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JPRS Submitted Comments Responding to Notice of Inquiry by the U.S. Department of Commerce Regarding Joint Project Agreement

(19 February 2008)

On 15 February 2008, JPRS submitted its comments responding the notice of inquiry opened by the National Telecommunications and Information Administration, U.S. Department of Commerce.

The Joint Project Agreement (JPA) is between the United States government and ICANN for the purpose of transitioning the Internet domain name and addressing system to a private sector multi-stakeholder model. This agreement is in the process of a mid-term review for which the NTIA called for comments.

Since its inception, JPRS has strongly supported private-sector-led Internet governance and so actively participated in the ICANN process. On this account, JPRS submitted its comments appreciating ICANN's achievement. This is in line with the submission which JPRS had made in July 2006, as in reference below.


JPRS Comments



15 February 2008

Office of International Affairs
National Telecommunications and Information Administration
Ms. Suzanne R. Sene
1401 Constitution Avenue / Room 4701
Washington DC 20230
USA

Subject: The Continued Transition of the Technical Coordination and Management of the Internet's Domain Name and Addressing System: Midterm Review of the Joint Project Agreement

Dear Ms Sene,

JPRS appreciates the US Government for offering this opportunity for comments on the transition of the coordination and management of the DNS.

We, JPRS (Japan Registry Services Co., Ltd.), are one of the ccTLD Sponsoring Organizations that formalized the relationship with ICANN in its earliest days. Since its inception, JPRS has supported private-sector-led Internet governance, thus contributed to organize ICANN and participated in discussions of various issues surrounding the management of the DNS. This contribution has been made based on a notion that JPRS, as well as the other community members, forms part of ICANN.

JPRS gives the following comments responding to your Notice of Inquiry:


  • ICANN has promoted management of the Internet's technical resources on a multi-stakeholder coordination basis and contributed to realizing security and stability of the DNS. All in all, we view ICANN has achieved a satisfactory level of performance.

  • Especially, we value a series of steps taken by ICANN to protect gTLD registrants including Registry Failover Planning, Registrar Data Escrow and RAA amendments; as these measures strengthen consumer protection as well as security and stability of the DNS. We also value ICANN's processes where the inputs made by JPRS and other parties such as ccTLD registries, who have similar experiences, were well taken into consideration in ICANN's developing these solutions. It is crucial that ICANN continues to listen to and incorporate the views and experiences of the relevant parties in addressing any issues.

  • It is likely that ICANN adds new TLD's in near future. In introducing the new TLD's, ICANN needs to develop mechanisms that avoid confusion and satisfy the demand of the community. One of ccTLD manager's responsibilities is to serve the interest of the relevant community. In this regard, we believe ccTLD's can provide valuable input to ICANN throughout the process for the introduction. So we propose ICANN continue to consider such input for the policy development.

  • The initial process to address IDN TLD issue was slow as it took time to gain common understanding of the issues per se by multi-stakeholders, global organizations and individuals. In the past few years, however, the discussion has been accelerated to a very high level, accompanied by concrete action. Accordingly, we can now expect to see the first IDN TLD within a year or so. This acceleration is the evidence of the fact that complex issues have been tackled by ICANN's activities through participation of multiple stakeholders, including global organizations and individuals.

  • In the early days, not many ccTLD's formalized their relationships with ICANN due to excess formality of the responsibility in the proposed contract. Later, however, ICANN poured efforts in perceiving the situation of ccTLD's, and a new framework based on mutual trust called Accountability Framework was introduced. It is noteworthy that as of January 22, 2008, as many as 53 ccTLD's, including 37 ccTLD's who signed Accountability Frameworks, have formalized their relationships with ICANN.

  • In respect to more participation of ccTLD's in the ICANN process, a working group has been established in ccNSO; and we expect to see further development. We believe relationship between ccTLD's and ICANN will continue to be stabilized. JPRS, as a ccTLD manager, is certainly ready to contribute in achieving this.

  • The plans for transition of the DNS responsibility should be carefully developed so that the transition does not damage continuity of the IANA function. We understand the IANA is the scope of the agreement that is separate from JPA, but we should take into consideration of the continuity of IANA function when developing the plan.

Finally, please let us emphasize that JPRS continues to support the private-sector management of the DNS. We strongly believe that now is the time to start developing the plan for transition in preparation for the upcoming termination of JPA.

Sincerely yours,

Koki Higashida
President
Japan Registry Services Co., Ltd.

References:

Notice of Inquiry
Department of Commerce
National Telecommunications and Information Administration
The Continued Transition of the Technical Coordination and Management of the Internet's Domain Name and Addressing System:
Midterm Review of the Joint Project Agreement
Docket No. 071023616-7617-01
http://www.ntia.doc.gov/ntiahome/frnotices/2007/ICANN_JPA_110207.html

NTIA Seeks Public Comments Regarding Joint Project Agreement with ICANN
http://www.ntia.doc.gov/ntiahome/domainname/jpamidtermreview.html

JPRS Submitted Comments Responding to Notice of Inquiry by the U.S. Department of Commerce (7 July 2006)
http://jprs.co.jp/en/topics/060707.html

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