Moving the FOSTA/SESTA rant out to a seperate file
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@ -245,88 +245,6 @@
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* Abuse, child sexual exploitation, hateful conduct, private information, Sensitive media, voilent threats
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* Abuse, child sexual exploitation, hateful conduct, private information, Sensitive media, voilent threats
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* => 60,000 account reported/day
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* => 60,000 account reported/day
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* => 0.02% of accounts reported
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* => 0.02% of accounts reported
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* CONSDONTDO The distinction between user behaviours and online services :noexport:
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The internet is awash with online harassment and harmful
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communications, and responsible governments and legislators have
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been trying for decades to do something about it.
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However, it's no less true in this sphere than in any other that
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"doing something" is not necessarily enough to address the problem:
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doing only the /right thing/ it what's required.
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In the first of his 6 Laws of
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Technology[fn:6laws:https://en.wikipedia.org/wiki/Melvin_Kranzberg#Kranzberg's_laws_of_technology],
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Dr. Melvin Kranzberg determined that "Technology is neither good nor
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bad; nor is it neutral." The tempation on observers is to decide
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that the extent of online harassment, abuse and harmful
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communications is because of the existence of online services, and
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that if only we could force the services to implement their
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technologies in a particular manner, all the problems will be
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solved.
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For instance, the United States of America recently enacted a law
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known as the "Stop Enabling Sex Traffickers Act", or
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/FOSTA-SESTA/[fn:FOSTA-SESTA:https://en.wikipedia.org/wiki/Stop_Enabling_Sex_Traffickers_Act]. This
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was a law to show that the U.S. Congress was doing something to stop
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sex-trafficking. The law made it an offence for online services to
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"knowingly [assist], [support], or [facilitate]" sex-trafficking,
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and it removed from online services speech-related protections that
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had been previously provided under another U.S. law known as the
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"Section 230 of the Communications Decency Act".
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Accounts show, however, that doing *this* was not effective, and has
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been counter-productive. As expected, a number of websites that had
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been used to legally advertise sex services in the United States
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either shut down that section of their service (e.g. Craigslists'
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"Erotic Services"), or shutdown completely[fn:SOSTAEffect:Lura
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Chamberlain, FOSTA: A Hostile Law with a Human Cost, 87 Fordham
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L. Rev. 2171 (2019). Available at:
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https://ir.lawnet.fordham.edu/flr/vol87/iss5/13]. If the goal of the
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law was to protect sex workers, and women in particular, it has had
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the opposite effect:
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- Independent sex workers now have no online means to promote their
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services, forcing them to turn to pimps for this.
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- There has been a notable increase in the number of sex workers who
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have gone missing.
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- Some sex-workers have died by suicide.
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- Assault and rape of sex workers has increased, and many fear that
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murders of sex workers are also
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increasing[fn:craigslisthomicide:http://www.econlib.org/archives/2018/01/craigslist_redu.html].
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- Sex workers have no means to learn about their potential clients
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prior to the client knowing about them: where they could vet
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people who made contact with them over these services before
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identifying themselves, this is not possible anymore, and
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dramatically increases their risk.
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- Ironically, one of the negative effects of /FOSTA-SESTA/ is that
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it is now much harder for the police to investigate rapes,
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assaults and murders of sex workers than before, because a
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critical trail of evidence -- the online communications between
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offenders and sex-workers -- now can no longer be
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laid[fn:FOSTAPolice:https://www.techdirt.com/articles/20180705/01033440176/more-police-admitting-that-fosta-sesta-has-made-it-much-more-difficult-to-catch-pimps-traffickers.shtml]. This
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is not least because the websites are no longer there, but because
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when they were (e.g. Backpage), they assisted the police
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investigating these crimes against sex workers; advertising was
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legal back then, and now it's not, the police won't get the help
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from web sites when they need
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it[fn:SESTAPolice:https://www.techdirt.com/articles/20180509/13450339810/police-realizing-that-sesta-fosta-made-their-jobs-harder-sex-traffickers-realizing-made-their-job-easier.shtml].
