Last published on: 7 October 2026 at 15:30 UTC
This question set collects information regarding the legal entity that would enter into a Registry Agreement with ICANN upon successful completion of all relevant application processes. The information collected is intended to be used for background screening.
Provide the full legal name of the applying entity as it appears on the official registration documents. Do not use abbreviations.
Registry Services, LLC
Provide the long form (no acronyms) of the legal entity form/business structure of the applying entity as it appears on the official registration documents. If the original script of the legal entity form/business structure is not English, ONLY provide its official English translation. No additional information should be provided as this will be used for the automatic population of the Registry Agreement.
Limited liability company
The jurisdiction indicates the location in which the business of the applying entity is registered for legal and financial purposes. This is either 1) a country name, or a 2) state/territory name, depending on where the applying entity is registered. No additional information should be provided as this will be used for the automatic population of the Base Registry Agreement. Examples include "Delaware", "Germany", etc.
Delaware
Provide the website URL of the applying entity, if available.
https://registry.godaddy/
1. Choose Yes or No. 2. Use the definition of Affiliate from the Base Registry Agreement (see https://www.icann.org/en/registry-agreements/base-agreement).
true
1. Specify if the applying entity is an existing registry operator, ICANN accredited registrar, and/or an Affiliate of a registry operator and/or registrar. 2. If the applying entity is an Affiliate, provide the details of such Affiliate relationship, including the name of the affiliated registry operator and/or registrar. 3. If the applying entity is an ICANN accredited registrar, specify the registrar ID number.
1. Existing Registry Operator and Affiliate of Registrars 2. Affiliated Registrars: GoDaddy.com, LLC (IANA 146) Bombora Technologies Pty Ltd (IANA 353) Wild West Domains, LLC (IANA 440) Blue Razor Domains, LLC (IANA 612) Go China Domains, LLC (IANA 1149) Go Canada Domains, LLC (IANA 1150) Go Australia Domains, LLC (IANA 1151) Go Montenegro Domains, LLC (IANA 1152) Go France Domains, LLC (IANA 1153) Mesh Digital Limited (IANA 1390) 123-Reg Limited (IANA 1515) GoDaddy Online Services Cayman Islands Ltd (IANA 1659) GoDaddy Corporate Domains, LLC (IANA 3786)
Choose Yes or No.
true
1. Use the definition of Affiliate from the Base Registry Agreement (see https://www.icann.org/en/registry-agreements/base-agreement). 2. Provide the type of the provider and the name of the applicable entity of which the applying entity is an Affiliate.
Yes, Affiliate of resellers: Domains Priced Right Heart Internet Host Europe Mad Dog Domains Media Temple Mr. Site TSO Host
1
Provide the primary business phone number without including the country code.
4805058800
Provide the primary business email address of the applying entity.
rsllc-primary@registry.godaddy
Enter the street address (no PO Box).
100 S Mill Avenue
Suite 1600
Enter the city, village, municipality, etc.
Tempe
Enter the state, province, department, territory, prefecture, oblast, etc., if applicable.
Arizona
1. Enter the postal code, if applicable. 2. If a postal code does not exist, type “Not Applicable”.
85281
US
If applicable, provide the full legal name as it appears on the official registration documents of the Direct Parent Company of the applying entity. Do not use abbreviations.
Desert Newco, LLC
Provide the long form (no acronyms) of the legal entity form/business structure of the Direct Parent Company as it appears on the official registration documents. If the original script of the legal entity form/business structure is not English, ONLY provide its official English translation.
Limited liability company
The jurisdiction indicates the location in which the business of the Direct Parent Company is registered for legal and financial purposes. This is either 1) a country name, or a 2) state/territory name, depending on where the Direct Parent Company is registered. Examples include "Delaware", "Germany", etc.
