Hi to all


+1

I fully support this proposal. I believe it is an important step to allow for 
useful deployment of IPv6 taking advantage of the advanced and extended IPv6 
address architecture.





Responding to the request for feedback on the "RIPE understanding" section here 
are some thoughts and comments:



-          The overall tone of the "understanding" section still sounds more 
like "our main goal is to preserve addresses" instead of "let's make generous 
use oft he extended address architecture and available space" to me.

It is not easy to step out of IPv4 thinking. While we all know in our minds 
that we need to do this, implementing it is much more difficult. (I am for 
instance referring to this sentence, which appears more than once: " The RIPE 
NCC will ask for additional documentation to justify why a less address 
consuming hierarchy or topology can not be implemented.").

There is a widely adopted rule that all address conservation mechanisms should 
be removed from IPv6 address plans.



-          There is one point where I have a problem to understand, maybe I am 
misinterpreting the statement. It says " The RIPE NCC will consider longevity 
reasonable for a similar timeframe for which past growth was documented." - So 
my question is: how does this accomodate startups? We are moving into the age 
of the Internet of Things. We expect new technologies and services to spring 
up, not foreseeable. This includes new business models and opportunities for 
new companies that have no history.



-          The policy for subsequent allocations will have to be updated 
accordingly if this policy is accepted.



-          Quote: "If this network topology is justified, the RIPE NCC will 
consider up to one extra bit per hierarchical level or geographical segment as 
reasonable, on top of the documented need for that part of the network."
Comment: how about "generally up to one bit" - leave room for exceptions.



-          The rules seem quite complicated and a bit hard to really understand 
and correctly apply to me. I wonder how easy it will be to assess requests 
based on this.





As mentioned already, I believe this proposal is a good step. When it comes to 
how to apply it, I feel there is a lot of "strictness" in the wording. It is 
always nice to have clear and strict rules, everyone can easily apply them. But 
reality is different. There is no good rule without exceptions and I hope that 
this policy will be applied with common sense and adjusted to reality.



And my personal viewpoint is, that we should not restrict IPv6 address plans 
from the beginning. Our main target should be to finally DEPLOY it as broadly 
as possible and have ease of operation as a main goal. That is what the address 
architecture provides.



By today we have given out the equivalent of 171'000 /32 of the currently 
defined global unicast space (2000::/3) (according to 
Bgpexpert<http://www.bgpexpert.com/addrspace-ipv6.php>) and this equals 0.032%. 
Hey that is 171'000 times more than the whole current Internet and we are at 
0.032%! I think we should apply a generous allocation model that makes it easy 
to deploy, operate, secure.....



...and if we get to the point where we feel we have been too generous, we can 
still adjust policies and become more careful. Once we have used 2000::/3 we 
still have 7 more chances to do better. We could even define a re-assessment 
once we are 30% or 50% into the 2000::/3.



My two cents, greetings from the summer heat

Silvia Hagen

Chair Swiss IPv6 Council





-----Ursprüngliche Nachricht-----
Von: address-policy-wg [mailto:[email protected]] Im Auftrag 
von Marco Schmidt
Gesendet: Donnerstag, 9. Juli 2015 14:20
An: [email protected]<mailto:[email protected]>
Cc: [email protected]<mailto:[email protected]>
Betreff: [address-policy-wg] 2015-03 New Draft Document and Impact Analysis 
Published (Assessment Criteria for IPv6 Initial Allocation Size)





Dear colleagues,



The draft document for version 2.0 of the policy proposal 2015-03, "Assessment 
Criteria for IPv6 Initial Allocation Size", has now been published, along with 
an impact analysis conducted by the RIPE NCC.



The proposal aims to expand the criteria for evaluating initial

IPv6 allocations larger than a /29. The RIPE NCC would consider additional 
aspects beyond only the number of existing users and extent of the 
organisation's infrastructure.



Some of the differences from version 1.0 include:



- Introduction of new assessment criteria used to evaluate IPv6 allocations 
larger than a /29

- Related wording adjustments in the summary and rationale of the proposal





You can find the full proposal and the impact analysis at:



    https://www.ripe.net/participate/policies/proposals/2015-03



and the draft document at:



    https://www.ripe.net/participate/policies/proposals/2015-03/draft





We encourage you to read the draft document text and send any comments to 
[email protected]<mailto:[email protected]> before 7 August 
2015.



Regards



Marco Schmidt

Policy Development Officer

RIPE NCC




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