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This was predicted, but by advocates for sex workers and for free
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speech, and legislators failed to heed the warnings. In fact, when
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considering this law, legislators were presented with statistics
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that were false, and misrepresented the landscape prior to enacting
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/FOSTA-SESTA/[fn:buzzfeed:https://www.buzzfeednews.com/article/jennyheineman/sex-trafficking-myths-sesta-fosta].
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I highlight this law in particular because it is both recent
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(early 2018) and relevant. However it's not alone, and as we look at
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pending legislation coming to us both domestically and from the EU,
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it's hard not to see the same failures repeating:
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- Pat Rabbitte's and Lorraine Higgins' bills, since withdrawn
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- The EU Terrorism Content Directive...
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- The new Copyright Directive...
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-
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* Introduction
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* Introduction
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My name is Éibhear Ó hAnluain and I have been working in software
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My name is Éibhear Ó hAnluain and I have been working in software
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@ -1107,227 +1025,3 @@
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provision when enacted?
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provision when enacted?
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+ Answer :: This submission is not offering any answer to this
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+ Answer :: This submission is not offering any answer to this
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question.
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question.
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* CONSDONTDO Answers to consultation questions :noexport:
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** CONSTODO Strand 1 -- National Legislative Proposal
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*** CONSTODO Question 1 -- Systems
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- The legislation should state in an unequivocal manner that it is
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not the role of web services to adjudicate on whether specific
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user-uploaded pieces (text, videos, sound recordings, etc.) can
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be considered harmful under the legislation. The law should make
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it clear that where there is a controversy on this matter, the
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courts will make such rulings.
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- As regard a system, this submission would support a
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notice-counternotice-and-appeal approach. Such an approach
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affords the service operator and the accused party an
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opportunity to address the complaint before the complained-of
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material is taken offline. The following should be incorporated:
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1) A notice to a service operator that a user-uploaded piece is
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harmful should contain the following information:
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- That the notice is being raised under this legislation
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(citing section, if relevant).
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- That the person raising the notice is the harmed party, or
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that the person raising the notice is doing so on behalf,
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and at the request, of the harmed party. Where the harmed
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party doesn't want to be identified, the notice could be
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raised on their behalf by someone else. However, totally
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anonymous notifications under this legislation should not
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be permitted, as it would not be possible to determine the
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good-faith nature of the notice.
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- The specific (narrowly tailored) definition of "harmful
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content" in the legislation that is being reported.
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2) A notice to the user who uploaded the complained-of material
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regarding the complaint. This will allow the user to remove
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the material, or to challenge the complaint. An opportunity
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to challenge a complaint is necessary to forestall invalid
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complaints that seek to have information removed that would
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not be considered harmful under the legislation.
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3) Adequate time periods for both the complainant and the
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posting user to respond.
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4) Where responses aren't forthcoming...
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- ... if the posting user doesn't respond to the initial
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complaint, the posting is to be taken down
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- ... if the complaining user doesn't respond to the posting
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user's response, the posting is left up.
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5) Within a reasonable and defined period of time, the service
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provider will assess the initial complaint, the
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counter-notice, and the complainant's response to the
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counter-notice, and will decide whether to take the material
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down or to leaving it up, /citing clear reasons for the
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decision./
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6) Where either party is not happy with the decision, they can
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appeal to the regulator, and if the regulator contradicts the
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service operator's decision, the service operator must abide
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by the regulator's ruling. In its consideration of the
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ruling, the regulator must be required to consider the rights
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of both parties.
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- Responsibilities and obligations of the service provider *must*
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relate to the size of the service. For example, it's not
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reasonable to ask the service provider to respond within an
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amount of time for those services that would not have someone
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available within that time. Self-hosters or small,
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single-location, operations would not be able to respond within
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an hour if the complaint is made at 4am!
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- This system should not apply to complaints that a posting violates the service's terms and conditions. If the complaint isn't explicitly made under this legislation, it should not fall within the regulator's remit. *Under no circumstances should merely violating a service's terms and conditions (or "community standards") be considered an offence under this legislation.*
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*** CONSTODO Question 2 -- Statutory tests
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The service operator should be protected from liability under the
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rules if the service can show the following:
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- That the initial complaint was responded to appropriately and
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within a reasonable amount of time.
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- That an appeal was responded to within a reasonable amount of
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time.
