Keyboard Shortcuts
Thread View
j
: Next unread messagek
: Previous unread messagej a
: Jump to all threadsj l
: Jump to MailingList overview
[sig-policy] prop-101 Returned to mailing list and Newversion posted
Can we remind you all that a revised version of this proposal, available at http://www.apnic.net/policy/proposals/prop-101, is up for consideration at our next meeting. Of course, you should consider the whole proposal before deciding to support or oppose this proposal.
The change from the previous version is the *removal* of the following clause:
(e) The first Policy SIG meeting of 2014 (expected to be APNIC Meeting 35) will as an agenda item consider the observed rate of IPv6 portable assignments and potential 10-year forecasts of growth of portable assignments prepared by the APNIC Secretariat extrapolated on the observed data, and by consensus consider the question "Should the IPv6 portable assignment criteria revert to requiring multihoming?"
--
This clause was a major point of debate in the debate at the last policy SIG meeting and while some people now are happy to support the proposal there has been no other discussion. We encourage you express your views on the list so that those who won't be able to attend the meeting in person have a chance to take part in the discussions.
Andy, Masato, Skeeve
------------------------------------------------------------------------
prop-101-v004: Removing multihoming requirement for IPv6 portable assignments
------------------------------------------------------------------------
1. Introduction -------------------
This a proposal to change the "IPv6 address allocation and assignment policy" to allow portable (that is, provider independent or PI) assignments of IPv6 address blocks to be made by APNIC to any organization with due justification and payment of standard fees, removing the current requirement that the requestor is or plans to be multihomed.
2. Summary of the current problem -----------------------------------------------
Current APNIC policy only permits portable assignments of IPv6 addresses to be made to an organization "if it is currently multihomed or plans to be multihomed within three months." [1] This requirement may unnecessarily complicate the implementation of IPv6 in some networks that are large or complex and use static assignment of addresses. It is therefore proposed to remove this requirement.
IPv6 models tend to assume widespread assignment of registered IPv6 addresses to equipment throughout a network; so if provider assigned IPv6 addresses have been used in an organization's network, then any change of ISP would require a renumbering of the entire network. Such renumbering may be feasible if the network is small or dynamically assigned (for example, through use of prefix-delegation), but renumbering a large, statically-assigned network would be a significant operational challenge, and may not be practically possible.
Although it is likely that many large networks would be multihomed, there will be technical or commercial reasons why some will not be; currently those networks cannot obtain portable IPv6 assignments from APNIC, and would need to use assignments from their ISPs, and accept the associated difficulties of future renumbering if they do so. This consideration and complexity could significantly delay IPv6 use by the affected organisations, which is not desirable.
There is a risk that removing the multihoming requirement could cause a significant increase in demand for portable assignments, which in turn could cause the Internet routing tables to grow beyond manageable levels. It is not feasible to quickly generate any realistic model of likely demand increase which would arise from the proposed policy change, but it is argued that any such increase would only be of a scale to produce a manageable impact on global routing, for reasons including:
- Organizations would only be likely to seek portable addressing if they believed it were essential for their operations, as provider assigned IPv6 addressing would be likely to be offered automatically and at no additional cost with their Internet services from their ISP;
- APNIC membership fees would be expected to naturally discourage unnecessary requests, as these would be a far greater cost than that for provider assigned addressing;
- Many or most organizations that require portable addressing will be multihomed, so the demand increase caused by removing the multihomed requirement should be small;
- Only a limited set of an ISP's products is likely to allow customers to use portable assignments if they are singly-homed.
3.Situation in other RIRs ---------------------------------
APNIC is now the only RIR remaining with an absolute requirement for multihoming for portable address assignments.
AfriNIC: The "Policy for IPv6 ProviderIndependent (PI) Assignment for End-Sites" [2] does not mention any requirement for multihoming;
ARIN: Section 6.5.8 of the "ARIN Number Resource Policy Manual" [3] only identifies multihoming as one of several alternative criteria for direct IPv6 assignment to end-user organizations;
LACNIC: There is no mention of multihoming anywhere in the IPv6 section (Section 4) of the current LACNIC Policy Manual (v1.8 - 07/12/2011) [4].
RIPE: The latest version (RIPE-545 [5]) published in January 2012 of the "IPv6 Address Allocation and Assignment Policy" does not mention multihoming, removing the requirement that existed in previous versions of the document.
4.Details ------------
It is proposed that section 5.9.1 of APNIC's "IPv6 address allocation and assignment policy" (apnic-089-v010) is rewritten to remove the absolute multihoming requirement for portable assignments, and to incorporate the following conditions:
A. Portable IPv6 assignments are to be made only to organizations that have either joined APNIC as members or have signed the non-member agreement, under the standard terms & conditions and paying the standard fees applicable for their respective category.
B. An organization will be automatically eligible for a minimum IPv6 portable assignment if they have previously justified an IPv4 portable assignment from APNIC.
C. Requests by organizations that have not previously received an IPv4 portable assignment will need to be accompanied by:
(a) a reasonable technical justification indicating why IPv6 addresses from an ISP or other LIR are unsuitable - examples of suitable technical justifications may include (but are not limited to):
(i) Demonstration that the relevant network is statically addressed and of a size or complexity that would make IPv6 renumbering operationally impractical within an acceptable business period, together with evidence that dynamic or multiple addressing options are either not available from the relevant ISP or are unsuitable for use by the organization;
(ii) Demonstration that any future renumbering of the relevant network could potentially interfere with services of a critical medical or civic nature;
(b) A detailed plan of intended usage of the proposed address block over at least the 12 months following allocation.
D. The minimum IPv6 portable assignment to any organization is to be an address block of /48. A portable assignment of a larger block (that is, a block with a prefix mask less than /48) may be made:
(a) If it is needed to ensure that the HD-ratio for the planned network assignments from the block remains below the applied HD-ratio threshold specified in Section 5.3.1 of the APNIC IPv6 policy [6], or;
(b) If addressing is required for 2 or more of the organization's sites operating distinct and unconnected networks.
Any requests for address blocks larger than the minimum size will need to be accompanied by a detailed plan of the intended usage of the proposed assignment over at least the following 12 months.
E. In order to minimise routing table impacts:
(a) Only one IPv6 address block is to be given to an organization upon an initial request for a portable assignment; subnets of this block may be assigned by the organization to its different sites if needed;
(b) It is recommended that the APNIC Secretariat applies sparse allocation methodologies so that any subsequent requests from an organization for additional portable addressing would be accommodated where possible through a change of prefix mask of a previous assignment (for example, 2001:db8:1000::/48 -> ] 2001:db8:1000::/44), rather than through allocation of a new prefix. An additional prefix should only be allocated where it is not possible to simply change the prefix mask.
(c) Any subsequent request for an additional portable assignment to an organization must be accompanied by information demonstrating:
(i) Why an additional portable assignment is required, and why an assignment from from an ISP or other LIR cannot be used for this purpose instead;
(ii) That the use of previous portable IPv6 allocations generated the minimum possible number of global routing announcements and the maximum aggregation of that block;
(iii) How the additional assignment would be managed to minimise the growth of the global IPv6 routing table.
(d) The APNIC Secretariat will produce reports of the number of portable IPv6 assignments requested, preferably as an automatically-generated daily graph of the number of cumulative IPv6 portable assignments published publically on the APNIC website, or else as regular (at a minimum, quarterly) reports sent to the sig-policy mailing list detailing the incremental assignments of new IPv6 portable assignments made since the last report, plus the cumulative total of IPv6 portable assignments.
