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########## ########## ########## | VIDEO DIALTONE|
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########## ########## ########## | The FCC and Video-by-Wire|
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######## ######## ######## | CD/USENET|
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######## ######## ######## | Newsfeeds via Disk?|
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########## #### #### | |
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########## #### #### | |
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THE EFF PIONEER AWARDS: NOMINATIONS CLOSE MIDNIGHT |
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PACIFIC TIME FEBRUARY 19 |
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=====================================================================|
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EFFector Online February 18,1992 Volume 2, Number 5|
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=====================================================================|
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THE PIONEER AWARDS:Nominations Deadline
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To date well over 150 nominations for the EFF/PIONEER Awards have been
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received and the list alone would make for a fascinating series of
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interviews and profiles. Indeed, we're making it a point to put that
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project in the list for things to get done in 1992.
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There is still time for everyone out there who hasn't nominated the
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person or organization they feel deserves recognition throughout known
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cyberspace as a pioneering element the birth and growth of this new
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medium to have their say.
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Remember, the nominations are open and that anyone may nominate anyone
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else -- even themselves. Everyone is eligible except EFF staff members.
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There's an entry form at the end of this issue of EFFector Online. If
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you know anyone whose a genuine cyberspace pioneer worthy of recognition
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please use it and use it quickly.
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Nominations close at midnight, February 19, 1992 -- Pacific Time.
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Thank you,
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The EFF
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-==--==--==-<>-==--==--==-
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FCC Proposes to Allow Telcos to Deliver Video;
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by Andrew Blau
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blau@eff.org
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(EFF Washington Office)
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Should the regional telephone companies be able to enter the cable
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televion business? Should the cable companies of the country be
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protected from this potential competition? There are arguments for both
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sides. And the Federal Communications Commission has come up with a
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proposal that just may be able to make the answer fair to both sides and
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of benefit to the consumer at the same time.
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On October 24, 1991, the Federal Communications Commission announced its
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latest proposal for modifying the telphone company-cable television
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cross ownership rules. These rules keep telephone companies (telcos) out
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of the cable television business. The FCC enacted these rules in 1970
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in an effort to protect the then fledgling cable industry from a range
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of anticompetitive practices by telcos seeking to maintain control over
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wireline communications.
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Rather than directly address whether telcos can get into the cable
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business, the Commission is proposing that telcos can offer a "video
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dialtone": an open line into a telco-operated distribution network,
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available on a common carrier basis, that others can fill with video
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signals, much like telcos now provide an open line to the telephone
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network that a subscriber purchases in order to fill with audio signals
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or data. This proposal also reflects the Commission's attempts to
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develop a policy framework that can accommodate video and other
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enhanced electronic services offered over a single wire.
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The Commission's Proposal
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The Commission's video dialtone proposal was outlined in a three-part
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release that described the Commission's scheme and reasoning and
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requested public comment on it.
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The first part holds the core of the Commission's proposal. This
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section describes video dialtone as "an enriched version of video common
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carriage under which local exchange carriers (LECs) will offer various
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non-programming services in addition to the underlying video transport."
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The report suggests that video dialtone will facilitate "the provision
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of additional non- programming services and of enhanced video gateways
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including detailed menus, information search capabilities, and subcriber
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driven data processing." As such, it is a "'platform' through which
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subscribers can access video and other information services."
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The Commission has two models for how video dialtone might be
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implemented and regulated. The first approach (which it clearly favors)
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has two levels.
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Level one is a platform that gives users access to video and non-video
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services on a non-discriminatory, common carrier basis, regulated like
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other basic telephone services. The platform would allow service
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providers and subscribers to reach each other and would likely include
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basic directory and routing functions.
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On the second level, the LEC could provide its own advanced gateway and
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related services on an unregulated basis, subject to competition from
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other gateways and video services using the platform.
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In the second approach, there is a single Advanced Gateway, through
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which consumers could gain access to non-programming video services
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(e.g., picturephone, videoconferencing) provided by either the LEC or
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other service providers. In this single-level model, the LEC would
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provide certain enhanced features, such as navigational aids and search
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capabilities, menus and other information to make the gateway easy to
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use.
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The second part of the report was based on comments received in earlier
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rounds of this proceeding. It reflects the Commission's interpretation
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of current law.
