On 12 Oct 2020, at 1:37 PM, JORDI PALET MARTINEZ 
<[email protected]<mailto:[email protected]>> wrote:

For example, I can’t imposse the condition to legacy resources transfered from 
AFRINIC to ARIN to lose the legacy status, because that’s against ARIN policy.

Jordi -

It’s probably worth elaborating a bit on this, because I do not know the origin 
of this statement and may have to quibble a bit with the stated reasoning.

ARIN’s number resource policy applies to all resources under our administration 
– and in general doesn’t reference “legacy status”  (i.e. the only section of 
ARIN’s policy manual which references legacy number resources is NRPM Section 
12 / Resource Review, and that's solely to make plain that Resource Review 
doesn’t create any authority with respect to legacy number resources that ARIN 
doesn’t already have.)

ARIN defines legacy number resources with some precision: "number resources 
issued to the resource holder or its predecessor in interest prior to ARIN’s 
inception on December 22, 1997’.   This is done in the ARIN Registration 
Services Agreement (RSA) because, per direction of the ARIN Board of Trustees, 
ARIN has provided reduced fees for legacy resource holders and slightly 
different exit provision on termination for cause.

Number resources are considered “legacy number resources” in the ARIN region is 
if they are held by original registrant (or its legal successor), and so it is 
highly unlikely that any resources transferred in from another region would be 
treated as legacy number resources (i.e. unless being brought into the region 
via merger/acquisition activity.)  Similarly, it probably wouldn’t make sense 
for resources transferred to another party outside the region to be treated as 
“legacy number resources” (again, aside from M&A activity), but I should note 
that we leave it to other RIRs to define their terms and conditions of their 
registration services as they see fit.

I understand that some regions may treat “legacy status” as an innate property 
of the number resource block, but that certainly is not the case in the ARIN 
region - again, the only way number resources can be consider "legacy number 
resources” is while held by the original registrant or their legal successor, 
so the idea of “legacy status” for the number block itself independent of the 
resource holder is meaningless in the ARIN region.

ARIN wouldn’t find a policy proposal that required (or prohibited) “legacy 
status” treatment for transferred resources to be compatible, but not due to 
policy conflict but rather because it would could create a conflict with the 
very specific definition of “legacy number resources” in our registration 
services agreement.

Thanks,
/John

John Curran
President and CEO
American Registry for Internet Numbers







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