5.Pros/Cons -----------------
Advantages:
- This proposal would provide access to portable IPv6 addresses for all organizations with valid needs, removing a potential impediment to industry standard IPv6 addressing for large singly-homed networks
- This change would align APNIC with the policies of all other RIRs on portable assignments
Disadvantages:
- There would be a risk of an unmanageably large increase in global IPv6 routing table size and APNIC workload if there were to be a substantial and widespread increase in demand for portable assignments arising from the removal of the multihoming requirement
- But demand is expected to be limited by the requirements specified in section 4 for justifications and APNIC standard fees, as well as other industry factors such as the capability of Internet services to support portable addressing.
6.Effect on APNIC ------------------------
The impact of this proposal on the APNIC Secretariat would depend on the increase of demand for portable assignments. Even if demand is eventually large, it is unlikely that there will be an significant change in hostmaster workloads for a long time because of the slow rate of take up of IPv6, and so there should be sufficient time to identify and take steps to modify policies and processes if necessary to manage the increase.
7.Effect on NIRs ----------------------
This proposal specifically applies to portable assignments made by APNIC. It would be the choice of each NIR as to whether they would adopt a similar policy.
References: ----------------
[1] Section 5.9.1, IPv6 address allocation and assignment policy, http://www.apnic.net/policy/ipv6-address-policy#5.9 [2] http://www.afrinic.net/docs/policies/AFPUB-2007-v6-001.htm [3] https://www.arin.net/policy/nrpm.html#six58 [4] http://www.lacnic.net/en/politicas/manual5.html [5] http://www.ripe.net/ripe/docs/ripe-545 [6]Section 5.3.1, IPv6 address allocation and assignment policy, http://www.apnic.net/policy/ipv6-address-policy#5.3 _______________________________________________
I (personally) support the technical aspects of the proposal.
It just makes simple sense. However:
I suggest removing the expectation on membership fees from the summary. That is an EC concern alone, and I'm not comfortable with the suggestion of taxing an organisation at a higher rate due to their business circumstances in an address policy space.
Cheers Terry (speaking for myself)
On 11/07/2012, at 1:46 PM, Andy Linton wrote:
Can we remind you all that a revised version of this proposal, available at http://www.apnic.net/policy/proposals/prop-101, is up for consideration at our next meeting. Of course, you should consider the whole proposal before deciding to support or oppose this proposal.
The change from the previous version is the *removal* of the following clause:
(e) The first Policy SIG meeting of 2014 (expected to be APNIC
Meeting 35) will as an agenda item consider the observed rate of IPv6 portable assignments and potential 10-year forecasts of growth of portable assignments prepared by the APNIC Secretariat extrapolated on the observed data, and by consensus consider the question "Should the IPv6 portable assignment criteria revert to requiring multihoming?"
--
This clause was a major point of debate in the debate at the last policy SIG meeting and while some people now are happy to support the proposal there has been no other discussion. We encourage you express your views on the list so that those who won't be able to attend the meeting in person have a chance to take part in the discussions.
Andy, Masato, Skeeve
prop-101-v004: Removing multihoming requirement for IPv6 portable assignments
- Introduction
This a proposal to change the "IPv6 address allocation and assignment policy" to allow portable (that is, provider independent or PI) assignments of IPv6 address blocks to be made by APNIC to any organization with due justification and payment of standard fees, removing the current requirement that the requestor is or plans to be multihomed.
- Summary of the current problem
Current APNIC policy only permits portable assignments of IPv6 addresses to be made to an organization "if it is currently multihomed or plans to be multihomed within three months." [1] This requirement may unnecessarily complicate the implementation of IPv6 in some networks that are large or complex and use static assignment of addresses. It is therefore proposed to remove this requirement.
IPv6 models tend to assume widespread assignment of registered IPv6 addresses to equipment throughout a network; so if provider assigned IPv6 addresses have been used in an organization's network, then any change of ISP would require a renumbering of the entire network. Such renumbering may be feasible if the network is small or dynamically assigned (for example, through use of prefix-delegation), but renumbering a large, statically-assigned network would be a significant operational challenge, and may not be practically possible.
