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Proposed Final New gTLD Registry Agreement Comment 2
- To: comments-base-agreement-29apr13@xxxxxxxxx
- Subject: Proposed Final New gTLD Registry Agreement Comment 2
- From: newgtld@xxxxxxxxxx
- Date: Fri, 24 May 2013 16:52:22 +0900
Dear ICANN,
The following comment is from Sony Corporation and posted on their behalf.
==========
We believe the following should be added to article 3 and as a part of ICANN's
duty.
1. ICANN should make and maintain, as well as comply with, an acceptable
Disaster Recovery Plan/Business Contingency Plan for the Registry Operator.
2. It should be made ICANN's duty that in the event ICANN makes changes to the
procedures, rules, or policies the registry operator must comply with
referenced to in the URL recorded in sections 2.1, 2.2, 2.9(a), 2.13, 6.2,
Exhibit A and each Specification of this contract, ICANN must inform the
Registry Operator beforehand (allowing proper time to deal with systematic
details) and allow opportunity for the Registry Operator to discuss the
applicable changes.
3. It is understood that ICANN maintains a policy of protection for the rights
of trademarks and so forth owned by the Registry Operator as well as rights
under the Unfair Competition Prevention Act, however, ICANN should bear the
responsibility of complying with such policy.
==========
Regards,
New gTLD Team
NOTE: This is the correction to the comment sent on May 20 and we request that
it is considered as a comment and not a reply.
><><><><><><><><><><><><><><><><><><><><><
New gTLD Team
Brights Consulting Inc.
30F, Kasumigaseki Bldg., 3-2-5 Kasumigaseki,
Chiyoda-ku, Tokyo 100-6030, Japan
TEL.+81-50-5536-4005 FAX.+81-3-5521-0117
http://brightsconsulting.com/en/
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