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First, the Commission has concluded that the cross-ownership ban does
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not apply to interexchange carriers such as AT&T or MCI, but only to
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LECs. As a result, interexchange carriers may enter the cable business
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today, under the same conditions that apply to cable operators.
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Second, the Commission has concluded that under a video dialtone model,
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neither the telco, the programmer, nor the program packager is a cable
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operator, and thus no party is obligated to obtain a cable franchise in
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order to provide video service. (For all practical purposes, this
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undercuts the process by which cable operators are allowed to wire
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communities and removes the local community from decisions about the
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local communications infrastructure.) By invoking its interpretive
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authority, the Commission has chosen a strategy to promote telco
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involvement in video that relieves it of having to ask Congress to
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repeal the cross-ownership ban that was written into Federal law.
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The third part of the report addresses two additional issues in a more
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open-ended format. First, the Commission returns to the question of
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whether LECs should be allowed to become video programmers themselves
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and how the video dialtone model affects the issue. Second, the
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Commission raises questions about whether the policy objectives it seeks
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to promote are consistent with the incentives it provides. In
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particular, the Commission asks whether Commission policies discourage
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investment in advanced technology.
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The EFF's Position
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In presentations before the FCC the EFF argued that the Commission's
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underlying principles are strong, but that the proposal needs additional
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'debugging' before it becomes policy.
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EFF's position is that the Commission's model of integrating video and
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non-video services in a common-carriage based framework is an excellent
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start.
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EFF also fully supported the goals the Commission set for itself in this
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proceeding: 1) to promote an advanced public infrastructure available at
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reasonable charges ; 2) to foster competitive markets to meet advanced
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communications needs ; and 3) to advance the bedrock First Amendment
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value of diversity of information sources. Finally, the EFF agreed with
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the Commission that the video dialtone should be implemented so as to:
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facilitate competition in the provision of services, be easy for the
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average person to use, and be sufficiently flexible to accommodate new
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technological developments.
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The EFF's concerns fall into three general categories. First, EFF
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pointed out that the Commission was proposing an integrated framework
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for voice, data and video services at the same time it has an open
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inquiry into the potential architectures of advanced intelligent
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networks, yet it has not made any arrangements for connecting the two.
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As a result, EFF expressed concern that the Commission was going forward
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with a policy framework without taking into account the architecture and
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technical capabilities that network planners can already forsee.
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Second, the EFF noted that the Commission's proposal all but assumes an
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integrated broadband network, which is likely to be years away. The EFF
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suggested that the Commission not overlook the role that ISDN,
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repositioned as a residential service, could play as a transitional
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technology that could achieve many of these goals more quickly than
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waiting for the broadband infrastructure on which the Commission's
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proposal seems to be based. In addition, by fostering an ISDN-based
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platform, the Commission would be creating the conditions for consumer
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interest and demand to develop, thereby avoiding the Commission's own
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concern about "governmental edict" becoming the prime driver behind
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network development.
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Third, the EFF raised questions about whether the Commission's proposal
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will accommodate the individual or non-commercial information provider.
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Although the Commission is interested in ensuring that the video
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dialtone is easy to use, they seem to be interested primarily in that
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ease of use for consumers, while ignoring issues facing information
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providers. For example, the non- discriminatory tariffs proposed by the
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Commission may become a problem depending on how they are set. If rates
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are set on the assumption that the primary users are large commercial
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applications, whether it be Prodigy or Paramount Pictures, then smaller
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providers such as individual, non-commercial BBS operators, or simply
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individuals with a point of view to express electronically, may find
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themselves priced out of the market. Therefore, EFF suggested that the
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Commission consider ensuring low or no-cost access for for
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noncommercial, non-profit or individual information providers.
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What's Next?
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The Commission received formal comments from over 150 parties and well
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over 230 letters on the issue. Next it will accept reply comments
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before it turns any parts of its proposal into policy. There is no time
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limit for the Commission to act, however, so that policy may not appear
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for some time.
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-==--==--==-<>-==--==--==-
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Usenet on a CD-ROM, no longer a fable
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(Commentary)
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by Ian Feldman
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ianf@not.bad.se
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The latest tempest-in-a-teacup of hurricane proportions on Usenet is
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raging quite nicely in the news.misc group. This time the subject matter
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should be of interest to many, so here comes the nitty-gritty.
