Public Comment CloseStatement
Name 

Status

Assignee(s)

Call for
Comments Open
Call for
Comments
Close 
Vote OpenVote CloseDate of SubmissionStaff Contact and EmailStatement Number

20 June 2018

20 June 2018 Supplemental Statement:

ADOPTED

14Y, 0N, 0A: Ratified during ICANN62 with all ALAC Members present (14 out of 15).

05 June 2018 Statement:

ADOPTED

15Y, 0N, 0A

11 May 2018

25 May 2018

21 June 2018

26 June 2018

05 June 2018

05 July 2018 Statement:

AL-ALAC-ST-0618-02-03-EN

Hide the information below, please click here 


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. 

05 July 2018 ratified statement:

05 June 2018 statement:



FINAL DRAFT VERSION TO BE VOTED UPON BY THE ALAC

The final draft version to be voted upon by the ALAC will be placed here before the vote is to begin.

Supplementary Comment submitted by Jonathan Zuck, 20 June 2018

The At-Large Advisory Committee (ALAC) provides its input on Verisign, Inc.’s (Verisign’s) proposed amendment within its Registry Request Service (RSEP) for ICANN to release for registration the “O.com” single character domain name (SCDN).[1] We support this proposition provided it offers the proceeds to nonprofit organizations that serve the public interest. As ICANN is aware, SCDNs have extraordinary value and prospects because of their simplicity and scarcity. We applaud ICANN for opening up a forum to discuss this important issue.

With that said, the ALAC proffers the following suggestions:

ICANN Should Permit the Release of O.com and Allow Verisign to Conduct a Third-Party Auction  

As stated above, the ALAC supports ICANN releasing O.com. ICANN’s Generic Names Supporting Organization’s Reserved Names Working Group’s report demonstrates rather convincingly that there exists no real issues with SCDNs’ ability to function online. Additionally, the potential for the release of SCDN seemingly have no anticompetitive concerns.[2] Therefore, the ALAC suggests that Verisign conduct a third-party auction to ensure that transparency and fairness in the process are in place, because, as we explain in more detail below, it could yield benefits should  Verisign invest into ventures that serve the public interest.

Third-Party Auction Service Providers Should Screen Candidates for Auction

Verisign should require the third-party auction service provider to pre-qualify potential registrants for participation in the auction. Additionally, the prospective registrants should submit documents that demonstrate and describe how they plan to use O.com, their ability to pay, and any and all relevant information that could assist the third-party auctioneer to ensure ICANN’s mission to serve the public interest (e.g., increasing digital literacy) is fulfilled. The ALAC strongly support the notion that O.com be registered by an entity determined to use the domain rather than profit from its resale.

Verisign Should Forfeit the Auction’s Proceeds and Renewals to Non-Profit Entity

Irrespective of the auction’s format, the ALAC recommends that all proceeds from the O.com auction and renewals that follow go to a nonprofit organization(s) that will use the funds toward areas of public good of the Internet community. ALAC members have long supported this position. 

The ALAC believes that Verisign’s plan as articulated in its RSEP furthers this goal. However, given that many of the listed nonprofit organizations are redacted, the ALAC wishes Verisign to provide the ALAC with a comprehensive list of all potential nonprofit organization to ensure full transparency in this process.   

We appreciate the opportunity to share our views on this matter. Thank you in advance for your time and consideration on this important issue.




[1] Verisign’s Registry Request (Ticket ID: B6H5U-2X7N1) at https://www.icann.org/en/system/files/files/rsep-2017038-com-request-30nov17-en.pdf.

[2] 14-Dec-2017 DoJ Letter, at https://www.icann.org/en/system/files/correspondence/hoag-to-jeffrey-14dec17-en.pdf

[3] See. https://forum.icann.org/lists/allocationmethods/msg00007.html.



FIRST DRAFT SUBMITTED

The first draft submitted will be placed here before the call for comments begins.

Supplementary Comment submitted by Jonathan Zuck, 20 June 2018

The At-Large Advisory Committee (ALAC) provides its input on Verisign, Inc.’s (Verisign’s) proposed amendment within its Registry Request Service (RSEP) for ICANN to release for registration the “O.com” single character domain name (SCDN).[1] We support this proposition provided it offers the proceeds to charities that serve the public interest. As ICANN is aware, SCDNs have extraordinary value and prospects because of their simplicity and scarcity. We applaud ICANN for opening up a forum to discuss this important issue.