Although it is likely that many large networks would be multihomed, there will be technical or commercial reasons why some will not be; currently those networks cannot obtain portable IPv6 assignments from APNIC, and would need to use assignments from their ISPs, and accept the associated difficulties of future renumbering if they do so. This consideration and complexity could significantly delay IPv6 use by the affected organisations, which is not desirable.
There is a risk that removing the multihoming requirement could cause a significant increase in demand for portable assignments, which in turn could cause the Internet routing tables to grow beyond manageable levels. It is not feasible to quickly generate any realistic model of likely demand increase which would arise from the proposed policy change, but it is argued that any such increase would only be of a scale to produce a manageable impact on global routing, for reasons including:
- Organizations would only be likely to seek portable addressing if they believed it were essential for their operations, as provider assigned IPv6 addressing would be likely to be offered automatically and at no additional cost with their Internet services from their ISP; - APNIC membership fees would be expected to naturally discourage unnecessary requests, as these would be a far greater cost than that for provider assigned addressing; - Many or most organizations that require portable addressing will be multihomed, so the demand increase caused by removing the multihomed requirement should be small; - Only a limited set of an ISP's products is likely to allow customers to use portable assignments if they are singly-homed.
3.Situation in other RIRs
APNIC is now the only RIR remaining with an absolute requirement for multihoming for portable address assignments.
AfriNIC: The "Policy for IPv6 ProviderIndependent (PI) Assignment for End-Sites" [2] does not mention any requirement for multihoming;
ARIN: Section 6.5.8 of the "ARIN Number Resource Policy Manual" [3] only identifies multihoming as one of several alternative criteria for direct IPv6 assignment to end-user organizations;
LACNIC: There is no mention of multihoming anywhere in the IPv6 section (Section 4) of the current LACNIC Policy Manual (v1.8 - 07/12/2011) [4].
RIPE: The latest version (RIPE-545 [5]) published in January 2012 of the "IPv6 Address Allocation and Assignment Policy" does not mention multihoming, removing the requirement that existed in previous versions of the document.
4.Details
It is proposed that section 5.9.1 of APNIC's "IPv6 address allocation and assignment policy" (apnic-089-v010) is rewritten to remove the absolute multihoming requirement for portable assignments, and to incorporate the following conditions:
A. Portable IPv6 assignments are to be made only to organizations that have either joined APNIC as members or have signed the non-member agreement, under the standard terms & conditions and paying the standard fees applicable for their respective category.
B. An organization will be automatically eligible for a minimum IPv6 portable assignment if they have previously justified an IPv4 portable assignment from APNIC.
C. Requests by organizations that have not previously received an IPv4 portable assignment will need to be accompanied by:
(a) a reasonable technical justification indicating why IPv6 addresses from an ISP or other LIR are unsuitable - examples of suitable technical justifications may include (but are not
limited to):
(i) Demonstration that the relevant network is statically addressed and of a size or complexity that would make IPv6 renumbering operationally impractical within an acceptable business period, together with evidence that dynamic or multiple addressing options are either not available from the relevant ISP or are unsuitable for use by the organization; (ii) Demonstration that any future renumbering of the relevant network could potentially interfere with services of a critical medical or civic nature; (b) A detailed plan of intended usage of the proposed address block over at least the 12 months following allocation.
D. The minimum IPv6 portable assignment to any organization is to be an address block of /48. A portable assignment of a larger block (that is, a block with a prefix mask less than /48) may be made:
(a) If it is needed to ensure that the HD-ratio for the planned network assignments from the block remains below the applied HD-ratio threshold specified in Section 5.3.1 of the APNIC IPv6 policy [6], or; (b) If addressing is required for 2 or more of the organization's sites operating distinct and unconnected networks. Any requests for address blocks larger than the minimum size will need to be accompanied by a detailed plan of the intended usage of the proposed assignment over at least the following 12 months.