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- That the poster and complainant were each offered an opportunity
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to respond
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- That the responses, and any appeals, were given due
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consideration.
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- That the final decision (whether to keep the post up or pull it
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down) was well-reasoned, and considered the context in which the
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post was made.
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- That, where appeals have been made to the regulator, the service
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responds to any order from the regulator in a reasonable manner
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and within a reasonable amount of time.
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*** CONSTODO Question 3 -- Which platforms to be considered in scope
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This submission is concerned to ensure that assumptions not be
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made that all affected platforms will be large, for-profit
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organisations with scores, or hundreds, or thousands of staff
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acting as moderators of user-uploads.
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The legislation should also not assume that platforms that want to
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deal with user uploads *should* be of a particular nature, or
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size.
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To make either assumption would be to chill lawful interactions
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between internet-connected parties, and would further entrench the
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larger players on the internet.
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*** CONSTODO Question 4 -- Definitions
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- Please see my introductory comments on this matter.
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- Definitions of "harmful content" must aim to be as narrow as
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possible, in order to avoid the potential of the legislation
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being used to target political speech.
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- In respect of serious cyberbullying, it should be considered
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harmful content under the legislation not just when it targets a
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child. It should be considered cyberbullying and harmful even if
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it is an adult, if the complaint states that s/he is being
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harmed or fears harm should the complained-of behaviour
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continue.
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+ In the event that the target of the cyberbullying is a public
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figure, there should be an additional burden on the
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complainant to state that the behaviour represents real intent
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to cause harm, and is more than people with opposing political
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or social views "shooting their mouths off".
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** CONSTODO Strand 2 -- Video Sharing Platform Services
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*** CONSTODO Question 5 -- What are video-sharing services
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This submission is not providing an answer to this question.
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*** CONSTODO Question 6 -- Relationship between Regulator and VSPS
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This submission is not providing an answer to this question.
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*** CONSTODO Question 7 -- Review by Regulator
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The regulator should require the following reports to be published
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by online services regarding complaints made under this
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legislation:
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- Number of complaints, broken down by nature of complaint
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- Number of complaints that were appealed to the service, broken
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down by nature of complaint and basis of appeal
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- Number of appeals upheld, broken down by reason for appeal
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- Number of appeals rejected, broken down by reason for rejection.
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- Number of complaints/appeals that were appealed further to the
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regulator.
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** CONSTODO Strands 3 & 4 -- Audiovisual Media Services
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*** CONSTODO Question 8 -- "Content" rules for television broadcasting and on-demand services
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This submission is not providing an answer to this question.
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*** CONSTODO Question 9 -- Funding
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RTÉ and its subsidiary services should continue to be funded by
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the government, either through the licence fee, general taxation
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or a mixture of both. RTÉ's editorial independence should be
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re-iterated in this law (and strengthened, if required,
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specifically to assure independence from the editorial demands of
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advertisers). It should be anticipated that RTÉ will eventually
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broadcast only over the internet, and that it will be both a
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live-streaming service (e.g. providing programming in a manner
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similar to it's current broadcast schedule), *and* an on-demand
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service.
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Funding of services other than RTÉ should only be considered for
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services operated by non-profit organisations such as trusts or
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charities, and such funding should also come with an assurance of
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editorial independence for the recipients.
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** CONSTODO Strands 1 & 2 -- European & International Context
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*** CONSTODO Question 10 -- Freedoms
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- Core to the consideration of the legislation is that everyone
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posting to services are presumed to be innocent of an offence,
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and their postings should also be presumed *not* to offend the
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law.
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- Accusations of harm *must* be tested to determine if they are
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being made to suppress legal speech. This is particularly true
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where the person making the allegation is a public figure, or is
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representing a public figure.
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- Where a service applies -- or is required to apply -- sanctions
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on users who repeatedly post harmful information, similar
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sanctions should also be applied to users who repeatedly make
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*false* accusations under the law.
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*** CONSTODO Question 11 -- Limited liability
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Any regulatory system that makes service providers liable for what
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their *users* say on those services will result in one or a
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combination of the following effects:
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1) Service will stop permitting users to make postings.
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2) Where the value of a service is wholly, or in part, that it
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allows its users to post to it, the service may have to shut
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down.
