EN
Down Arrow
User Icon
Hamburger Icon
`
SEARCH
X

GAC 网站搜索

搜索

GAC 建议

政府咨询委员会 (GAC) 针对政策事务向 ICANN 董事会提交建议。这些政策事务涉及 ICANN 政策与各种法律、国际协定和公共政策目标之间的互动。GAC 建议通过一份《公报》或正式信函与 ICANN 董事会进行沟通。

2012-03-16-LEA-1

GAC 建议

参考号:

2012-03-16-LEA-1

First Delivered via :

N/A

共识:

共识已达成

2012-03-16-LEA-1

Communication

In terms of contracts, the GAC stressed the critical importance of implementing the GAC/LEA recommendations, for improvements to the Registrar Accreditation Agreements and confirms its interest and availability to assist with the effort to conclude the negotiations for RAA amendments as soon as possible. The GAC encourages the Board to consider the RAA amendments in conjunction with the recommendations of the WHOIS Review Team. The GAC broadly supports the WHOIS Review Team’s Draft Recommendations, and will closely monitor the Board’s response and subsequent implementation activities.

In terms of compliance, the GAC requests an update on the status of the law enforcement recommendations that relate to due diligence activities by ICANN. More broadly, the GAC emphasises the need to ensure that ICANN’s compliance activities are based on best practice principles and:

  • have clear and appropriate lines of reporting and accountability,
  • can be pursued pro-actively and independently of other interests, and
  • are given appropriate priority, with independent and expert oversight.

To better inform future discussion on these issues, the GAC requests briefing from the Board at the Prague meeting on the structure and contractual arrangements in the domain registration industry, and on ICANN’s role as an industry self-regulatory organisation.

The GAC noted that a common factor between these issues is whether ICANN adequately oversees, manages and enforces the obligations contained in its contracts with 
contracted parties. The GAC agreed to provide some examples of how organisations with similar self-regulatory responsibilities have separated their regulatory and operational responsibilities. The GAC believes an effective compliance regime will benefit all users of the DNS.

Current Status/Communications Log

Communication

In terms of contracts, the GAC stressed the critical importance of implementing the GAC/LEA recommendations, for improvements to the Registrar Accreditation Agreements and confirms its interest and availability to assist with the effort to conclude the negotiations for RAA amendments as soon as possible. The GAC encourages the Board to consider the RAA amendments in conjunction with the recommendations of the WHOIS Review Team. The GAC broadly supports the WHOIS Review Team’s Draft Recommendations, and will closely monitor the Board’s response and subsequent implementation activities.

In terms of compliance, the GAC requests an update on the status of the law enforcement recommendations that relate to due diligence activities by ICANN. More broadly, the GAC emphasises the need to ensure that ICANN’s compliance activities are based on best practice principles and:

  • have clear and appropriate lines of reporting and accountability,
  • can be pursued pro-actively and independently of other interests, and
  • are given appropriate priority, with independent and expert oversight.

To better inform future discussion on these issues, the GAC requests briefing from the Board at the Prague meeting on the structure and contractual arrangements in the domain registration industry, and on ICANN’s role as an industry self-regulatory organisation.

The GAC noted that a common factor between these issues is whether ICANN adequately oversees, manages and enforces the obligations contained in its contracts with
contracted parties. The GAC agreed to provide some examples of how organisations with similar self-regulatory responsibilities have separated their regulatory and operational responsibilities. The GAC believes an effective compliance regime will benefit all users of the DNS.

Current Status/Communications Log