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Second ccNSO Organizational Review

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Revision as of 19:28, 8 June 2021 by JP (talk | contribs)

The Second ccNSO Organizational Review (ccNSO2) was initiated in spring 2018.[1] The review is in the implementation phase as of June 2021.[1]

Background[edit | edit source]

Article 4.4 of the ICANN Bylaws requires periodic review of all supporting organizations and advisory committees, as well as the Nominating Committee.[2] The bylaws state three objectives for the review:

  1. to determine whether that organization, council or committee has a continuing purpose in the ICANN structure;
  2. if so, whether any change in structure or operations is desirable to improve its effectiveness; and
  3. whether that organization, council or committee is accountable to its constituencies, stakeholder groups, organizations and other stakeholders.[2]

Organizational reviews are conducted by independent examiners, selected through a competitive bidding process.[2] The independent examiner works in consultation with a working group assembled by the board, who will act as implementation shepherds once the final report of the independent examiner is submitted.[3] The review parameters are set by the ICANN Board, and those parameters as well as other avenues of inquiry are typically included in the request for proposals (RFP) for independent examiners.[2][3] Reviews can take anywhere from three to five years to complete. The full review process includes seven phases, including the implementation of recommendations from the review.[3] Reviews must be conducted at least every five years, measuring from the date that the final report of the previous review was accepted by the ICANN Board.[3] The Country Code Names Supporting Organization is one of the organizations subject to the review requirements of Article 4.4.[3]

Initiation[edit | edit source]

Aware of the level and intensity of activity within the ICANN community in 2017, the chair of the Organizational Effectiveness Committee sent letters to the ccNSO, RSSAC, and SSAC in March of that year, offering to defer the initiation of their organizational reviews by a year, and and proposing a timeline for preparatory activities during the deferral period.[4] The ccNSO responded that they would like to defer the review.[5] A public comment process was initiated to provide information on the ICANN community's opinions to the board as they deliberated the proposed deferral.[4] Four public comments were submitted, with three of the four in favor of, or not opposed to, a deferral.[4] In September 2017, the board approved the deferral of the ccNSO2 review to April 2018.[6]

The ccNSO had already called for volunteers for the ccNSO2 review working party (RWP) in January 2017.[7] During the deferral period, the ccNSO and the working party dedicated time to "reviewing and updating our internal documents to ensure that they capture our current practice, recommendations from the previous review and requirements set in the new Bylaws."[5] In February 2018, the ccNSO sent out a second call for volunteers to participate in the ccNSO2 review working party.[8] In March 2018, the board initiated the ccNSO2 review at its regular board meeting, noting that the independent examiner would selected and would begin work by August 2018.[9]

The RFP for an independent examiner followed in April 2018.[10] In August 2018, Meridian Institute was selected to conduct the independent review.[11]

Independent Review Findings and Recommendations[edit | edit source]

Pursuant to ICANN's revised review process, the independent review was divided into two phases: an assessment report that contained the findings of the review, and a final report that incorporated public comment regarding the findings, and presented recommendations for improvement.[1] Meridian utilized multiple information-gathering methods in its assessment process:

  1. Review of foundational ccNSO documentation regarding its mission, function, and operations;
  2. Review of ccNSO processes and activities since ccNSO1;
  3. Interviews with forty-five former and current ccNSO members and participants;
  4. A survey directed at the broader ICANN community (111 respondents and 78 fully completed responses);[12] and
  5. Attendance an observation of ccNSO Member Day meetings at ICANN 63 and ICANN 64, along with attendance at the ccNSO Council meeting during ICANN 64.[13]

Meridian also engaged in regular consultation with the RWP, to validate and verify information received, and to get input on the draft assessment report. The final assessment report contained a record of these interactions, and in particular RWP comments on the report.[13]

Assessment Report Findings[edit | edit source]

In responding to the central questions of the Article 4.4 organizational review process, Meridian concluded that the ccNSO was operating effectively and with accountability:

Based upon the findings, our overall determination is that 1) the ccNSO has a continuing purpose; 2) there do not seem to be a need for major structural or operational changes; 3) the ccNSO is accountable to its constituents, including its members and the broader ICANN community. While no significant changes are anticipated, the findings indicate there are opportunities for the organization to continuously improve as it works to achieve the three objectives above. Meridian will develop recommendations for improvement based upon findings in this Assessment Report, heavily informed by the interviews and survey responses and by continued engagement with the ccNSO and ICANN communities at ICANN64.[13]

Notable findings regarding opportunities for improvement included:

  • The ccNSO needs to clearly articulate the value of membership and/or participation in the ccNSO and ICANN;
  • The narrow scope of the ccNSO's policy development role makes its outreach, support, and engagement activities much more relevant to the experience of members of the ccNSO and the broader ICANN community;
  • Interrelated to both the above findings, there are barriers to entry and recruitment of new participants within the membership, and new members to the ccNSO;
  • The ccNSO website needs to be overhauled to improve organization of key resources, documents, activities, and outreach;
  • Some ccNSO-specific provisions of the ICANN Bylaws are both difficult to adhere to and difficult to amend;
  • ccNSO working groups are prone to lose focus, largely because of volunteer burnout and lack of volunteers to begin with;
  • Despite being only informally related to the ccNSO, regional ccTLD organizations are essential to fostering community and extending the ccNSO's reach to non-members;
  • Although accountable to its constituency, the ccNSO could continue to improve its transparency of decision-making, as well as strengthen communication with other SOs and ACs.[13]

Draft Final Report and Recommendations[edit | edit source]

The draft final report was published for public comment in June 2019.[14] Meridian also presented the report at ICANN 65 to gather feedback and public comment.[15]

The draft report contained fourteen recommendations:

  1. The ccNSO should develop communications materials (including talking points) that clearly articulate the value of the ccNSO to potential new and current ccNSO members.
  2. Working group candidates should submit short, anonymized biographies to provide the ccNSO Council with better information when making appointments to working groups.
  3. The ccNSO should clarify and standardize the process for appointing working group chairs.
  4. The ccNSO should request an amendment to the ICANN Bylaws regarding the nomination of ccTLD managers to the IANA Naming Function Review Team. (This request had already occurred at the time of the draft report.)
  5. The ccNSO should establish term limits for Council seats, but create a waiver process for situations where under-represented regions with no new applicant to the council could re-appoint a councilor for an additional term.
  6. The ccNSO Meetings Programme Committee should develop and adopt meeting formats to allow more varied interaction between participants at ICANN meetings.
  7. ICANN should provide real-time translation and transcription for ccNSO Member Day meetings.
  8. The ccNSO course on the ICANN Learn portal should be translated into all ICANN languages.
  9. Streamline the mentorship program to more efficiently connect mentors and mentees; consider group mentorship sessions or dedicated sessions for mentorship "face time" at ICANN meetings.
  10. Resources for newcomers should be prominantly featured in a central location on the ccNSO website.
  11. Launch a reorganized ccNSO website "as soon as possible" to combat perceived and actual communication, accountability, and transparency issues.
  12. Develop and provide training on a consistent, universal process for naming, filing, and uploading documents to the ccNSO website.
  13. The ccNSO Council should adhere to the ccNSO Council Practices Guideline. If the guidelines for Council agendas are too restrictive or impractical to follow, then the Guideline should be updated to reflect practices that are sustainable, keeping in mind members’ interest in continued transparency and accountability.
  14. For future ccNSO reviews, the Independent Examiner have access to archived mailing lists for the period in review and/or be able to join as an observer to the mailing lists for the period of the review.[14]

In addition to feedback received at ICANN 65 and a supplemental webinar on the draft report, two written comments were received during the comment period. The Business Constituency supported the report's recommendations. The ccNSO Council requested that Meridian prioritize and name the top three most essential recommendations to focus on immediately. The Council acknowledged the value of Recommendation 4 but noted that it was largely outside of its control beyond the original request. The Council also requested clarification on who would be responsible for deliberations and decision-making for the recommendations.[16]

Final Report[edit | edit source]

Meridian's final report was published in August 2019[17] The recommendations were largely unchanged, although some were refined or clarified based on the Council's request to specify the responsible party.[17] Meridian declined to provide a "top three" or otherwise prioritize the recommendations, noting that the RWP would have an opportunity to engage in a prioritization process in developing its Feasibility Assessment and Implementation Plan (FAIIP).[17]

Implementation[edit | edit source]

Following receipt of the final report, the RWP began development of its Feasibility Assessment and Implementation Plan, largely via teleconference meetings. Records of those meetings are not apparent on the ccNSO2 workspace,[18] and the review listserv was comparatively silent during the time between the final report and the RWP's submission of its FAIIP.[19] In July 2020, the RWP submitted its Feasibility Assessment and Initial Implementation Plan to the Organizational Effectiveness Committee of the board.[1][20]

The FAIIP rejected most of the specific recommendations from Meridian's final report, noting in most cases that the underlying issue was important, but that the recommendation in question was impractical, likely to fail based on prior experiences of the organization, or had been rendered moot by other developments (such as the amendment to the bylaws, or the adoption of parallel ccNSO improvements to process).[20] The RWP agreed with some recommendations, including revamping and standardization of managemennt of the ccNSO website and its resource archives, provision of transcription & translation resources, and prominent and centralized access to onboarding reference materials.[20]


References[edit | edit source]