Delaware
If applicable, provide the full legal name as it appears on the official registration documents of the Ultimate Parent Company of the applying entity. Do not use abbreviations. "Ultimate Parent Company" means, with respect to an Applicant (and, if applicable, a Direct Parent Company), the top-level entity that directly or indirectly possesses the power to direct the management and policies of such Applicant (and, if applicable, a Direct Parent Company) through the ownership of voting securities, as a general partner, as a managing member, by contract, or otherwise. An Ultimate Parent Company is not controlled by any other entity. If there are no intermediary entities between the Applicant and the Ultimate Parent Company, the Ultimate Parent Company would be the same entity as the Direct Parent Company.
GoDaddy Inc.
Provide the long form (no acronyms) of the legal entity form/business structure of the Ultimate Parent Company as it appears on the official registration documents. If the original script of the legal entity form/business structure is not English, ONLY provide its official English translation.
Corporation
The jurisdiction indicates the location in which the business of the Ultimate Parent Company is registered for legal and financial purposes. This is either 1) a country name, or a 2) state/territory name, depending on where the Direct Parent Company is registered. Examples include "Delaware", "Germany", etc.
Delaware
This question set collects information related to the individuals who will have access to TAMS, manage the application, and receive inquiries.
Phontip Palitwanon, Jared Sine, Jessica Habicht, Neepa Ranavat
Desert Newco LLC
Phontip Palitwanon, Jared Sine, Jessica Habicht, Neepa Ranavat
GoDaddy Inc.
Provide a single document for Self-Certification question Q2.2-1. The document must include only the SC2.2-1.1, SC2.2-1.2, or SC2.2-1.3 statements. Do not modify any of the Self-Certification statements.
1. Provide a single document for Self-Certification question Q2.2-1. 2. The document must include only the SC2.2-1.1 through SC2.2-1.3 statements. 3. Do not modify any of the Self-Certification statements. 4. If the applying entity cannot Self-Certify the SC2.2-1.1 through SC2.2-1.3 statements, provide a document that explains why the applying entity cannot Self-Certify the SC2.2-1.1 through SC2.2-1.3 statements.
The document for Q2.3.1 must be a PDF. The document for Q2.3-2 must be an Excel (.xlsx) file.
The document for Q2.3-1 must be a PDF.
Provide a single document for Self-Certification question AGB Q220, Q5.1-1. The document must include only the SC5.1-1.1 through SC5.1-1.3 statements. Do not modify any of the Self-Certification statements. If the applicant cannot Self-Certify SC5.1-1.1 through SC5.1-1.3 statements, provide a document that explains why the entity cannot Self-Certify the SC5.1-1.1 through SC5.1-1.3 statements.
1. Provide a single document for Self-Certification question Q5.1-1. 2. The document must include only the SC5.1-1.1 through SC5.1-1.3 statements. 3. Do not modify any of the Self-Certification statements. 4. If the applying entity cannot Self-Certify the SC5.1-1.1 through SC5.1-1.3 statements, provide a document that explains why the applying entity cannot Self-Certify the SC5.1-1.1 through SC5.1.1-3 statements.
Provide a single document for Self-Certification question AGB Q221, Q5.2-1. The document must include only the SC5.2-1.1 through SC5.2-1.7 statements. Do not modify any of the Self-Certification statements. If the applicant cannot Self-Certify the SC5.2-1.1 through SC5.2-1.7 statements, provide a document that explains why the applying entity cannot Self-Certify the SC5.2-1.1 through SC5.2-1.7 statements.
1. Provide a single document for Self-Certification question Q5.2-1. 2. The document must include only the SC5.2-1.1 through SC5.2-1.7 statements. 3. Do not modify any of the Self-Certification statements. 4. If the applying entity cannot Self-Certify the SC5.2-1.1 through SC5.2-1.7 statements, provide a document that explains why the applying entity cannot Self-Certify the SC5.2-1.1 through SC5.2-1.7 statements.
