Comment Close Date | Statement Name | Status | Assignee(s) and | Call for | Call for Comments Close | Vote Announcement | Vote Open | Vote Reminder | Vote Close | Date of Submission | Staff Contact and Email | Statement Number |
---|---|---|---|---|---|---|---|---|---|---|---|---|
03.04.2014 25.04.2014 (reply period close) | Initial Report Inter-Registrar Transfer Policy (IRTP) Part D PDP | Voting | Alan Greenberg | 05.04.2014 | 11.04.2014 23:59 UTC | 14.04.2014 00:00 UTC | 14.04.2014 00:00 UTC | 17.04.2014 | 18.04.2014 23:59 UTC | 21.04.2014 | Lars Hoffmann Lars.hoffmann@icann.org | TBC |
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FINAL VERSION TO BE SUBMITTED IF RATIFIED
The final version to be submitted, if the draft is ratified, will be placed here by upon completion of the vote.
FINAL DRAFT VERSION TO BE VOTED UPON BY THE ALAC
The ALAC strongly supports these recommendations.
The ALAC particularly supports Recommendation 5 that would extend the statute of limitation to launch a Transfer Dispute Resolution Policy (TDRP) be extended from the current 6 months to 15 months from the initial transfer. This will provide registrants the opportunity to become aware of fraudulent transfers when they would no longer receive their registrar's annual WDRP notification or renewal notice.
The ALAC's further comments are as follows:
- In Recommendation 9, the term "user-friendliness" should be augmented comprehensively to make it clear that this site should be understandable to a registrant who does not have to deal with such problems on a regular basis. The information should clearly explain circumstances in which the ICANN Compliance can assist in recovery of the registrant's name and when it cannot. Moreover, the site should be available in at least the 5 UN languages.
- In recommendation 10, it is essential that, in addition to Registrars, Resellers be explicitly included.
FIRST DRAFT SUBMITTED
The ALAC strongly supports these recommendations.
The ALAC's further comments are as follows:
The ALAC particularly supports Recommendation 5 that would extend the statute of limitation to launch a TDRP be extended from current 6 months to 15 months from the initial transfer. This will provide registrants the opportunity to become aware of fraudulent transfers when they would no longer receive their registrar's annual WDRP notification or renewal notice.
In Recommendation 9, the term "user-friendliness" should be augmented to make it clear that this site should be understandable to a registrant who does not have to deal with such problems on a regular basis. The information should clearly explain circumstances in which the ICANN Compliance can assist in recovery of the registrant's name and when it cannot. Moreover, the site must be available in a reasonably wide range of languages.
In recommendation 10, it is essential that, in addition to Registrars, Resellers be explicitly included.