With that said, the ALAC proffers the following suggestions:

ICANN Should Permit the Release of O.com and Allow Verisign to Conduct a Third-Party Auction  

As stated above, the ALAC supports ICANN releasing O.com. ICANN’s Generic Names Supporting Organization’s Reserved Names Working Group’s report demonstrates rather convincingly that there exists no real issues with SCDNs’ ability to function online. Additionally, the potential for the release of SCDN seemingly have no anticompetitive concerns.[2] Therefore, the ALAC suggests that Verisign conduct a third-party auction to ensure that transparency and fairness in the process are in place, because, as we explain in more detail below, it could yield benefits should  Verisign invest into ventures that serve the public interest.

Third-Party Auction Service Providers Should Screen Candidates for Auction

Verisign should require the third-party auction service provider to pre-qualify potential registrants for participation in the auction. Additionally, the prospective registrants should submit documents that demonstrate and describe how they plan to use O.com, their ability to pay, and any and all relevant information that could assist the third-party auctioneer to ensure ICANN’s mission to serve the public interest (e.g., increasing digital literacy) is fulfilled. The ALAC strongly support the notion that O.com be registered by an entity determined to use the domain rather than profit from its resale.

Verisign Should Forfeit the Auction’s Proceeds and Renewals to Charity 

Irrespective of the auction’s format, the ALAC recommends that all proceeds from the O.com auction and renewals that follow go to charity to further the public interest. ALAC members have long supported this position. For example:

  • Avri Doria submitted the idea of an SCDN auction with the “proceeds going to the public good” given their rarity.[3] She recommended that single-letter domain names at second level auctions “should be contingent on [] establishing a separate fund for a benevolent foundation that would receive all of the income above costs from these auctions.”
  • Olivier MJ Crepin-Leblond suggested that “[i]f single letter domains are so expensive because of their scarcity, why not make them as expensive as 3G licenses and pay the premium fee towards network development & training in developing countries? Any other use of any premium funds paid is just another gift to registries.”[4]

The ALAC believes that Verisign’s plan as articulated in its RSEP furthers this goal. However, given that many of the listed charities are redacted, the ALAC wishes Verisign to provide the ALAC with a comprehensive list of all potential charities to ensure full transparency in this process.   

We appreciate the opportunity to share our views on this matter. Thank you in advance for your time and consideration on this important issue.




[1] Verisign’s Registry Request (Ticket ID: B6H5U-2X7N1) at https://www.icann.org/en/system/files/files/rsep-2017038-com-request-30nov17-en.pdf.

[2] 14-Dec-2017 DoJ Letter, at https://www.icann.org/en/system/files/correspondence/hoag-to-jeffrey-14dec17-en.pdf

[3] See. https://forum.icann.org/lists/allocationmethods/msg00007.html.

[4] See. https://forum.icann.org/lists/allocationmethods/msg00023.html.






First Statement ratified, 05 June 2018:

Given the lack of both stability and competition concerns, the ALAC believes the introduction of O.com represents no downside to end users. The ALAC further suggests that the proceeds of the auction be used to make concrete progress on universal acceptance, one of the primary frustrations of end users with regards to the introduction of new top level domains.

12 Comments

  1. I support the draft statement.

  2. I support the draft statement, as is.

  3. Short and to the point - thanks Jonathan 

  4. Thanks Hadia. I was excited about it as well. There are some tremors happening now that might require a supplemental statement from end users. Working on it.

  5. Folks,

    Sorry for the late draft but I've been hearing rumblings from folks about this rsep along the lines of "everyone should be able to bid" "there should be a healthy secondary mariket" etc., all of which appear to put profiteering above the public good that this proposal would appear to advance. Accordingly, I thought it made sense to file a supplemental comment that not only do we support the auction for o.com but we are also supportive of a 3rd party auction, that there should be some requirement that the bidders actually use the domain and that renewals would also continue to support the charities involved. Take a look and let me know what you think. Thanks!

    Jonathan


  6. Jonathan, I support your supplemental statement.

    One question. Does it make sufficiently clear that the TLD must be acquired for actual use and not speculation or resale?