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A company in the USA recently began offering Usenet-on-CD-ROM monthly
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disks for a fee (approximately US$35 per disk, if memory serves me
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right; $25 per issue if one subscribes to it). As a product goes it is
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not expensive; in fact it is downright cheap all things considered.
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Getting a full news feed each day from somewhere - even if from a nearby
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friendly service - is bound to cost many times that in telephone charges
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alone. On the other hand.... having the full monthly Usenet (ALL OF IT,
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from all countries of the world, not solely from the USA) arrive in your
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mailbox, even 2 to 4 weeks after the posting date, must be considered an
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incredible and amazing opportunity.
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Ah, to be able to peruse all 500+ MB of it at will, at one's
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convenience, even without formal access to Usenet. Therefore all kudos
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to the initiator, Sterling Software, and may they live long and prosper.
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Thanks for that alternative news feed, even if it is a bit slooow. But
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then, as someone recently said on the net, "there are few other media
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that can beat the bandwidth of a truck full of CD-ROMs." ;-)
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Of course, that... feeling of elation, for want of a better phrase, was
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not what the storm was about. Rather than accept the service that
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Sterling Software offers for what it effectively is, a different form of
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the distribution of the net news, the rage was all about (1) them
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charging you for the CD-ROMs (the horror! the horror!) and (2) them
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infringing upon real or imagined intellectual property rights of the
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posters to Usenet.
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Sterling Software, in the words of its spokesman, Kent Landfield, makes
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no claims as to the reuse of the public news that they supply. They view
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themselves entirely as an alternative transport and archival service
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(all those trucks full of CD-ROMs gathering dust ;-)) Thus anybody will
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be free to put the contents of the NetNews/CD's up for use with FTP,
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mount them for access in local BBS, import them into the WAIS (Wide Area
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Information Service) and so on. The original posters' rights and
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restrictions on reuse, if any, are still in force. The information on
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CD-ROMs continues to be as free as it was in the beginning.
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Yet, listening to some of the arguments being passed in the heat of the
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discussion it becomes clear that in the mind of the flamers it
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apparently is acceptable that UUNET, PSI, and other _commercial_ Usenet
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providers charge for the telephone-accessed feeds, not to mention the
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charges to the telephone services themselves, but it is definitely not
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acceptable to offer an alternative that's cut in the plastic and
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aluminum that the CD- ROMs are made of.
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No, sireee, the latter is "publishing," therefore constitutes criminal
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unauthorized infringing upon use of _their_ words which may not be
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embossed in stone unless they get paid for it. Well, that's roughly how
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the argumentative posters feel. At times it was outright funny, but
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chiefly left me with a feeling of very limited and narrow minds now
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trying to butter up the importance of their own egos, the written end
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products of which are usually submitted in a Without-A-Thought[tm]
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fashion to the net. Please observe that I claim full intellectual
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property rights for the above expression, "Without-A- Thought[tm],"
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which may not be used by anyone without written permission from the
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undersigned. I waive that right for use by TidBITS and Sterling Software
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however (yes, since TidBITS is distributed in the comp.sys.mac.digest
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group it too will end up on the CD-ROMs).
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The above was, of course, a bit sarcastic. But it illustrates well where
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we'd soon be if the extreme arguments against the NetNews/CD product
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were taken at a face value and adhered to universally. Anybody[tm] could
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claim Sole Rights[tm] to Any Expression Whatsoever[tm]. Fortunately the
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company in question has had the guts to face up to the potential
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lawsuit-trigger-happy netters by, effectively, taking the legal grounds
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for a suit out of their hands. In a recent message on the net they offer
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every individual among those bent upon not allowing own contributions to
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be distributed in plastic and aluminum to register with them on an
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individual basis, asking them to remove any future posts of his or her
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from the data mass prior to each monthly pressing of it. Fortunately the
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CD-ROMs' contents are prepared by a special software that filters such
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people's posts automatically so the process need not be that
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complicated. One registered letter to the Sterling Software and they're
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gone, gone, gone forever, and the rest of us are hardly worse off for
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it.
