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Re: [gnso-ff-pdp-may08] Comment Analysis: Items 9q - 9v

  • To: "jbladel@xxxxxxxxxxx" <jbladel@xxxxxxxxxxx>, "pdiaz@xxxxxxxxxxxxxxxxxxxx" <pdiaz@xxxxxxxxxxxxxxxxxxxx>
  • Subject: Re: [gnso-ff-pdp-may08] Comment Analysis: Items 9q - 9v
  • From: Dave Piscitello <dave.piscitello@xxxxxxxxx>
  • Date: Wed, 13 May 2009 10:15:05 -0700

I would love to have  attorneys who represent victims in ecriminal cases weigh 
in on this, do we know any?   

----- Original Message -----
From: James M. Bladel <jbladel@xxxxxxxxxxx>
To: Diaz,Paul <pdiaz@xxxxxxxxxxxxxxxxxxxx>
Cc: Dave Piscitello; Fast Flux Fast Flux <gnso-ff-pdp-may08@xxxxxxxxx>
Sent: Wed May 13 10:08:43 2009
Subject: RE: [gnso-ff-pdp-may08] Comment Analysis: Items 9q - 9v

Dave / Paul:

This is also my opinion on most of category 9, with the possible
exception of 9v (Virgo).  The suggestion to include victims of eCrime as
a stakeholder group is a new idea, and we should either (a) include it,
(b) omit it, or (c) point out that this is addressed by the inclusion of
law enforcement interests.

Thanks--

J.



-------- Original Message --------
 Subject: RE: [gnso-ff-pdp-may08] Comment Analysis: Items 9q - 9v
 From: "Diaz, Paul" <pdiaz@xxxxxxxxxxxxxxxxxxxx>
 Date: Wed, May 13, 2009 10:20 am
 To: "Dave Piscitello" <dave.piscitello@xxxxxxxxx>, "James M.
 Bladel" <jbladel@xxxxxxxxxxx>, "Fast Flux Fast Flux"
 <gnso-ff-pdp-may08@xxxxxxxxx>
 
 
 Hi Dave,
 
 That's how I interpreted comments 9.g-9.p. The posters were more
 weighing in and/or supporting what we already have in the Report than
 criticizing or contributing new thoughts. 
 
 Regards, P
 
 -----Original Message-----
 From: owner-gnso-ff-pdp-may08@xxxxxxxxx
 [mailto:owner-gnso-ff-pdp-may08@xxxxxxxxx] On Behalf Of Dave Piscitello
 Sent: Wednesday, May 13, 2009 10:48 AM
 To: James M. Bladel; Fast Flux Fast Flux
 Subject: Re: [gnso-ff-pdp-may08] Comment Analysis: Items 9q - 9v
 
 
 James,
 
 As I try to keep pace with the posted analyses and recommendations, I
 see a
 theme. Some comments are neither critical nor contributing, but
 "weighing
 in" with a dissenting opinion or approval. It might help to acknowledge
 that
 we are interpreting comments in this manner. For example, I would
 consider
 9r and 9s as "weighing in". The interim report addressed these points,
 the
 comment does not suggest that the existing text needs to be amplified
or
 revised, so we basically are nodding our heads and saying "thanks",
 right?
 
 
 On 5/13/09 3:58 PM May 13, 2009, "James M. Bladel"
 <jbladel@xxxxxxxxxxx>
 wrote:
 
 > 
 > 
 > Team:
 > 
 > Since we are so close to the end, I wanted to close out this
category.
 > 
 > Here are my offered analysis / recommendations for Category 9, items
 > q-v. For each recommendation, I posed the following questions:
 > 
 > 1. Has the proposed "next step" been addressed earlier in the report?
 > 
 > 2. If the commenter proposes additional study, is the hypothesis
 > sufficiently defined and narrowed, such that any results will yield
 > quantified data? Would the results present a significant opportunity
 to
 > inform debate and form a basis for policy?
 > 
 > So, with these in mind, here are the results:
 > 
 > ********
 > 9q: (Warner) Charging a fee for NS changes would not deter bad
actors,
 > since they typically use stolen credit cards for payment
 > 
 > Recommendation: The concept of assigning a nominal fee to disrupt the
 > economics of FF are mentioned in two areas of the report, and the
 report
 > notes (in section 5.4) that these often involve stolen credit cards.
 > Perhaps these two points could be more clearly connected in the
 language
 > on lines 279 and 1458.
 > 
 > 9r & 9s: (RrC / Walton) The PDP is not the most appropriate tool to
 > address Fast Flux issues. A narrower definition, supported by
 > sufficient quantifiable research, should be used. FF should be part
 of
 > a broader study of issues that can be addressed by best practices,
 > industry solutions, and ICANN policy.
 > 
 > Recommendation: These recommendations are addressed at many points
 > within the report.
 > 
 > 9t & 9u: (Clayton) The WG does not possess the competency to propose
 > technical changes, and should focus on the process required to
suspend
 a
 > domain in the DNS. The role of ICANN, Registries and Registrars
 should
 > be studied, along with best practices and minimum standards of
 behavior.
 > 
 > Recommendation: The role of contracted parties are examined as part
of
 > the charter questions. Additionally, non-policy alternatives (as
 > industry solutions, best practices, etc.) are also discussed.
 > 
 > 
 > 9s: (Virgo) ICANN should convene a group of industry representatives
 > and victims to study the problem, and exchange how various elements
of
 > registry/registrar services work in practice. This group would report
 > back on any problems found within the next three months.
 > 
 > Recommendation: This idea is discussed beginnin on line 2072, but the
 > report does not mention the inclusion of victims of FF. Perhaps a
 small
 > change to this section could be made to encompass this idea.
 > 
 >





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