> On 5 Aug 2022, at 4:48 PM, Ronald F. Guilmette <[email protected]> wrote: > ... > Although I have no objections whatsoever to giving my best effort to drafting > and defending a policy proposal on the topic of dissolved resource-holding > entities, I am well aware that the policy adoption process could possibly > take quite some months. In the interm. what, if anything, does the CEO feel > either can or should be done, by staff, with respect to such dissolved > entities > that may come to staff's attention? Obviously, having clear and ratified > policy > guidance in place is optimal, but I am not persuaded that the current absence > of such clear guidance entirely precludes ARIN staff from appropriately > actioning > such cases on its own authority, consistant with ARIN's overall mission of > being > good shepherds of limited resources.
Ronald - If you find a Whois entry that reflects resources assigned to a clearly dissolved entity, feel free to report it here: https://account.arin.net/public/whoisinaccuracy/report (Include sufficient detail to facilitate our verification of this status) We will endeavor to look into such situations and correct where possible – considering that (as you did above) we have limited resources that must be prioritized across many activities. Thanks! /John John Curran President and CEO American Registry for Internet Numbers _______________________________________________ ARIN-PPML You are receiving this message because you are subscribed to the ARIN Public Policy Mailing List ([email protected]). Unsubscribe or manage your mailing list subscription at: https://lists.arin.net/mailman/listinfo/arin-ppml Please contact [email protected] if you experience any issues.