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In the end the arrival of such a service may perhaps even lead some of
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the current "I Post Therefore I Exist" submitters (it sounds even better
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in Latin!) to consider twice whether or not to risk being an eternal (or
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at least the life of a CD-ROM) subject of ridicule for posting offensive
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or stupid stuff, an activity that up to now has largely been an
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unpunishable offense.
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Perhaps that in part accounted for the recent outburst on the net, that
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the NetNews/CD effectively changes the rules of the game; from now on
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self-censure becomes a necessity for all posts by all nominally
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responsible, and wishing to retain that label, people.
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The whole issue of the NetNews/CD is too vast and too important to be
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presented here in depth; those interested with access to the Usenet may
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try to read the relevant articles by visiting the /usr/spool/news/misc
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at the earliest opportunity. Alternately, send email to the company
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(addresses below) to be added to an administrative (cdnews) or a
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directional (cddev) mailing list. The rest of you may now start feeling
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being admitted AT LAST to the Real World[tm], where there is TOO
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MUCH[tm] of practically everything; trust me,
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I've been there and I wish not to live anywhere else but.
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Information from:
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Ian Feldman -- ianf@not.bad.se <end>
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-==--==--==-<>-==--==--==-
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"I've been working toward a consistent set of policies and a consistent
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set of goals for five years. "We[NSF] know where we want to be. We want
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to get out of the business. As soon as the government stops funding the
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suppliers of networking and begins funding the users of net working,
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it's the users who become responsible for appropriate use."
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--Stephen Wolff, who oversees
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the Internet for NSF
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-==--==--==-<>-==--==--==-
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THE ELECTRONIC FRONTIER FOUNDATION'S FIRST ANNUAL PIONEER AWARDS
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CALL FOR NOMINATIONS
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(Attention: Please feel free to repost to all systems worldwide.)
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In every field of human endeavor, there are those dedicated to expanding
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knowledge, freedom, efficiency and utility. Along the electronic
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frontier,this is especially true. To recognize this, the Electronic
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Frontier Foundation has established the Pioneer Awards. The first
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annual Pioneer Awards will be given at the Second Annual Computers,
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Freedom, and Privacy Conference in Washington, D.C. in March of 1992.
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All valid nominations will be reviewed by a panel of outside judges
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chosen for their knowledge of computer-based communications and the
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technical, legal, and social issues involved in networking.
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There are no specific categories for the Pioneer Awards, but the following
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guidelines apply:
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1) The nominees must have made a substantial contribution to the
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health,growth, accessibility, or freedom of computer-based communications.
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2) The contribution may be technical, social, economic or cultural.
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3) Nominations may be of individuals, systems, or organizations in the
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private or public sectors.
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4) Nominations are open to all, and you may nominate more than one
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recipient. You may nominate yourself or your organization.
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5) All nominations, to be valid, must contain your reasons, however
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brief, on why you are nominating the individual or organization, along
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with a means of contacting the nominee, and your own contact number. No
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anonymous nominations will be allowed.
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5) Every person or organization, with the single exception of EFF
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staff members, are eligible for Pioneer Awards.
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You may nominate as many as you wish, but please use one form per
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nomination. You may return the forms to us via email at:
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pioneer@eff.org.
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You may mail them to us at:
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Pioneer Awards, EFF,
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155 Second Street
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Cambridge MA 02141.
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You may FAX them to us at:
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(617) 864-0866.
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Just tell us the name of the nominee, the phone number or email address
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at which the nominee can be reached, and, most important, why you feel
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the nominee deserves the award. You can attach supporting documentation.
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Please include your own name, address, and phone number.
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We're looking for the Pioneers of the Electronic Frontier that have made
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and are making a difference. Thanks for helping us find them,
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The Electronic Frontier Foundation
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-------EFF Pioneer Awards Nomination Form------
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Please return to the Electronic Frontier Foundation via email to:
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pioneer@eff.org
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or via surface mail to EFF 155 Second Street, Cambridge,MA 02141 USA;
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or via FAX to USA (617)864-0866.
