitration 
providers (WIPO and NAF) and in which significant gTLDs were based in a limited 
number of national jurisdictions to one in which the majority of gTLDs and UDRP 
providers may well be headquartered in a widely distributed group of 
jurisdictions.

In the future, business interests may well be investing substantial amounts in 
these new gTLDs, for both defensive,  new branding, and other purposes.
In this type of environment it is even more important that  all  UDRP providers 
be subject to uniform and enforceable responsibilities, as that is the only 
means of furthering the goal that UDRP decisions are consistent within and 
among UDRP providers, and that the UDRP remains an expedited and lower cost 
remediation for addressing cybersquatting.
 
The BC notes that the issue of whether UDRP providers should be under a 
standard mechanism with ICANN is almost entirely separable from the question of 
whether the UDRP evaluation standards for determining the existence of 
cybersquatting should be reformed.  There is no need to debate the substantive 
elements of the UDRP in order to address the fundamental issue of whether UDRP 
providers should be under a standard mechanism.

*** 

The rapporteur for these comments was Phil Corwin.

ICANN Business Constituency
http://www.bizconst.org


Attachment: ICA-ICANN-ACDR-comment-Oct28_10-FINAL.doc
Description: ICA-ICANN-ACDR-comment-Oct28_10-FINAL.doc



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