Congress has passed the Adam Walsh Law, and Department of Justice has completed writing the implementing regulations for Secondary Producer compliance--the comment period deadline is quickly approaching for us to provide input to the DOJ's pending regulatory impacts upon Secondary Producers. See
www.freespeechcoalition.com for details on submitting your input. If you don't want the expense of consulting an attorney of your choosing (which I recommend that you do indeed consult), I think you should at least consider using FSC's assistance on this crucial matter adversely affecting Secondary Producers.
--see
www.freespeechcoalition.com
The DOJ already knows who we all are, so I suggest that NONE of us not hide or be afraid of commenting for fear DOJ will make us an individual target-- IMO, it's FAR too late for that now:-(.
IMHO, if we don't speak up loud and clear and in tremendous numbers NOW, any FSC future suits on behalf of Secondary Producers will be hurt by DOJ pointing out to a Federal Judge that YOUR/OUR silence means the new regulations are not a burden to us (and the FSC suit should be thrown out---none of us want that to happen to Secondary Producers, do we???).
I sense/feel that this pending crisis is as important as the fight against .xxx (which FSC had a big hand in, on our behalf, by their actions and lobbying in Lisbon to get .xxx voted down by ICANN--whew!).
Don't be sorry later that you didn't act now. PLEASE!!!!!!!!!!!!
Even though I am a Primary Producer, I plan to open my big mouth and input comments to DOJ. You content users/Secondary Producers need to also submit timely and pertinent comments. Don't be sorry later when FBI inspections begin and you face potential major problems and hassles. Jail, especially for admin/clerical BS, might be more scary if we keep quiet now!!
Submit your comments SOON --see
www.freespeechcoalition.com for submission addresses and deadline, or contact your own attorney ASAP??!!
Dave Cummings
Worry Wart Wondering Why Ya's Aren't Already Feverishly Writing.