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3) Services will be sued or prosecuted for the actions of its
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users *regardless* of the effort and good faith they put in to
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"moderating" what is posted on their service -- a concept that
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is borderline ludicrous in the off-line world. This would be
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analogous to a car manufacturer being liable for the
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consequences of car occupants not wearing their seat-belts.
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There must be clarity in the regulations that a service is
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protected as long as it acts in a good-faith manner to deal with
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postings made by users that are determined to have been
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illegal. This reflects Ireland's obligations under various trade
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agreements to grant safe-harbour protections to internet services.
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The regulation must also protect platforms and their users against
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bad-faith accusations of harm, particularly from public
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figures. If it is easier to use an accusation of "harmful content"
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than to claim libel, public figures will use that facility to
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suppress information they would like not to be known.
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** CONSTODO Strands 1-4 -- Regulatory Structures
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*** CONSTODO Question 12 -- Regulatory structure
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This submission is not providing an answer to this question.
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*** CONSTODO Question 13 -- Funding of regulatory structure
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This submission is not providing an answer to this question.
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** CONSTODO Strands 1 & 2 -- Sanctions/Powers
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*** CONSTODO Question 14 -- Functions and powers
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This submission is not providing an answer to this question.
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*** CONSTODO Question 15 -- Sanctions
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The following should be taken into account when considering
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sanctions on platforms
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- The nature of the operation
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+ Large, global, profit-based private organisations providing
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services to the general population. (examples include YouTube,
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Facebook, Twitter).
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+ Smaller, local, profit-based private organisations providing
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services to the general population, focused on the region
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(examples might include boards.ie, everymum.ie, etc.)
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+ Small, non-profit forums set up by locally-based and -focused
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organisations such as soccer clubs, or school parents'
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associations[fn:useFacebook:There is often the temptation to
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advise these organisations to use larger platforms like
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Facebook or Google. Some organisations may not want to avail
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of those services, and the reasons for this are not
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relevant. What's important is that deciding not to use these
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platforms is valid, and these decisions should be protected
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and encouraged, not inhibited.]
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+ Individuals, hosting their own platforms.
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- The good-faith efforts of the operation to respond to
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accusations of harm.
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- The capacity of the service to respond -- smaller operations
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can't afford 24-hour monitoring to respond to such accusations,
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and the law should not require it. Such services should be able
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to avail of bad-faith actors seeking to interfere with their
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operations by overwhelming them with false accusations of harm
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that need to be dealt with.
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- Who the accuser is -- public figures should be prevented from
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using accusations of "harmful content" to remove information
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that is merely critical of them or their behaviour.
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*** CONSTODO Question 16 -- Thresholds
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This submission is not providing an answer to this question.
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#+date: \today
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#+TITLE: /FOSTA/SESTA/ Rant
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#+AUTHOR: Éibhear Ó hAnluain
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#+EMAIL: eibhear.geo@gmail.com, 086 8565 666, http://www.gibiris.org/eo-blog/
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#+OPTIONS: ^:{} toc:nil H:4 num:t author:t email:nil
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#+TODO: CONSTODO CONSNOTES | CONSDONE CONSDONTDO
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* CONSTODO The distinction between user behaviours and online services :noexport:
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The internet is awash with online harassment and harmful
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communications, and responsible governments and legislators have
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been trying for decades to do something about it.
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However, it's no less true in this sphere than in any other that
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"doing something" is not necessarily enough to address the problem:
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doing only the /right thing/ it what's required.
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In the first of his 6 Laws of
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Technology[fn:6laws:https://en.wikipedia.org/wiki/Melvin_Kranzberg#Kranzberg's_laws_of_technology],
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Dr. Melvin Kranzberg determined that "Technology is neither good nor
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bad; nor is it neutral." The tempation on observers is to decide
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that the extent of online harassment, abuse and harmful
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communications is because of the existence of online services, and
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that if only we could force the services to implement their
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technologies in a particular manner, all the problems will be
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solved.
