The objective of this survey is to obtain an idea of the individual WG member's position on the different PPSAI charter questions. Please note that your response is intended to help inform the deliberations and will in no way be taken as a final position. Being able to assess the WG's view on these different charter questions will hopefully also aid in determining where common positions may exist or where positions are far a part, which in turn will assist in developing the WG's work plan. Your participation is much appreciated.

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* 1. What is your name?

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* 2. What, if any, are the types of Standard Service Practices that should be adopted and published by ICANN-accredited privacy/proxy service providers?

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* 3. What, if any, are the baseline minimum standardized relay and reveal processes that should be adopted by ICANN-accredited privacy/proxy service providers?

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* 4. Should ICANN-accredited privacy/proxy service providers be required to reveal customer identities for this specific purpose?

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* 5. Should ICANN-accredited privacy/proxy service providers be required to forward on to the customer all allegations they receive of illegal activities relating to specific domain names of the customer?

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* 6. What forms of malicious conduct (if any) and what evidentiary standard would be sufficient to trigger such disclosure? What safeguards must be put in place to ensure adequate protections for privacy and freedom of expression?

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* 7. What specific violations, if any, would be sufficient to trigger such publication? What safeguards or remedies should there be for cases where publication is found to have been unwarranted?

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* 8. Should ICANN-accredited privacy/proxy service providers be required to conduct periodic checks to ensure accuracy of customer contact information; and if so, how?

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* 9. What are the contractual obligations (if any) that, if unfulfilled, would justify termination of customer access by ICANN-accredited privacy/proxy service providers?

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* 10. What rights and responsibilities should customers of privacy/proxy services have? What obligations should ICANN-accredited privacy/proxy service providers have in managing these rights and responsibilities? Clarify how transfers, renewals, and PEDNR policies should apply.

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* 11. Should ICANN-accredited privacy/proxy service providers be required to label WHOIS entries to clearly show when a registration is made through a privacy/proxy service?

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* 12. Should full WHOIS contact details for ICANN-accredited privacy/proxy service providers be required?

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* 13. What measures should be taken to ensure contactability and responsiveness of the providers?

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* 14. Should ICANN-accredited privacy/proxy service providers be required to maintain dedicated points of contact for reporting abuse? If so, should the terms be consistent with the requirements applicable to registrars under Section 3.18 of the RAA?

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* 15. What are the forms of malicious conduct (if any) that would be covered by a designated published point of contact at an ICANN-accredited privacy/proxy service provider?

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* 16. What circumstances, if any, would warrant access to registrant data by law enforcement agencies?

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* 17. What clear, workable, enforceable and standardized processes should be adopted by ICANN-accredited privacy/proxy services in order to regulate such access (if such access is warranted)?

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* 18. Should ICANN-accredited privacy/proxy service providers distinguish between domain names used for commercial vs. personal purposes? Specifically, is the use of privacy/proxy services appropriate when a domain name is registered for commercial purposes? Should there be a difference in the data fields to be displayed if the domain name is registered/ used for a commercial purpose or by a commercial entity instead of to a natural person?

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* 19. Should the use of privacy/proxy services be restricted only to registrants who are private individuals using the domain name for non-commercial purposes?

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* 20. What types of services should be covered, and what would be the forms of non-compliance that would trigger cancellation or suspension of registrations?

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* 21. Should ICANN distinguish between privacy and proxy services for the purpose of the accreditation process?

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