[ppml] Policy Proposal: IPv4 Transfer Policy Proposal
Raul Echeberria
raul at lacnic.net
Mon Feb 11 15:52:23 EST 2008
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Could the author of the proposal explain what is the justification for requiring that the transferee should also belong to ARIN's region? It is only a question and it doesn't imply any specific opinion about the topic. Raúl At 01:35 p.m. 11/02/2008, Member Services wrote: >Resending with a typo that has been corrected in 8.4.2 below. The >original text is supposed to have "24 months" twice in that section. > >Member Services >American Registry for Internet Numbers (ARIN) > > > > >ARIN received the following policy proposal. In accordance with the ARIN >Internet Resource Policy Evaluation Process, the proposal is being >posted to the ARIN Public Policy Mailing List (PPML) and being placed on >ARIN's website. > >The ARIN Advisory Council (AC) will review this proposal at their next >regularly scheduled meeting. The AC may decide to: > > 1. Accept the proposal as written. If the AC accepts the proposal, it >will be posted as a formal policy proposal to PPML and it will be >presented at a Public Policy Meeting. > > 2. Not accept the proposal. If the AC does not accept the proposal, >the AC will explain their decision via the PPML. If a proposal is not >accepted, then the author may elect to use the petition process to >advance their proposal. If the author elects not to petition or the >petition fails, then the proposal will be closed. > >The AC shepherds for this proposal are Scott Leibrand and Stacy Taylor. > >The AC invites everyone to comment on this proposal on the PPML, >particularly their support or non-support and the reasoning behind their >opinion. Such participation contributes to a thorough vetting and >provides important guidance to the AC in their deliberations. > >The ARIN Internet Resource Policy Evaluation Process can be found at: >http://www.arin.net/policy/irpep.html > >Mailing list subscription information can be found at: >http://www.arin.net/mailing_lists/ > >Regards, > >Member Services >American Registry for Internet Numbers (ARIN) > > >## * ## > > >Policy Proposal Name: IPv4 Transfer Policy Proposal > >Author: ARIN Advisory Council > >Proposal Version: 1.0 > >Submission Date: 02/07/2008 > >Proposal type: modify > >Policy term: permanent > >Policy statement: > >Replace the current NRPM section 8 with the following -- > >8. Transfers > >[8.1. Transfers retain as is: > >Number resources are non-transferable and are not assignable to any >other organization unless ARIN has expressly and in writing approved a >request for transfer. ARIN is tasked with making prudent decisions on >whether to approve the transfer of number resources. > >It should be understood that number resources are not "sold" under ARIN >administration. Rather, number resources are assigned to an organization >for its exclusive use for the purpose stated in the request, provided >the terms of the Registration Services Agreement continue to be met and >the stated purpose for the number resources remains the same. Number >resources are administered and assigned according to ARIN's published >policies. > >Number resources are issued, based on justified need, to organizations, >not to individuals representing those organizations. Thus, if a company >goes out of business, regardless of the reason, the point of contact >(POC) listed for the number resource does not have the authority to >sell, transfer, assign, or give the number resource to any other person >or organization. The POC must notify ARIN if a business fails so the >assigned number resources can be returned to the available pool of >number resources if a transfer is not requested and justified.] > > >[8.2 remove the word only, and retitle to M&A Transfer Requirements: > >8.2. M&A Transfer Requirements > >ARIN will consider requests for the transfer of number resources upon >receipt of evidence that the new entity has acquired the assets which >had, as of the date of the acquisition or proposed reorganization, >justified the current entity's use of the number resource. Examples of >assets that justify use of the number resource include, but are not >limited to: > > * Existing customer base > * Qualified hardware inventory > * Specific software requirements.] > > >[8.3 retitle to M&A Transfer Documentation Requirements: > >8.3. M&A Transfer Documentation Requirements > >In evaluating a request for transfer, ARIN may require the requesting >organization to provide any of the following documents, as applicable, >plus any other documents deemed appropriate: > > * An authenticated copy of the instrument(s) effecting the transfer > of assets, e.g., bill of sale, certificate of merger, contract, > deed, or court decree > * A detailed inventory of all assets utilized by the requesting > party in maintaining and using the number resource > * A list of the requesting party's customers using the number resource. > >If further justification is required, the requesting party may be asked >to provide any of the following, or other supporting documentation, as >applicable: > > * A general listing of the assets or components acquired > * A specific description of acquisitions, including: > o Type and quantity of equipment > o Customer base > * A description of how number resources are being utilized > * Network engineering plans, including: > o Host counts > o Subnet masking > o Network diagrams > o Reassignments to customers] > >8.4. Requirements for Simple Transfer of IPv4 Addresses > >After the exhaustion of the IANA IPv4 free pool, ARIN will also process >IPv4 address transfer requests subject to the following conditions. > >8.4.1 Conditions on the transferor: > > * The transferor resides in the ARIN service area. > * The transferor has signed an RSA and/or a legacy RSA covering the > IPv4 addresses transferred. > * The transferor has no outstanding balances with ARIN. > * The transferor has not received any IPv4 allocations or > assignments from ARIN (through ordinary allocations or > assignments, or through this Simple Transfer policy) within the > preceding 24 months. > * The transferor may not request any IPv4 allocations or assignments > from ARIN (through ordinary allocations or assignments, or through > this Simple Transfer policy) within the subsequent 24 months. > >8.4.2 Conditions on the transferee: > > * The transferee resides in the ARIN service area and intends to use > the transferred IPv4 addresses within the ARIN service area. > * The transferee has no outstanding balances with ARIN. > * The transferees need is confirmed by ARIN, according to current > ARIN policies, including but not limited to confirmation of > utilization rate of any prior IPv4 allocations, assignments, or > previously transferred IPv4 addresses held by the transferee. > * The transferee signs (or has previously signed) an RSA covering > the IPv4 addresses transferred. > * The transferee has not provided any IPv4 addresses for transfer > through this Simple Transfer process within the preceding 24 > months. > * The transferee may not provide any IPv4 addresses for transfer > through this Simple Transfer process within the subsequent 24 > months, except in the case of business failure. > * The transferee may only receive one IPv4 address transfer every 6 > months. > > > >8.4.3 Conditions on the IPv4 address block to be transferred: > > * The IPv4 block must comply with applicable ARIN requirements, > including minimum allocation size (i.e. NRPM 4.2.2., 4.2.4., > 4.3.2., 4.3.6.). However, an IPv4 allocation or assignment of /24 > or larger, but smaller than the current minimum allocation size, > may be transferred as a whole resource, but may not be subdivided. > * The IPv4 block must currently be registered for use within the > ARIN service area, either as part of an address block assigned by > IANA to ARIN, or as part of a legacy address block allocated > within the ARIN service area. > * There must exist no dispute as to the status of the IPv4 block or > regarding the allocation or assignment of such block to the > transferor. > * The transferor may retain one contiguous address range out of > their original allocation or assignment for their own use, and > transfer the other contiguous address range. If the address range > to be transferred consists of multiple non-aggregatable CIDR > blocks, each may be transferred to a different transferee. The > retained address range may not be further subdivided or > transferred for a period of 12 months. > >8.4.4 Fees > > * Completion of a transfer requires payment of a transfer fee > according to ARINs schedule of fees. > * The transferee will be subject to all future ARIN membership and > service fees according to the transferees total address holdings. > >8.4.5 Pre-qualification > > * An interested transferee must seek pre-qualification from ARIN to > confirm its eligibility to receive a transfer (including > satisfaction of need according to current ARIN policies) before > making any solicitation for transfer. Upon pre-qualification, > ARIN will provide the transferee with documentation of the > pre-qualification, including the size (CIDR prefix length) of the > largest IPv4 address block the transferee is eligible to receive, > and the expiration date of the pre-qualification. > * An interested transferor must seek pre-qualification from ARIN to > confirm its eligibility to offer a transfer (including lack of > outstanding balances and having signed an RSA) before offering > IPv4 address resources for transfer. Upon pre-qualification, ARIN > will provide the transferor with documentation of the > pre-qualification, including the exact network address and size > (CIDR prefix length) the transferor is eligible to provide, and > the expiration date of the pre-qualification. > >8.5. Safe Harbor for IPv4 Transfers through this Simple Transfer >Process > >IPv4 address resources being made available for transfer shall be exempt >from ARIN audit until expiration of the transfer pre-qualification or >completion of the transfer. In the event that a transfer >pre-qualification expires, ARIN shall have up to 90 days to initiate an >audit prior to this exemption being reinstated through subsequent >transfer pre-qualification. This will not extend the end of the exemption. > >8.6. Simple IPv4 Transfers to or from Organizations Under Common >Ownership or Control > >If an IPv4 transferor or transferee is under common ownership or control >with any other organization that holds one or more IPv4 blocks, the IPv4 >transfer request must report all such organizations under common >ownership or control. > >When evaluating compliance with IPv4 Simple Transfer conditions, ARIN >may consider a transferors transfer request in light of requests