This question set collects basic information regarding the string that is being applied for (for example, a-label, meaning, script). If the applying entity opts to designate a replacement string, it must answer the same set of questions for the replacement string from the AGB Question Set 5 on.
wallet
Provide the meaning, or restatement of the string in English, that is, a description of the literal meaning of the string in the opinion of the applying entity. If there is no literal meaning in English (for example, a brand name or a proper noun without a translation) simply state "No English Translation"
A wallet is a small case or pouch for carrying money, cards, and identification. In digital contexts, it refers to a tool for storing currency, payment credentials, or cryptographic keys.
Provide a representation of the string according to the International Phonetic Alphabet.
/ˈwɒlɪt/
Confirm the statement using a checkbox.
true
1. Describe the mission and purpose of the applied-for gTLD, including the intended registrants and users, and the related activities that have been or will be carried out to achieve this purpose. 1a. If applying for a variant of an existing gTLD, please also describe the mission and purpose of the existing gTLD, including the intended registrants and users, and the related activities that have been or will be carried out to achieve this purpose. 2. Explain how this purpose is sustainable over time.
1. Describe the mission and purpose of the applied-for gTLD. .wallet helps fintech, crypto, and payment brands create a clear and memorable online presence for storing and managing money and digital assets, making it easier for customers to instantly recognize where their value is kept and trust where they are transacting. Intended Registrants: Fintech companies, cryptocurrency exchanges, digital asset custodians, payment providers, blockchain wallet developers, banks, and mobile money operators seeking a clear, category-defining web address for storing or managing value. Intended Users: Consumers managing money, crypto holders, merchants accepting digital payments, and individuals looking for recognizable, category-aligned destinations to access account, custody, or payment services online. Related Activities Supporting the Purpose: • Awareness-building among fintech and digital asset communities • Registrar distribution across payment and technology-focused channels • Registrant education on aligning brand names with the .wallet namespace • Community outreach to developer and financial services ecosystems • Responsible registry operations When someone encounters a name ending in .wallet, the function is unmistakable: this is a place to store, hold, or manage value. That immediate recognition is difficult to achieve with generic extensions, where a fintech or crypto brand must work harder to explain what it does. The namespace serves organizations across a spectrum, from established banks and payment processors to cryptocurrency custodians and emerging blockchain projects. A digital asset company can turn a product name into a clear online identity, such as pay.wallet or secure.wallet, signaling category and intent in a single glance. For consumer-facing brands, a .wallet address reduces friction: users understand they have arrived at the right destination for managing their funds or credentials. .wallet also supports differentiation within a crowded financial technology market. As new payment methods, tokens, and custody models emerge, brands need naming that reflects modern money management rather than legacy banking conventions. This extension lets a company stake out a memorable, meaningful presence that aligns its web address with the exact thing customers come to do. The result is a naming layer that helps people find, recognize, and trust the services that hold what matters to them financially. 2. Explain how this purpose is sustainable over time. The sustainability of .wallet rests on economic necessity: the safekeeping and movement of value is a foundational requirement of any functioning economy. Long before physical billfolds, people needed reliable ways to hold, protect, and access what they owned. That underlying need has never depended on a particular instrument. Coins gave way to paper notes, notes to cards, cards to mobile balances, and mobile balances to tokenized and cryptographic assets. A wallet is defined by what it does, holding value on behalf of its owner, rather than by any specific format. As custody models continue to diversify across fiat, stablecoins, digital assets, loyalty balances, and identity credentials, the word grows more inclusive rather than obsolete. New categories of value tend to reach for the same familiar container concept to make themselves understandable, which continually renews the term's relevance. Every payment institution, exchange, and financial application competes to be the place where users keep their money, and the vocabulary of the wallet has become the shared reference point for that competition. Regulatory frameworks, consumer expectations, and merchant infrastructure are all organized around the idea of an account that stores value and authorizes its use. These interlocking systems anchor the concept deep within commerce, so its meaning does not drift even as the surrounding technology advances.
This question set collects information related to determining whether certain Safeguard Public Interest Commitments (Safeguard PICs) are required for the applied-for gTLD string. See Section 7.8.2.3 Safeguard PICs. Answers to these questions will inform assessment by ICANN on whether and which Safeguard PICs must be incorporated in the applicable Registry Agreement (RA) if the string proceeds to delegation. The answers themselves will not automatically make such a determination.
1. When answering the questions, apply criteria by considering the meaning of the requested TLD string in the following contexts: a. Literally as described in the application b. Literally in any other language in which the string is a recognized word or phrase. c. Informally in any language or regional variant, where alternative meanings exist. 2. If the proverbial “reasonable person” who understands the relevant context believes that the question should be answered ‘yes’, then the answer is yes.
Yes
1. When answering the questions, apply criteria by considering the meaning of the requested TLD string in the following contexts: a. Literally as described in the application b. Literally in any other language in which the string is a recognized word or phrase. c. Informally in any language or regional variant, where alternative meanings exist. 2. If the proverbial “reasonable person” who understands the relevant context believes that the question should be answered ‘yes’, then the answer is yes.
Yes
1. When answering the questions, apply criteria by considering the meaning of the requested TLD string in the following contexts: a. Literally as described in the application b. Literally in any other language in which the string is a recognized word or phrase. c. Informally in any language or regional variant, where alternative meanings exist. 2. If the proverbial “reasonable person” who understands the relevant context believes that the question should be answered ‘yes’, then the answer is yes.
Yes
1. When answering the questions, apply criteria by considering the meaning of the requested TLD string in the following contexts: a. Literally as described in the application b. Literally in any other language in which the string is a recognized word or phrase. c. Informally in any language or regional variant, where alternative meanings exist. 2. If the proverbial “reasonable person” who understands the relevant context believes that the question should be answered ‘yes’, then the answer is yes.
No
1. When answering the questions, apply criteria by considering the meaning of the requested TLD string in the following contexts: a. Literally as described in the application b. Literally in any other language in which the string is a recognized word or phrase. c. Informally in any language or regional variant, where alternative meanings exist. I-2. If the proverbial “reasonable person” who understands the relevant context believes that the question should be answered ‘yes’, then the answer is yes.
No
1. When answering the questions, apply criteria by considering the meaning of the requested TLD string in the following contexts: a. Literally as described in the application b. Literally in any other language in which the string is a recognized word or phrase. c. Informally in any language or regional variant, where alternative meanings exist. I-2. If the proverbial “reasonable person” who understands the relevant context believes that the question should be answered ‘yes’, then the answer is yes.
No
Select Yes or No. Notes: 1. ICANN will evaluate whether an applied-for gTLD string requires one or more Safeguard Public Interest Commitments (Safeguard PICs) to be included in the Base RA). 2. In addition to the Mandatory Public Interest Commitments (PICs) that must be included in each Base RA, a subset of Base RAs must include Safeguard PICs based on ICANN’s Safeguard Assessment. See Section 7.8.2.3 Safeguard PICs. 3. Applying entities for TLDs that are not found to require Safeguard PICs can elect to add them to the applicable Base RAs voluntarily to, for example, further their business objectives, help address issues or concerns that are raised or could be raised with respect to their applications, or avoid the need for the evaluation and implementation of customized Registry Voluntary Commitment (RVC). See Section 7.8.3 Registry Voluntary Commitments (RVCs).
Yes
Choose the applicable Safeguard PICs from the provided list (more than one option can be selected).