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Nominee:_________________________________________________________________
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Title: __________________________________________________________________
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Company/Organization:____________________________________________________
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Contact number or email address: ________________________________________
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Reason for nomination:___________________________________________________
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_________________________________________________________________________
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_________________________________________________________________________
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_________________________________________________________________________
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_________________________________________________________________________
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_________________________________________________________________________
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_________________________________________________________________________
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_________________________________________________________________________
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_________________________________________________________________________
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_________________________________________________________________________
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_________________________________________________________________________
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Your name and contact number:____________________________________________
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_________________________________________________________________________
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Extra documentation attached: _______
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-------EFF Pioneer Awards Nomination Form------
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-==--==--==-<>-==--==--==-
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MEMBERSHIP IN THE ELECTRONIC FRONTIER FOUNDATION
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In order to continue the work already begun and to expand our efforts
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and activities into other realms of the electronic frontier, we need the
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financial support of individuals and organizations.
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If you support our goals and our work, you can show that support by
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becoming a member now. Members receive our quarterly newsletter,
|
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EFFECTOR, our bi-weekly electronic newsletter, EFFector Online (if you
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have an electronic address that can be reached through the Net), and
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special releases and other notices on our activities. But because we
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believe that support should be freely given, you can receive these
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things even if you do not elect to become a member.
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Your membership/donation is fully tax deductible.
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Our memberships are $20.00 per year for students, $40.00 per year for
|
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regular members. You may, of course, donate more if you wish.
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Our privacy policy: The Electronic Frontier Foundation will never, under
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any circumstances, sell any part of its membership list. We will, from
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time to time, share this list with other non-profit organizations whose
|
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work we determine to be in line with our goals. But with us, member
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privacy is the default. This means that you must actively grant us
|
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|
permission to share your name with other groups. If you do not grant
|
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|
explicit permission, we assume that you do not wish your membership
|
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disclosed to any group for any reason.
|
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---------------- EFF@eff.org MEMBERSHIP FORM ---------------<<<
|
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Mail to: The Electronic Frontier Foundation, Inc.
|
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155 Second St. #22
|
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Cambridge, MA 02141
|
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|
||
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I wish to become a member of the EFF I enclose:$__________
|
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$20.00 (student or low income membership)
|
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$40.00 (regular membership)
|
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$100.00(Corporate or company membership.
|
||
|
This allows any organization to
|
||
|
become a member of EFF. It allows
|
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such an organization, if it wishes
|
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|
to designate up to five individuals
|
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|
within the organization as members.)
|
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[ ] I enclose an additional donation of $___________
|
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Name:______________________________________________________
|
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Organization:______________________________________________
|
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Address: __________________________________________________
|
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City or Town: _____________________________________________
|
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State:_______ Zip:________ Phone:( )_____________(optional)
|
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FAX:( )____________________(optional)
|
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|
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Email address: ______________________________
|
||
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|
||
|
I enclose a check [ ].
|
||
|
Please charge my membership in the amount of $_____________
|
||
|
to my Mastercard [ ] Visa [ ] American Express [ ]
|
||
|
|
||
|
Number:____________________________________________________
|
||
|
|
||
|
Expiration date: ____________
|
||
|
|
||
|
Signature: ________________________________________________
|
||
|
|
||
|
Date:______________________
|
||
|
|
||
|
I hereby grant permission to the EFF to share my name with
|
||
|
other non-profit groups from time to time as it deems
|
||
|
appropriate [ ].
|
||
|
Initials:___________________________
|
||
|
|
||
|
-==--==--==-<>-==--==--==-
|
||
|
|
||
|
Gordon's Restatement of Newman's Corollary to Godwin's Law:
|
||
|
Libertarianism (pro, con, and internal faction fights) is *the* primordial
|
||
|
netnews discussion topic. Anytime the debate shifts somewhere else, it must
|
||
|
eventually return to this fuel source.
|
||
|
|
||
|
-==--==--==-<>-==--==--==-
|
||
|
|
||
|
=====================================================================|
|
||
|
EFFector Online is published by |
|
||
|
The Electronic Frontier Foundation |
|
||
|
155 Second Street, Cambridge MA 02141 |
|
||
|
Phone:(617)864-0665 FAX:(617)864-0866 |
|
||
|
Internet Address: eff@eff.org |
|
||
|
Reproduction of this publication in electronic media is encouraged |
|
||
|
To reproduce signed articles individually, |
|
||
|
please contact the authors for their express permission. |
|
||
|
=====================================================================|
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Downloaded From P-80 International Information Systems 304-744-2253
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