E. In order to minimise routing table impacts:
(a) Only one IPv6 address block is to be given to an organization upon an initial request for a portable assignment; subnets of this block may be assigned by the organization to its different sites if needed; (b) It is recommended that the APNIC Secretariat applies sparse allocation methodologies so that any subsequent requests from an organization for additional portable addressing would be accommodated where possible through a change of prefix mask of a previous assignment (for example, 2001:db8:1000::/48 -> ] 2001:db8:1000::/44), rather than through allocation of a new prefix. An additional prefix should only be allocated where it is not possible to simply change the prefix mask. (c) Any subsequent request for an additional portable assignment to an organization must be accompanied by information demonstrating: (i) Why an additional portable assignment is required, and why an assignment from from an ISP or other LIR cannot be used for this purpose instead; (ii) That the use of previous portable IPv6 allocations generated the minimum possible number of global routing announcements and the maximum aggregation of that block; (iii) How the additional assignment would be managed to minimise the growth of the global IPv6 routing table. (d) The APNIC Secretariat will produce reports of the number of portable IPv6 assignments requested, preferably as an automatically-generated daily graph of the number of cumulative IPv6 portable assignments published publically on the APNIC website, or else as regular (at a minimum, quarterly) reports sent to the sig-policy mailing list detailing the incremental assignments of new IPv6 portable assignments made since the last report, plus the cumulative total of IPv6 portable assignments.
5.Pros/Cons
Advantages:
- This proposal would provide access to portable IPv6 addresses for all organizations with valid needs, removing a potential impediment to industry standard IPv6 addressing for large singly-homed networks - This change would align APNIC with the policies of all other RIRs on portable assignments
Disadvantages:
- There would be a risk of an unmanageably large increase in global IPv6 routing table size and APNIC workload if there were to be a substantial and widespread increase in demand for portable assignments arising from the removal of the multihoming requirement - But demand is expected to be limited by the requirements specified in section 4 for justifications and APNIC standard fees, as well as other industry factors such as the capability of Internet services to support portable addressing.
6.Effect on APNIC
The impact of this proposal on the APNIC Secretariat would depend on the increase of demand for portable assignments. Even if demand is eventually large, it is unlikely that there will be an significant change in hostmaster workloads for a long time because of the slow rate of take up of IPv6, and so there should be sufficient time to identify and take steps to modify policies and processes if necessary to manage the increase.
7.Effect on NIRs
This proposal specifically applies to portable assignments made by APNIC. It would be the choice of each NIR as to whether they would adopt a similar policy.
References:
[1] Section 5.9.1, IPv6 address allocation and assignment policy, http://www.apnic.net/policy/ipv6-address-policy#5.9 [2] http://www.afrinic.net/docs/policies/AFPUB-2007-v6-001.htm [3] https://www.arin.net/policy/nrpm.html#six58 [4] http://www.lacnic.net/en/politicas/manual5.html [5] http://www.ripe.net/ripe/docs/ripe-545 [6]Section 5.3.1, IPv6 address allocation and assignment policy, http://www.apnic.net/policy/ipv6-address-policy#5.3 _______________________________________________
sig-policy: APNIC SIG on resource management policy *
sig-policy mailing list sig-policy@lists.apnic.net http://mailman.apnic.net/mailman/listinfo/sig-policy
Terry,
Sorry - just noticed this:
On 11/07/2012 2:04 PM, Terry Manderson wrote:
I (personally) support the technical aspects of the proposal.
It just makes simple sense. However:
I suggest removing the expectation on membership fees from the summary. That is an EC concern alone, and I'm not comfortable with the suggestion of taxing an organisation at a higher rate due to their business circumstances in an address policy space.
Cheers Terry (speaking for myself)
I believe the reference you are describing is only in the Section 2 problem summary:
APNIC membership fees would be expected to naturally discourage unnecessary requests, as these would be a far greater cost than that for provider assigned addressing;
I'm not suggesting in any way that fees would be adjusted in any way to discourage portable address allocations, but only that the mere existence of any APNIC fees is itself a discouragement to joining APNIC simply to obtain addresses (in comparison with what would be very likely to be free allocations as part of the service from an ISP). It would take a dramatic and very unlikely change of fee structures for the statement to not apply.