• Registry Operators will include a provision in their Registry-Registrar Agreements that requires Registrars to include in their Registration Agreements a provision requiring registrants to comply with all applicable laws, including those that relate to privacy, data collection, consumer protection (including in relation to misleading and deceptive conduct), fair lending, debt collection, organic farming, disclosure of data, and financial disclosures. • Registry Operators will include a provision in their Registry-Registrar Agreements that requires registrars at the time of registration to notify registrants of the requirement to comply with all applicable laws. • Registry Operators will include a provision in their Registry-Registrar Agreements that requires Registrars to include in their Registration Agreements a provision requiring that registrants who collect and maintain sensitive health and financial data implement reasonable and appropriate security measures commensurate with the offering of those services, as defined by applicable law. • Registry Operators will proactively create a clear pathway for the creation of a working relationship with the relevant regulatory or industry self-regulatory bodies by publicizing a point of contact and inviting such bodies to establish a channel of communication, including for the purpose of facilitating the development of a strategy to mitigate the risks of fraudulent and other illegal activities. • Registry Operators will include a provision in their Registry-Registrar Agreements that requires Registrars to include in their Registration Agreements a provision requiring Registrants to provide administrative contact information, which must be kept up-to-date, for the notification of complaints or reports of registration abuse, as well as the contact details of the relevant regulatory, or industry self-regulatory, bodies in their main place of business. • Registry Operators will include a provision in their Registry-Registrar Agreements that requires Registrars to include in their Registration Agreements a provision requiring a representation that the Registrant possesses any necessary authorizations, charters, licenses and/or other related credentials for participation in the sector associated with the Registry TLD string. • If a Registry Operator receives a complaint expressing doubt with regard to the authenticity of licenses or credentials, Registry Operators should consult with relevant national supervisory authorities, or their equivalents regarding the authenticity. • Registry Operators will include a provision in their Registry-Registrar Agreements that requires Registrars to include in their Registration Agreements a provision requiring Registrants to report any material changes to the validity of the Registrants' authorizations, charters, licenses and/or other related credentials for participation in the sector associated with the Registry TLD string in order to ensure they continue to conform to appropriate regulations and licensing requirements and generally conduct their activities in the interests of the consumers they serve.
This question set collects information related to any Registry Voluntary Commitments (RVCs) that the applying entity is submitting. The decision to submit an RVC is typically voluntary, except for those recognized by ICANN to resolve an objection or to address GAC Consensus Advice. See Section 7.8.3 Registry Voluntary Commitments for more information.
1. Select Yes or No. 2. In addition to Safeguard Public Interest Commitments (PICs), an applying entity will be permitted to propose one or more Registry Voluntary Commitments (RVCs) to provide additional safeguards with regard to the registry operator’s operation of an applied-for gTLD string. See Section 7.8.3 Registry Voluntary Commitments (RVCs). 3. RVCs are separate from Community Registration Policies. See Section 7.8.3 Registry Voluntary Commitments (RVCs) and Section 7.8.4 Community Registration Policies for more information. If you are applying for a Community gTLD, please submit the Community Registration Policies by answering Questions 150-155. However, if you propose to include additional Registry Voluntary Commitments in the RA beyond the Community Registration Policies, you may answer "yes" and proceed to answer the following questions. 4. You are encouraged to consider whether there are other means, separate from including commitment(s) in the Base RA, that could be used to further your business objectives or help resolve any anticipated or actual issue(s) raised regarding the applied-for gTLD string or application. See Section 7.8.3 Registry Voluntary Commitments (RVCs). Notes: If you select “yes” to this question, you are required to pay the conditional Registry Commitments Evaluation fee, and commitments that are approved by ICANN will be included in Specification 11 of the applicable Base RA as specific voluntary public interest commitments as contractual obligations.
No
This question set collects information related to whether the applied-for gTLD string is a .Brand (see Section 7.3) or if the applying entity is seeking a Code of Conduct exemption (see Section 7.4).
Select Yes or No
No
This serves as an indication of intent to apply for an exemption to Specification 9 and that the applying entity is NOT requesting to be designated a .Brand TLD, pursuant to Specification 13.
No
This question set collects any additional information that the applying entity would like to provide, including any supporting materials.
This question set contains attestations related to the applying entity’s acknowledgment of bona fide intent and prohibited communications.
Confirm the statement using the checkbox.
true
Confirm the statement using the checkbox.
true