or fall.
-Original Message-
From: ARIN-PPML On Behalf Of Rob Seastrom
Sent: Tuesday, July 21, 2020 1:40 PM
To: Fernando Frediani
Cc: arin-ppml@arin.net
Subject: Re: [arin-ppml] Recommended Draft Policy ARIN-2020-1: Clarify Holding
Period for Resources Received via 4.1.8 Waitlist
On 21/07/2020 14:39, Rob Seastrom wrote:
This proposal may bring an issue in such scenario and perhaps there should
still be some minimal time restriction that makes it more difficult for
fraudsters to act with such intention.
The counter argument is that putting such time restrictions in
> On Jul 21, 2020, at 11:29 AM, Fernando Frediani wrote:
>
> I remain opposed to this proposal for the same reasons stated before.
>
> I don't see what can avoid that someone to register a new company, get into
> the waiting list, receive an allocation and right after that be "purchased"
>
Even at $10/address, we are already past the point where this is viable.
And of course, if the only asset of the new company is the IPv4 resources,
selling the entire company to the new holder neatly bypasses any time
restrictions that the NRPM imposes. Likely this will be done right after
I remain opposed to this proposal for the same reasons stated before.
I don't see what can avoid that someone to register a new company, get
into the waiting list, receive an allocation and right after that be
"purchased" by another company which is not entitled to be in the
waiting list
On 16 July 2020, the ARIN Advisory Council (AC) advanced the following
Draft Policy to Recommended Draft Policy status:
ARIN-2020-1: Clarify Holding Period for Resources Received via 4.1.8
Waitlist
The text of the Recommended Draft Policy is below, and may also be found at: