I recently followed a webinar session organized by the University of Queensland on the factory of the future. Smart or not, the future will still need factories to make the stuff we humans use every day. One of the discussed questions included: "how will existing production models cope with the staggering and ongoing rate of digital disruption and advanced capabilities?"
As the steward of .ORG, Public Interest Registry is committed to serving as an "exemplary registry" for the DNS. As part of that mission, PIR published our Anti-Abuse Principles last year that serve as our north star to address questions of abuse. As PIR has stated on many occasions, generally speaking, the DNS is not the appropriate place to address questions of website content abuse because of the blunt tool we as a registry have and the collateral damage that can be caused by suspending a domain name for a piece of content.
Three years ago, the first Internet-Draft on Registry Maintenance Notifications for the Extensible Provisioning Protocol (EPP) was published, which will become a Request for Comments (RFC). The IETF Registration Protocols Extensions (REGEXT) working group is the home of the coordination effort for standards track EPP extensions. They released eight RFCs over the last couple of years, and they are currently working on more than 15 Internet-Drafts.
In ICANN's "President & CEO Goals for Fiscal Year 2021", Göran Marby went out to make a curious distinction in the document's second stated goal, according to which he intends to "Implement a common strategy for Internet governance (IG) and technical Internet governance (TIG)". Proceeding to state that "we will begin by identifying the most important issues we need to address, followed by an assessment of where and how we can intervene, the venues we should use, and the resources required to be effective".
The Internet Commerce Association has been actively involved for the last four years on the ICANN Working Group reviewing the Uniform Rapid Suspension (URS) policy and the Uniform Domain Name Dispute Resolution Policy (UDRP). The Working Group is currently wrapping up its review of the URS. The UDRP will be reviewed in an upcoming second phase.
After two years of grueling, complex and contentious debate, the ICANN EPDP team delivered its Phase 2 Final Report on July 31st, 2020. Unfortunately, and disappointingly, the policy recommended for the so-called "System for Standardized Access/Disclosure" (SSAD) fails to meet the needs of the users it supposedly is designed to benefit.
Donald Trump recently issued an executive order banning TikTok on the grounds that it was necessary to deal with the national emergency he had declared in an earlier executive order. He says he is concerned that TikTok might turn user's "information such as location data and browsing and search histories" over to the Chinese government. Trump does not site evidence of TikTok having shared data with China and TikTok says they have never shared user data with the Chinese government...
With the publication of the Australian Governmental report on Digital Platforms1and in the light of the ongoing work on the EU's Digital Services Act, the spotlight of policymaking is on platforms such as Google, Facebook and Amazon. It is natural that members of the ICANN community want to discuss the role of platforms within the ICANN framework, but sadly and predictably, the usual bylaws jockeys and keepers of the true ICANN faith were quick to stifle the conversation.
In the coming days, the Internet Governance Forum Dynamic Coalition on Internet Standards, Security and Safety will be announced on the IGF website. The following is an invitation to participate, share ideas and best practices, the willingness to take on a new approach towards mass deployment of internet standards and ICT best practices. Feel free to reach out to us and start working towards a kick-off meeting at the global, virtual Internet Governance Forum in November.
This isn't the blog post I had hoped to write. When I signed up to participate in ICANN's Expedited Policy Development Process for gTLD Registration Data, I knew we had a lot of work ahead of us, but I was cautiously optimistic that we would, eventually, reach a successful outcome. Today, I find myself looking at things differently. After hundreds of hours and countless meetings and emails, Phase 2 of the EPDP's work has wrapped up with the delivery of our final report to the GNSO Council.