    Alan

  7. Don't know. The RSEP certainly does but we can try to make it clearer.

  8. I added the following line:


    "The ALAC strongly support the notion that O.com be registered by an entity determined to use the domain rather than profit from its resale."


    that et the job done?

  9. Thank you Jonathan, I support both your first and second additions. I do have a question though how can you determine that an entity has the intention of using a domain rather than profiting from its resale.

  10. Thanks Hadia. I'm sure there's no perfect mechanism but built into the RSEP is the notion of a 3rd party auction house that will do some kind of examination of the bidders who would supply their plans for the use of the domain. It is this requirement, to which the domainers are opposed, which suggests it represents at least some form of stumbling block to speculation.

  11. Hi Jonathan,

    While I am in support of the intent behind your 3 (additional) suggestions, I'd like to pose some questions/comments for consideration:

    1. ICANN Should Permit the Release of O.com and Allow Verisign to Conduct a Third-Party Auction 

    • In the last sentence of "Therefore, the ALAC suggests that Verisign conduct a third-party auction to ensure that transparency and fairness in the process are in place, because, as we explain in more detail below, it could yield benefits should Verisign invest into ventures that serve the public interest", are you suggesting that Verisign be allowed to themselves conduct the third-party auction or that they be allowed to use a third-party auction service provider? I could be wrong but I think it's the latter, in which case, so perhaps the word "conduct" should be "oversee" or better still, ".... Verisign be allowed to appoint a third-party service provider to conduct an auction to ensure .....". This would be consistent with the proposition made in the second sentence of the 'o.com Service' section at the top of pg 5 of https://www.icann.org/sites/default/files/tlds/com/com-amend-2-pdf-10may18-en.pdf
    • That would also alleviate disconnect with your second suggestion immediately below where "third-party auction service provider" is mentioned.  
    • It would also establish whether ALAC supports the proposition that the third-party auction service provider should be selected by Verisign (on a strictly at-arms-length basis?)

    2. Third-Party Auction Service Providers Should Screen Candidates for Auction

    • Section "Provisioning", 2nd paragraph at pg 6 of https://www.icann.org/sites/default/files/tlds/com/com-amend-2-pdf-10may18-en.pdf reads, "The third party auction service provider will be required to pre-qualify potential registrants for participation in the auction, which may include asking potential registrants to submit documentation to the third party auction service provider describing the planned marketing and usage of the registered domain name, demonstrating the ability to pay, and additional requirements as may be required by the third party auction service provider. A team formed by the third party auction service provider will review and approve the proposals based upon pre-determined qualifications."
    • Your second suggestion zooms in on the qualifications which are deemed important to ALAC, which is great. I wonder if we shouldn't go one step further to also comment on any limitations to be placed on the team to be formed by the third party auction service provider which will review and approve the proposals, eg should the team be drawn from their own ranks or not, or at least stipulate that team members must not have any interest in any of the potential registrants? We don't even know who the third-party auction service provider might be or if the appointment by Verisign should be a strictly at-arms-length basis.

    3. Verisign Should Forfeit the Auction’s Proceeds and Renewals to Non-Profit Entity

    • Section "Disbursement of Proceeds to the Nonprofit Beneficiary" at bottom of pg 5 of https://www.icann.org/sites/default/files/tlds/com/com-amend-2-pdf-10may18-en.pdfreads, "The winning registrant will submit the auction proceeds to an independent tax-exempt trust that will be set up by the third party auction service provider (the "Trust"). An independent third party trustee (the "Third Party Trustee") will (i) select the nonprofit organization(s) to receive the auction proceeds as outlined above and (ii) manage the receipt and distribution of the auction proceeds to the nonprofit(s). ....."
    • I support the points raised by Avri and Olivier, and I might even persuaded to think that "an independent tax-exempt trust" might cover what Avri and Olivier have suggested, although it may not be as clear cut as I would like. 
    • In any case, if we were to fall back on what https://www.icann.org/sites/default/files/tlds/com/com-amend-2-pdf-10may18-en.pdf suggests, then I think we should be very concerned as to who the third party auction service provider to be appointed by Verisign might be, and so come back to the question of whether there needs to be any conditions placed on Verisign's appointment of a third party auction service provider. Perhaps there are some stipulations elsewhere in the ICANN universe?


    Thanks,
    Justine