I do not support the policy as written. As written, it is unclear whether natural persons not conducting business and acting solely as hobbyists are excluded. However, natural persons operating businesses in their own name should be considered valid organizations.
Organizations must; 1. Operate as legal businesses within the ARIN service region. 2. Operate a network within the ARIN service region with Internet number resources allocated by or registered with ARIN. 3. Meet other policy or eligibility criteria. From a policy perspective, the first two are fundamental criteria that must be included in the definition of an organization. I suggest the following revision to the policy text; 2.x Organization An organization is a company, corporation, partnership, sole proprietorship, government agency, non-profit entity, educational institution, or natural person operating as a legal business within the ARIN service region. It must also operate a network within the ARIN service region with Internet number resources allocated by or registered with ARIN and meet other policy or eligibility criteria. I also want to point out the recent blog post by ARIN Staff about this subject. https://www.arin.net/blog/2025/05/28/individual-requests/ Thanks. On Tue, May 20, 2025 at 12:33 PM ARIN <[email protected]> wrote: > On 15 May 2025, the ARIN Advisory Council (AC) accepted ARIN-prop-343: > Resource Issuance to Natural Persons as Draft Policy. > > Draft Policy ARIN-2025-4 is below and can be found at: > > https://www.arin.net/participate/policy/drafts/2025_4 > > You are encouraged to discuss all Draft Policies on PPML. The AC will > evaluate the discussion to assess the conformance of this draft policy with > ARIN's Principles of Internet number resource policy as stated in the > Policy Development Process (PDP). Specifically, these principles are: > > * Enabling Fair and Impartial Number Resource Administration > * Technically Sound > * Supported by the Community > > The PDP can be found at: > > https://www.arin.net/participate/policy/pdp/ > > Draft Policies and Proposals under discussion can be found at: > > https://www.arin.net/participate/policy/drafts/ > > Regards, > > Eddie Diego > Policy Analyst > American Registry for Internet Numbers (ARIN) > > > > Draft Policy ARIN-2025-4: Resource Issuance to Natural Persons > > Problem Statement: > > ARIN policies currently restrict the issuance of number resources to > organizations. This limits access for individuals who are running networks > under their own legal name, especially in regions where forming or > registering a business is not required or feasible. Other RIRs such as RIPE > NCC allow individuals to receive resources directly. ARIN should consider > similar flexibility to ensure equal and consistent access to Internet > number resources for all operators, regardless of legal structure. > > Policy Statement: > > This proposal introduces explicit policy text into the NRPM to allow > number resource issuance to natural persons (individuals) who provide valid > justification and identity verification. > > Amend NRPM Section 2 to add the following definition: > > 2.18 Organization > > An organization is a company, corporation, partnership, sole > proprietorship, government agency, non-profit entity, educational > institution, or a natural person acting in a capacity consistent with > operating a network and who meets ARIN’s resource eligibility criteria. > > Comments: > > Sections 4.2, 5.1, and 6.5 shall be interpreted to allow “organizations” > as newly defined in Section 2.12, thereby including individuals where > appropriate. > > Staff may develop identity verification and residency requirements > appropriate to individuals (e.g., government-issued photo ID and proof of > address). > > All resource justification, utilization, and RSA signing requirements > remain unchanged. > > There has been extensive discussion of this topic on the ARIN Public > Policy Mailing List (PPML) in April 2025. Participants have cited > inconsistencies and barriers created by reliance on state-level business > registries, and called for more inclusive eligibility mechanisms similar to > other RIR regions. The proposal addresses these concerns while maintaining > accountability and justification requirements. > > Timetable for implementation: > > Recommend implementation within 3–6 months of ratification to allow ARIN > staff and legal counsel to develop supporting processes. > > Anything else: > > This proposal does not reduce the level of justification required to > obtain resources, but merely expands eligibility to natural persons who > operate networks and meet all existing technical and usage criteria. > > > > > > _______________________________________________ > ARIN-PPML > You are receiving this message because you are subscribed to > the ARIN Public Policy Mailing List ([email protected]). > Unsubscribe or manage your mailing list subscription at: > https://lists.arin.net/mailman/listinfo/arin-ppml > Please contact [email protected] if you experience any issues. > -- =============================================== David Farmer Email:[email protected] Networking & Telecommunication Services Office of Information Technology University of Minnesota 2218 University Ave SE Phone: 612-626-0815 Minneapolis, MN 55414-3029 Cell: 612-812-9952 ===============================================
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