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For instance, the United States of America recently enacted a law
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known as the "Stop Enabling Sex Traffickers Act", or
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/FOSTA-SESTA/[fn:FOSTA-SESTA:https://en.wikipedia.org/wiki/Stop_Enabling_Sex_Traffickers_Act]. This
|
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|
was a law to show that the U.S. Congress was doing something to stop
|
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sex-trafficking. The law made it an offence for online services to
|
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"knowingly [assist], [support], or [facilitate]" sex-trafficking,
|
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and it removed from online services speech-related protections that
|
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|
had been previously provided under another U.S. law known as the
|
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"Section 230 of the Communications Decency Act".
|
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|
||||||
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Accounts show, however, that doing *this* was not effective, and has
|
||||||
|
been counter-productive. As expected, a number of websites that had
|
||||||
|
been used to legally advertise sex services in the United States
|
||||||
|
either shut down that section of their service (e.g. Craigslists'
|
||||||
|
"Erotic Services"), or shutdown completely[fn:SOSTAEffect:Lura
|
||||||
|
Chamberlain, FOSTA: A Hostile Law with a Human Cost, 87 Fordham
|
||||||
|
L. Rev. 2171 (2019). Available at:
|
||||||
|
https://ir.lawnet.fordham.edu/flr/vol87/iss5/13]. If the goal of the
|
||||||
|
law was to protect sex workers, and women in particular, it has had
|
||||||
|
the opposite effect:
|
||||||
|
- Independent sex workers now have no online means to promote their
|
||||||
|
services, forcing them to turn to pimps for this.
|
||||||
|
- There has been a notable increase in the number of sex workers who
|
||||||
|
have gone missing.
|
||||||
|
- Some sex-workers have died by suicide.
|
||||||
|
- Assault and rape of sex workers has increased, and many fear that
|
||||||
|
murders of sex workers are also
|
||||||
|
increasing[fn:craigslisthomicide:http://www.econlib.org/archives/2018/01/craigslist_redu.html].
|
||||||
|
- Sex workers have no means to learn about their potential clients
|
||||||
|
prior to the client knowing about them: where they could vet
|
||||||
|
people who made contact with them over these services before
|
||||||
|
identifying themselves, this is not possible anymore, and
|
||||||
|
dramatically increases their risk.
|
||||||
|
- Ironically, one of the negative effects of /FOSTA-SESTA/ is that
|
||||||
|
it is now much harder for the police to investigate rapes,
|
||||||
|
assaults and murders of sex workers than before, because a
|
||||||
|
critical trail of evidence -- the online communications between
|
||||||
|
offenders and sex-workers -- now can no longer be
|
||||||
|
laid[fn:FOSTAPolice:https://www.techdirt.com/articles/20180705/01033440176/more-police-admitting-that-fosta-sesta-has-made-it-much-more-difficult-to-catch-pimps-traffickers.shtml]. This
|
||||||
|
is not least because the websites are no longer there, but because
|
||||||
|
when they were (e.g. Backpage), they assisted the police
|
||||||
|
investigating these crimes against sex workers; advertising was
|
||||||
|
legal back then, and now it's not, the police won't get the help
|
||||||
|
from web sites when they need
|
||||||
|
it[fn:SESTAPolice:https://www.techdirt.com/articles/20180509/13450339810/police-realizing-that-sesta-fosta-made-their-jobs-harder-sex-traffickers-realizing-made-their-job-easier.shtml].
|
||||||
|
|
||||||
|
|
||||||
|
This was predicted, but by advocates for sex workers and for free
|
||||||
|
speech, and legislators failed to heed the warnings. In fact, when
|
||||||
|
considering this law, legislators were presented with statistics
|
||||||
|
that were false, and misrepresented the landscape prior to enacting
|
||||||
|
/FOSTA-SESTA/[fn:buzzfeed:https://www.buzzfeednews.com/article/jennyheineman/sex-trafficking-myths-sesta-fosta].
|
||||||
|
|
||||||
|
I highlight this law in particular because it is both recent
|
||||||
|
(early 2018) and relevant. However it's not alone, and as we look at
|
||||||
|
pending legislation coming to us both domestically and from the EU,
|
||||||
|
it's hard not to see the same failures repeating:
|
||||||
|
- Pat Rabbitte's and Lorraine Higgins' bills, since withdrawn
|
||||||
|
- The EU Terrorism Content Directive...
|
||||||
|
- The new Copyright Directive...
|
||||||
|
-
|
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Reference in a new issue