Dear colleagues,

Earlier this week, BEREC (Body of European Regulators for Electronic 
Communications) announced a public consultation on their draft guidelines for 
interpreting the “network termination point (NTP)”. These guidelines have been 
designed in accordance with Article 61(7) of the European Electronic 
Communications Code to provide national regulatory authorities (NRAs) with 
guidance on how to interpret the EU directives and implement them in their 
national legislation.

This consultation is open to the public. While the RIPE NCC has no particular 
position on this topic, we think it is important for the community to consider 
the impact of these guidelines. They could impact not only our members’ 
operations, but the RIPE NCC’s engagement strategy on a number of topics such 
as IPv6 and IoT security.

We invite the Connect Working Group to discuss the proposed guidelines and, 
should it reach a rough consensus as determined by the chairs, the RIPE NCC is 
willing to submit that opinion as a response on behalf of the RIPE community. 
As we see pros and cons to either alternative, failure to reach consensus will 
mean we will not respond to this consultation on behalf of the RIPE community, 
but would instead encourage individual members to provide their own responses.

I’ll provide a brief description of the problem space and the potential impact 
below, but I recommend reading the draft guidelines as they are posted on the 
BEREC website:
https://berec.europa.eu/eng/document_register/subject_matter/berec/regulatory_best_practices/guidelines/8821-berec-guidelines-on-common-approaches-to-the-identification-of-the-network-termination-point-in-different-network-topologies

Please note that while BEREC’s deadline is 21 November, we would need a few 
days to process and file the formal response and we kindly request the working 
group to respect close of business on 15 November as its internal deadline to 
reach consensus.

Key Issues

One of the key questions laid out in the document is whether or not the CPE or 
modem is part of the NTP. EU Regulation 2015/2120 states with regard to 
Internet access services in article 3(1):

> “End-users shall have the right to access and distribute information and 
> content, use and provide applications and services, and use terminal 
> equipment of their choice […]”

The 2016 BEREC Guidelines on net neutrality rules (paragraphs 26 and 27) 
provide further guidance on the implementation and state:

> “In considering whether end-users may use the terminal equipment of their 
> choice, NRAs should assess whether an ISP provides equipment for its 
> subscribers and restricts the end-users’ ability to replace that equipment 
> with their own equipment, i.e. whether it provides ‘obligatory equipment’.
> 
> Moreover, NRAs should consider whether there is an objective technological 
> necessity for the obligatory equipment to be considered as part of the ISP 
> network. If there is not, and if the choice of terminal equipment is limited, 
> the practice would be in conflict with the Regulation.”

Not only is this subject to national definitions and implementations, it also 
allows for exceptions under “objective technological necessity”. Among other 
things, the draft guidelines go into a lot of detail with regards to the 
consequence of the different options that exist.

As explained above, the RIPE NCC has no immediate position on which option is 
the better alternative. However, it could impact our engagement strategy in the 
longer term.

There are roughly two alternative options: the modem or CPE is “obligatory” and 
as such will be supplied and maintained by the access provider as part of their 
network, or the end-user is allowed or even required to source their own 
equipment, which needs to be compatible with the network.

The two different options would impact, for example, the RIPE NCC’s focus when 
it comes to IPv6 adoption. Although we have seen successful deployments under 
both scenarios, it is either the ISP that is in control and has to make the 
choice (which of course often means our members are deciding), or we need to 
somehow create awareness among end-users and engage more with manufacturers, 
importers and retailers to adopt equipment that supports IPv6.

We also imagine that such a choice would impact the scale and, more 
importantly, the speed of IPv6 adoption.

We also expect that if the prevailing choice would be to allow the end-user to 
select their own equipment, there will be an increased demand for strict 
standards and profiles to ensure interoperability. While the draft guidelines 
recognise that the CPE market is both competitive and innovative, we expect 
these discussions to lean towards additional certification requirements to 
ensure interoperability.

In light of the current discussions about IoT security, especially in household 
appliances, we also see a big focus on the CPE as providing some 
security-related services. Several of these systems, such as SPIN and MUD/FUD, 
have been presented to the community. Again, a more scattered landscape where 
users select their own devices might make it challenging for these technologies 
to reach a sustainable level of adoption.

More generally, we can expect that greater freedom of choice in selecting 
devices would come with some additional security challenges, where the 
increased variety could also lead to an increase in the variety of attack 
vectors and vulnerabilities. Also, as the CPE would no longer be in the ISP’s 
domain, we would lose the ability to quickly roll out patches and would instead 
have to trust the end-user or manufacturer to install updates in a timely 
fashion.

Again, this is something where we would expect further discussion with regards 
to regulatory measures and (mandatory) certification to ensure minimum 
requirements are met and to protect the consumer.

In either case, we trust the NRAs and the market to make an informed decision 
on the most appropriate approach and are happy to bring the RIPE community’s 
opinion forward to this consultation. Regardless of the outcome, we will 
continue to monitor these discussions and adjust our engagement strategy 
accordingly, both towards policymakers as well as the various market 
participants and, where necessary, the end-users.

Regards,

Marco Hogewoning
External Relations, RIPE NCC


_______________________________________________
connect-wg mailing list
[email protected]
https://lists.ripe.net/mailman/listinfo/connect-wg

Reply via email to