from >other organizations under common ownership or control with the >transferor. Similarly, ARIN may consider a transferees request in >light of requests from other organizations under common ownership or >control with the transferee. In evaluating requests from other >organizations under common ownership or control, ARIN staff will >consider the relationship between the organizations, the degree of >coordination between the organizations, and the bona fide use of the >addresses at issue to determine whether all appropriate conditions are met. > >8.7. Record-keeping and Publication of Simple Transfers of IPv4 >Addresses > >ARIN will develop and operate a listing service to assist interested >transferors and transferees by providing them a centralized location to >post information about IPv4 blocks available from prequalified >transferors and IPv4 blocks needed by prequalified transferees. > >After completion of the transfer, ARIN will update the registration >records pertaining to the IPv4 block at issue. ARIN will adjust its >records as to the holdings of the transferor and transferee. > >After the transfer, ARIN will publish WHOIS data that reflects the >current allocation or assignment of the transferred block. ARIN will >also make available information about any prior recipient(s) of such >block. ARIN will also publish a log of all transfers, including block, >transferor, transferee, and date. > > >Rationale: > >The ARIN Board of Trustees asked the Advisory Council to consider a set >of questions around the depletion of the free pool of IPv4 addresses, >the transition to IPv6 for Internet address needs in the future, and >ARIN's possible role in easing the transition. > >Over the past few years the AC has spent a great deal of time reflecting >on these issues as a group, as individuals, and in consultation with >the community. One outcome of this process is this policy proposal, >which the AC is submitting for consideration at the next meeting. We are >proposing some changes to existing ARIN policy regarding the transfer of >IP address block registrations between subscribers, which will allow for >the emergence of trade in IPv4 address space, with ARIN to provide a >listing service for address blocks available for transfer under the >liberalized policy. We are aware that this proposal, if adopted, will >mark a major change in ARIN's role in the community and the Internet. > >This policy proposal would create a transfer mechanism for IPv4 number >resources between those who have excess resources and those who have a >need, thereby allowing ARIN to continue to serve its mission after IANA >free pool exhaustion. This proposal would also set conditions on such >transfers intended to preserve as much as possible the existing policy >related to efficient, needs-based resource issuance, and would leverage >ARIN's extensive control systems, audit trails, and recognized position >as a trusted agent to avoid speculation and hoarding and diminish the >likelihood and extent of an uncontrolled 'black market' where the risk >and potential for fraud is immeasurably higher. > >Many of the transfer conditions are self-explanatory, but some worth >highlighting are that: > > * To discourage speculation, a waiting period (proposed at 24 > months) is required before a transferee (or ordinary resource > recipient) can become a transferor, or vice versa. > * Transferees must qualify for IPv4 space (just as they do today > when getting it from ARIN) before they can receive address space > by transfer, or solicit space on a listing service. > * To discourage unnecessarily rapid growth of routing tables, an > allocation or assignment may not be arbitrarily deaggregated. To > allow a transferor to downsize within their existing space, they > may split off a contiguous address range, once every 12 months, > and transfer the resulting netblock(s), which are subject to > ARINs minimum allocation size, to one or more transferee(s). > * A transferee may receive one transfer every 6 months, so theyll > be incented to transfer a block appropriately sized for their > needs, which will further discourage deaggregation and keep > smaller blocks available for smaller organizations. > >The proposal would also have ARIN develop and operate a listing service >to facilitate transfers and provide an authoritative central source of >information on space available and requested for transfer. It would not >prohibit private party transactions, but would require that potential >transferors and transferees be pre-qualified first, so that neither >party will encounter any unexpected surprises when they ask ARIN to >process the transfer. > >Timetable for implementation: Immediately, with most aspects of policy >taking effect upon IANA exhaustion, per the policy text. > > > > >_______________________________________________ >PPML >You are receiving this message because you are >subscribed to the ARIN Public Policy >Mailing List (PPML at arin.net). >Unsubscribe or manage your mailing list subscription at: >http://lists.arin.net/mailman/listinfo/ppml >Please contact the ARIN Member Services Help >Desk at info at arin.net if you experience any issues. > > >-- >No virus found in this incoming message. >Checked by AVG Free Edition. >Version: 7.5.516 / Virus Database: 269.20.2/1271 >- Release Date: 11/02/2008 08:16 a.m.
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