ARIN-prop-223 Eliminating needs-based evaluation for Section 8.2, 8.3, and 8.4 transfers of IPv4 netblocks [Archived]
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ARIN-prop-223 Eliminating needs-based evaluation for Section 8.2, 8.3, and 8.4 transfers of IPv4 netblocks
Proposal Originator: Dani Roisman
Date: 20 August 2015
Problem Statement:
The current policies in NRPM sections 8.2, 8.3, and 8.4 regarding transfer of IPv4 netblocks from one organization to another are currently a hindrance in ensuring database accuracy. In practice, ARIN staff are utilizing those polices to refuse to complete database updates which would reflect an accurate transfer of control / utilization of netblocks in cases where ARIN doesn’t agree that the recipient organization has need, or more often where the recipient organization bypasses the ARIN registry entirely in order to secure the needed IPv4 netblocks in a more timely fashion directly from the current holder. The result is that the data visible in ARIN registry continues to become more inaccurate over time.
Policy statement:
This proposal is for the following language changes in the respective NRPM sections in order to eliminate all needs-based evaluation for the respective transfer type, and allow transfers to be reflected in the database as they occur following an agreement of transfer from the resource provider to the recipient.
Section 8.1 Principles:
- Change the last sentence from:
“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.”
to:
“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 validated.”
Section 8.2 Mergers and Acquisitions:
- Change the 3rd bullet from:
“The resources to be transferred will be subject to ARIN policies.”
to:
“The resources to be transferred will be subject to ARIN policies, excluding any policies related to needs-based justification or inspection of current or future utilization rate.”
- Remove entirely the last paragraph which begins “In the event that number resources . . .”
Section 8.3 Transfers between Specified Recipients within the ARIN Region:
-
Remove entirely the first bullet under “Conditions on recipient of the transfer” which begins “The recipient must demonstrate the need . . .”
-
Change the 2nd bullet under “Conditions on recipient of the transfer” from:
“The resources to be transferred will be subject to ARIN policies.”
to:
“The resources to be transferred will be subject to ARIN policies, excluding any policies related to needs-based justification or inspection of current or future utilization rate.”
Section 8.4 Inter-RIR Transfers to Specified Recipients:
- Remove entirely the 3rd bullet under “Conditions on recipient of the transfer” which begins “Recipients within the ARIN region must demonstrate the need . . .”
Comments:
a. Timetable for implementation: Immediate
b. Anything else
As the “free pool” for 4 of the 5 world’s RIRs (APNIC, RIPE, LACNIC, and ARIN) has now been exhausted, networks in need of additional IPv4 addresses have shifted away from the practice of receiving them from the RIR’s resource pool. Instead, networks in need are seeking out current holders of IPv4 resources who are willing to transfer them in order to fulfil that need. Accordingly, the RIR’s primary responsibility vis-à-vis IPv4 netblock governance has shifted from “allocation” to “documentation.” In other words, the focus must move away from practicing conservation and fair distribution (e.g. following guidelines set forth in RFC2050) to ensuring an accurate registry database of which organization is utilizing a given netblock.
The RIPE registry can be used as a reference of one which has evolved over the past couple years to shift their focus away from conservation/allocation and towards database accuracy. IPv4 netblock transfers within that RIR consist merely of validating authenticity of the parties requesting a transfer. Provided the organizations meet the basic requirement of RIR membership, and that the transferring organization has the valid authority to request the transfer, the transaction completes without any “needs-based” review.
OUT OF DATE?
Here in the Vault, information is published in its final form and then not changed or updated. As a result, some content, specifically links to other pages and other references, may be out-of-date or no longer available.