Several options are being discussed regarding this proposal:

1. Use the existing last sentence as is and ask ARIN staff to be particularly 
watchful for seeming abuse and to bring such back to the community through 
regular Policy Experience Reports.  There was discussion about this option 
suggesting that by the time abuse was recognized and reported, and given 
limited existing free pool stocks and the extended policy development 
cycle....this option is mute.

2. Remove the clause 'and its subsidiaries' and or modify it in such a way as 
to mitigate the risk of a laundering of addresses through fraudulent transfers, 
but potentially limit the utility of organizations who may have complex 
organizations structures in use internationally.

3. Take an alternative tack and simply restrict the Inter-RIR re-org transfer 
of the 'recently issued block' only, allowing other existing blocks to be 
transferred without restriction by recent block acquisition. This alternative 
seems to have been expressed and supported in the recent Atlanta Public Policy 
Consultation.

It is my opinion that option 3 is perilous in that it allows a large resource 
holder to sell off their address space out of region while backfilling from the 
ARIN free pool.

As such, I am much more comfortable with option 2. One set of language that was 
suggested which I like is:

“…subsidiaries having been operational for a minimum of 18 months.”

While this might not prevent all possible subsidiary-based rinse-repeat abuse 
scenarios, it would at least prevent the obvious subsidiary created for this 
purpose scenario and certainly provides better protections than proposal number 
3.

I think option 1 is probably an unfair burden for the ARIN staff and makes 
policy vague in a way that would be difficult, if not impossible, to reliably 
enforce and may be even harder to defend in the event of litigation. This is 
strictly my own opinion as a member of the community and I have not discussed 
the matter with legal council or even the other members of the AC.

Owen

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