That’s a wonderful theory. However, in practice, it’s a bit different. GDPR eliminates or at the very least complicates the maintenance of directory services. If past experience is any guide, once something becomes sufficiently difficult to maintain while complying with regulation, said thing eventually ceases to exist at least in any meaningful or useful form. It is not at all unlikely that this will be the inevitable consequence of GDPR when it comes to whois and thus, it is not at all unlikely that the scenario Hank described may be an (admittedly unintended, but very likely) outcome of GDPR. Owen
On Jun 4, 2018, at 09:30 , McBride, Mack <C-Mack.McBride@charter.com> wrote:
That would be real time information involving 'essential' activities. GDPR would not prevent determining the source of an attack. GDPR specifically doesn't protect anyone involved in criminal activity nor contradict any regulatory requirement (which covers cyber attacks).
Mack
-----Original Message----- From: NANOG [mailto:nanog-bounces@nanog.org] On Behalf Of Johnny Eriksson Sent: Monday, June 04, 2018 12:24 PM To: nanog@nanog.org Subject: Re: ICANN GDPR lawsuit
Hank Nussbacher wrote:
The entire whois debacle will only get resolved when some hackers attack www.eugdpr.org, ec.europa.eu and some other key .eu sites. When the response they get will be "sorry, we can't determine who is attacking you since that contravenes GDPR", will the EU light bulb go on that something in GDPR needs to be tweaked.
You seem to assume that said light bulb does in fact exist.
-Hank
--Johnny
/\_/\ ( *.* )
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