On 16 Jul 2017, at 8:46 PM, Paul McNary <[email protected]> wrote:
>
> Hello
> This is probably targeted to John and the ARIN staff
>
> I was reading some articles today. Under the current net privacy rules and
> proposed
> net neutrality rule making goes through or even if not, we are not allowed to
> put
> customer data in a publicly accessible data base. I don't think we are even
> allowed
> to provide that information to a third party without our customer's written
> opt-in.
> You can only get the IP "address holder's" information because of the
> contract we
> have with ARIN where we give up that right of privacy. So you can make us
> give you
> that information but you can not force us to break the law, if the end user
> doesn't have a
> contract with ARIN. Even if we would SWIP a current /24 and their information
> is
> disclosed to a third party (ie ARIN) and the end user doesn't have a contract
> with
> ARIN, I think we are in violation of the Internet privacy rules as they are
> and have been.
>
> John, can you and the ARIN staff get a written clarification from FCC about
> this.
> It basically guts the privacy rule making if SWIP is performed on a customer
> who does not give written approval.
>
> What am I missing? The WISPA lawyers say we are still required to follow the
> Internet policy rule making.
Paul -
ARIN obviously does not require you “to break the law”, but to be able to
further
pursue this matter we’re going to need a bit more information.
Do you have a reference for the particular law or rulemaking proceeding
that
the WISPA lawyers assert is in conflict? I would be happy to speak with
them
directly if that would help – email me appropriate contact information when
you
have a moment.
Thanks!
/John
John Curran
President and CEO
ARIN
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