Dear Malcolm,
On 2018-03-14 14:47:13 CET, Malcolm Hutty wrote: > On 14/03/2018 13:32, Marco Schmidt wrote: > > Please let me reiterate that the RIPE NCC will not activate the > > closure procedure simply for failure to maintain the "abuse-mailbox:" > > attribute. > > > > The closure procedure could be activated if the resource holder refuses > > to provide correct abuse contact information or is unresponsive over a > > longer period (during which the RIPE NCC will have made several attemps > > to contact the resource holder via different channels). > > Marco, > > Thank you for your detailed mail. However I do not understand how the > two sentences quoted above are consistent with each other. Is it that > you won't activate the closure procedure *solely* for failure to > maintain abuse-mailbox, but might activate it if this was compounded > with some other breach? > > How would you feel if the policy was amended to say something along the > lines of > > "For the pupose of RIPE-676 paragraph 1.6.2.1.1 (Violation of RIPE > Policys and RIPE NCC Procedures), failure to maintain the abuse-mailbox > attribute shall not be deemed sufficient reason to terminate the SSA in > itself, but may be deemed an aggravating factor contributing towards a > decision to terminate the SSA." I see how those two lines can be confusing when taken together - thank you for asking us to clarify. If this policy change reaches consensus, the RIPE NCC will proactively validate whether the "abuse-mailbox:" attribute is valid. If our automated validation indicates that the attribute is technically incorrect, we will contact the resource holder (directly or indirectly via the sponsoring LIR) and ask them to review and correct the "abuse-mailbox:" attribute. This is still outside of the closure and deregistration procedure. It would be the following actions of the resource holder that could lead to us activating the closure procedure - such as refusing to provide correct abuse contact information or remaining unresponsive over a longer period. This is already our current procedure when investigating incorrect contact information and this would not change if the policy change reaches consensus. Regarding potential amendments, it would be up to the Anti-Abuse Working Group to decide if these are worthwhile. But I am happy to provide the RIPE NCC's understanding based on the current version of the policy proposal as well as clarification on the current RIPE policy framework. Kind regards, Marco Schmidt Policy Development Officer RIPE NCC > > Kind Regards, > > Malcolm. > > -- > Malcolm Hutty | tel: +44 20 7645 3523 > Head of Public Affairs | Read the LINX Public Affairs blog > London Internet Exchange | http://publicaffairs.linx.net/ > > London Internet Exchange Ltd > Monument Place, 24 Monument Street London EC3R 8AJ > > Company Registered in England No. 3137929 > Trinity Court, Trinity Street, Peterborough PE1 1DA > > Sent via RIPE Forum -- https://www.ripe.net/participate/mail/forum