Hi Denis, all,
      
      To recap the discussion on this topic: after it was first
      suggested to introduce geofeed as a new attribute in the RIPE
      Database, we raised some legal concerns related to its
      implementation and suggested that technical restrictions are
      required to minimise the associated legal risks. The main concerns
      arose because providing geolocation information, including
      geolocation information that might contain personal data, is not
      covered under the current purposes of the RIPE Database. 
      
      From the discussion on the RIPE Database Working Group mailing
      list prior to RIPE 85, various feedback was provided on the use of
      geolocation information and the reasons for which this is useful
      for network and content operators. At the RIPE 85 Database Working
      Group session, the Working Group chairs declared there was
      consensus that geolocation is a purpose the RIPE Database has to
      fulfil. They also asked for input on the process to follow for
      amending the current RIPE Database Terms and Conditions and
      working on a draft purpose. A draft purpose has now been
      suggested, along with the question of whether this addresses all
      legal concerns and if we can go ahead with the implementation of
      the geofeed attribute.
      
      Having established that geolocation is a purpose and looking at
      the proposed text, our advice is to make this more explicit and
      explain why personal data may be processed for the purpose of
      geolocation. We will work on updating the RIPE Database Terms and
      Conditions in order to specify this. In line with the Adoption
        Process for RIPE NCC Corporate Documents, the proposed
      amendments will have to be approved by the RIPE NCC Executive
      Board. 
      
      On the implementation side, we will discuss internally how we can
      make it explicit when adding a geofeed attribute that the privacy
      of the users of the related resources is respected. This is
      necessary because, as mentioned in our previous replies, although
      the RIPE NCC is not the party inserting the data in the csv file,
      legally we are co-responsible for the information inserted in the
      RIPE Database (even if it is not hosted there directly). As with
      all the other personal data in the RIPE Database, the party that
      enters it has the responsibility to inform the individual to whom
      the data pertains and to obtain their explicit consent before
      entering it (Art. 6.3 RIPE Database Terms and Conditions). 
      
      Kind regards,
      
      Maria Stafyla
      Senior Legal Counsel
      RIPE NCC
    
    
    On 25/04/2023 11:25, Maria Stafyla
      wrote:
    
    Hi Denis,
      all
      
      
      This is to confirm that we are already working on our analysis and
      we will get back to you as soon as possible.
      
      
      Kind regards,
      
      
      Maria Stafyla
      
      Senior Legal Counsel
      
      RIPE NCC
      
      
      On 13/04/2023 12:29, denis walker wrote:
      
      Colleagues
        
        
        A question for the legal team at the RIPE NCC. Would a simple
        purpose,
        
        as suggested below, address all the concerns you had about the
        use of
        
        the "geofeed:" attribute and allow you to remove any
        restrictions you
        
        felt were necessary when it was introduced?
        
        
        cheers
        
        denis
        
        co-chair DB-WG
        
        
        
        ---------- Forwarded message ---------
        
        From: denis walker <ripedenis@gmail.com>
        
        Date: Tue, 11 Apr 2023 at 10:41
        
        Subject: Geofeed purpose
        
        To: Database WG <db-wg@ripe.net>
        
        
        
        Colleagues
        
        
        The conversation on deploying geofeed died shortly after RIPE
        85. The
        
        last comment was from myself asking if anyone was willing to
        propose
        
        some wording for a new purpose covering the use of the RIPE
        Database
        
        for geolocation information. No one proposed any wording. So
        below I
        
        have made a proposal for a new purpose. Your comments are
        appreciated.
        
        
        cheers
        
        denis
        
        co-chair DB-WG
        
        
        
        The RIPE Database contains information for the following
        purposes:
        
        
             Ensuring the uniqueness of Internet number resource usage
        through
        
        registration of information related to the resources and
        Registrants
        
             Publishing routing policies by network operators (IRR)
        
             Facilitating coordination between network operators
        (network
        
        problem resolution, outage notification etc.)
        
             Provisioning of Reverse Domain Name System (DNS) and ENUM
        delegations
        
             Providing information about the Registrant and Maintainer
        of
        
        Internet number resources when the resources are suspected of
        being
        
        used for unlawful activities, to parties who are authorised
        under the
        
        law to receive such information.
        
             Scientific research into network operations and topology
        
             Providing information to parties involved in disputes over
        
        Internet number resource registrations to parties who are
        authorised
        
        under the law to receive such information.
        
        
        
        Providing information about the geolocation usage of Internet
        number resources.