I completely agree that fees are an EC concern, and that allocation policy proposals should not attempt to influence fees. The reference in this draft is intended simply as an observation of a natural economic element that should discourage demand for portable addresses, in that it is a fact that APNIC fees exist. (And the proposal details in Section 4 do not reference fees in any way, or rely on maintenance or changes to fees to be implemented.)
So I'd rather keep the statement in as I think it is a reasonable statement of economics, and again it's not supposed to suggest fee changes are required in any way.
Will you support the proposal even with the statement being retained?
Regards, David
Hi David,
On 17/08/2012, at 10:12 AM, David Woodgate wrote:
APNIC membership fees would be expected to naturally discourage unnecessary requests, as these would be a far greater cost than that for provider assigned addressing;
I'm not suggesting in any way that fees would be adjusted in any way to discourage portable address allocations, but only that the mere existence of any APNIC fees is itself a discouragement to joining APNIC simply to obtain addresses (in comparison with what would be very likely to be free allocations as part of the service from an ISP). It would take a dramatic and very unlikely change of fee structures for the statement to not apply.
I completely agree that fees are an EC concern, and that allocation policy proposals should not attempt to influence fees. The reference in this draft is intended simply as an observation of a natural economic element that should discourage demand for portable addresses, in that it is a fact that APNIC fees exist. (And the proposal details in Section 4 do not reference fees in any way, or rely on maintenance or changes to fees to be implemented.)
So I'd rather keep the statement in as I think it is a reasonable statement of economics, and again it's not supposed to suggest fee changes are required in any way.
Will you support the proposal even with the statement being retained?
Perhaps then say "The existing APNIC membership fees would . . ." - but will leave that to your discretion. I still support the technical aspects of the proposal.
<personal opinion> I'm constantly wary, and very sensitive, of any suggestion that allows an increase of any fees unless explicitly required under the space of cost recovery for the RIR registry function. </personal opinion>
Cheers Terry
Terry,
Thanks for this - if you're leaving it to my discretion, then I won't release a new draft specifically for this, but if a new draft becomes needed for other reasons, then I would consider adjusting the relevant words then.
Otherwise, I thank you for your support for the proposal.
Regards, David
On 17/08/2012 10:35 AM, Terry Manderson wrote:
Hi David,
On 17/08/2012, at 10:12 AM, David Woodgate wrote:
APNIC membership fees would be expected to naturally discourage unnecessary requests, as these would be a far greater cost than that for provider assigned addressing;
I'm not suggesting in any way that fees would be adjusted in any way to discourage portable address allocations, but only that the mere existence of any APNIC fees is itself a discouragement to joining APNIC simply to obtain addresses (in comparison with what would be very likely to be free allocations as part of the service from an ISP). It would take a dramatic and very unlikely change of fee structures for the statement to not apply.
I completely agree that fees are an EC concern, and that allocation policy proposals should not attempt to influence fees. The reference in this draft is intended simply as an observation of a natural economic element that should discourage demand for portable addresses, in that it is a fact that APNIC fees exist. (And the proposal details in Section 4 do not reference fees in any way, or rely on maintenance or changes to fees to be implemented.)
So I'd rather keep the statement in as I think it is a reasonable statement of economics, and again it's not supposed to suggest fee changes are required in any way.
Will you support the proposal even with the statement being retained?
Perhaps then say "The existing APNIC membership fees would . . ." - but will leave that to your discretion. I still support the technical aspects of the proposal.
<personal opinion> I'm constantly wary, and very sensitive, of any suggestion that allows an increase of any fees unless explicitly required under the space of cost recovery for the RIR registry function. </personal opinion>
Cheers Terry
Activity Summary
- 4504 days inactive
- 4504 days old
- sig-policy@lists.apnic.net
- 8 participants
- 21 comments