European Board of Data Protection letter to ICANN

Stephanie Perrin stephanie.perrin at MAIL.UTORONTO.CA
Thu Jul 5 15:54:22 EEST 2018


Yes, it is a clarification that the guidance produced in an 
accreditation scheme is to provide assurance of GDPR compliance to the 
parties passing it on...

It is a helpful letter but does not enable any cutting of corners in my 
view...

cheers Stephanie

On 2018-07-05 16:37, farzaneh badii wrote:
> Here is the response of EBDP to ICANN inquiries about a couple of 
> important issues, such as data rention, data collection and access and 
> accreditation. While EPDP expects ICANN to come up with a WHOIS model 
> which will enable legitimate uses of stakeholders, there are many 
> caveat to this expectation.
>
> One interesting point is, epdp states that having an accreditation or 
> certification in place is a voluntary measure. What should be in place 
> is an access model with appropriate safeguards that is gdpr complaint.
>
> https://www.icann.org/en/system/files/correspondence/jelinek-to-marby-05jul18-en.pdf
> Farzaneh
> -- 
> Farzaneh
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