Hello Fellow NCSG Members:

 

I request your input regarding an issue under discussed by the Transfer Policy Review Working Group (TPRWG).

 

The issue concerns whether to allow for the transfer of a domain to a different registrar in fewer than 30 days after an initial transfer.

 

My recommended NCSG position: Under no circumstances should a registrar allow for a transfer in fewer than 30 days.

 

Please review the points below and let me know if you agree with my position or prefer for me to present some other position.

 

Certainly, let me know if you have any questions.

 

I look forward to hearing from you.

Ken

 

Major points regarding the issue include:

  1. Current policy imposes a 60-day restriction on any inter-registrar transfers after a transfer. In other words, if I move my registered domain name to a new registrar, I could not move my domain name again for 60 days. No exceptions (at least that I am aware of). My understanding is that this is a measure to protect against domain name theft.
  2. In previous discussions, the working group recommended changing the lock to 30 days and would require all registries to adhere to this timeframe. The proposed preliminary recommendation reads as follows:

    GROUP 1(a) Rec 17(a): The Registrar MUST restrict the Registered Name Holder (RNH) from transferring a domain name to a new Registrar within 30 days / 720 hours of the completion of an inter-Registrar transfer. To the extent that a Registry and/or Registrar has an existing policy and/or practice of restricting the RNH from transferring a domain name to a new Registrar for a different period of time following an inter-Registrar transfer, all policies and practices MUST be updated to be consistent with this new requirement.
  3. This preliminary recommendation has been reopened in light of current discussions around the Change of Registrant Data policies.
  4. The proposed revision would allow a registrar to initiate a transfer in fewer than 30 days under certain circumstances. The circumstances proposed include cases where the registrant has an established relationship with the registrar.
  5. Some registrants have a problem with the lock, as indicated in the Charter for the WG, which notes in paragraph d4 that “Survey responses and data provided by ICANN’s Global Support Center indicate that registrants do not understand the 60-day lock and express frustration when it prevents them from completing an inter-registrar transfer.”
  6. Some registrars have explained that in a small number of cases the 30-day lock imposes a business hardship, and this is mentioned in the charter in paragraph d7, “In its survey response, the Registrar Stakeholder Group indicated that the 60-day lock hinders corporate acquisitions, consolidations, and divestitures of large lists of domains to new legal entities”.
  7. Some registrars even suggest that having any lock after a transfer only offers limited protection from domain theft (which is the main reason for imposing a lock in the first place). Some registrars report many complaints about having a lock.
  8. Some stakeholder groups express in the WG meetings discomfort with any reason to remove the lock, and feel the lock remains an important security control..
  9. In my opinion, evidence of the impact of a lock for reducing domain theft is slim. As noted, my understanding is that the lock was initially included in the policy since moving domains quickly across many registrars was an indication of potential domain theft and locking the domain for a period of time allowed for registrants to recover these domains.
  10. Given that:
    1. Evidence of the impact of the lock is inconclusive, and
    2. Professional domain managers have for many years coped with having the lock, and
    3. Providing the ability of registrars to undo a lock enables a registrar to manipulate, and potentially undermine, the trust of registrants, and
    4. Reducing the lock to 30 days provides a reasonable compromise.

 

My suggestion is for NCSG to take the position to retain the current language of recommendation 17(a); i.e. to maintain the 30-day lock. I further suggest that the working group call on ICANN to more intensively study the impact of having a transfer lock, both of the

While I would need to confirm, I believe ALAC and the Business Constituency have a similar position.

 

References: all documents (Charter, preliminary reports, etc) can be found here: https://community.icann.org/display/TPRPDP