-----Original Message-----
From: [email protected] [mailto:[email protected]] On Behalf
Of William Herrin
Sent: Wednesday, June 26, 2013 11:14 AM
To: David Farmer
Cc: [email protected]
Subject: Re: [arin-ppml] ARIN-2013-4: RIR Principles / Request for General
Thoughts
{SNIP}
Hi David,
Would you mind expanding on that a bit? If an IPv4 transfer market could be
shown to exhibit better liquidity in the absence of any ARIN needs analysis (it
hasn't, but for the sake of the argument assume someone offered a satisfactory
proof that it would) would you come down on the side of better liquidity
(addresses are available to be
acquired) or documented need like we've applied to the free pool this past
decade (only those who deserve addresses get them)?
<Kevin> Isn't the liquidity of a transfer market in itself outside of ARIN's
scope?
> I think there are even higher principle that we should be considering,
> such as.
>
> - All Internet users (or consumers) and devices connected to the
> Internet are entitled to unique internet number resource assigned to
> them from a network operator.
>
> - Network operators, public or private, are entitled to unique
> Internet number resource from the Internet Registry System to connect
> users (or
> consumers) and devices to the Internet.
Are these not matters of network infrastructure policy outside ARIN's scope?
Regards,
Bill Herrin
--
William D. Herrin ................ [email protected] [email protected]
3005 Crane Dr. ...................... Web: <http://bill.herrin.us/> Falls
Church, VA 22042-3004 _______________________________________________
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