Ransomware Hackers Demand $70 Million In Bitcoin

There is nothing glorious about this story. This is all too common. We believe the FBI and NSA should pay close attention to the operators of Complaintsboard.com. They are not an innocent bystander nor are their activities online scrupulously clean. UA-6753034-2 | pub-7643816519439245 .

A group of Russian-speaking hackers have claimed responsibility for a massive ransomware attack over the holiday weekend that hit 200 U.S. firms and hundreds more worldwide, with the group demanding $70 million in bitcoin to restore the companies’ data in the latest debilitating cyberattack to hit the U.S. this year. 

Source: Forbes

Alec Difrawi Scum Attorney Thomas A Sadaka Disbarred

This comes as no surprised to me and others who Mr. Sadaka aggressively filed false complaints leveraging his past experienced as a State Prosecutor with the Ninth Circuit of Orange County.

Sadaka was fully aware of the scam and had knowledge of the FTC investigations as he continue to file multiple false cases before the courts.

Member Profile

Thomas Sadaka <tom@sadakalaw.com>Mar 12, 2015, 5:15 AM
to me

Anything that you were to be served with you were served. I’m not required to serve you with a request for a certified or exemplified copy of a judgment. 

Sent from my iPhone please excuse any typographical errors. 
On Mar 11, 2015, at 10:38 PM, scamFRAUDalert <scamfraudalert@gmail.com> wrote:

The question is, why did you not ensure that copies were send to me initially?
On Tue, Mar 10, 2015 at 3:39 PM, Thomas Sadaka <tom@sadakalaw.com> wrote:

There was no document attached.  I have gone to the ePortal and pulled some of the other documents that were filed by co-counsel Attorney Braeley.  The notice of filing and the exhibits are attached.  I’ve also attached the one “exemplified certificate” that I could pull.   

Thomas A. Sadaka, LL.M.

Sadaka Law Group, PLC
1701 Park Center Drive
Orlando, FL 32835
407-278-5728

Sadaka Law Group, PLC
1420 Celebration Blvd, Suite 200
Celebration, FL 34747
407-566-2110

IRS Circular 230 Disclosure: Please note that the views expressed herein or in any attachments hereto are not intended

On March 6, 2015 at 6:08 PM scamFRAUDalert <scamfraudalert@gmail.com> wrote:Mr. Sadaka:
The attached document was not provided me in your attached Exhibits. provided me. I do not have a copy of Exhibit 4.  Again, I can not determine if you are being truthful or not. I will need  the Clerk stamped copies of documents to appropriately response to your Order to show Cause.
You’ve stated :

” I am not asking the Court to hold you accountable for things that are beyond your control.  The posting I have referenced in my most recent Motion for Order to Show Cause, and forwarded as exhibits, are posted directly on sites that you own and are under your control.”

Yet you have not provided the Court with the WhoIs information to show that I have ownership of websites you claimed to have posting referencing your client. 
I am going to make it crystal clear to you, I am going to need from you  going forward on all communication you submit to the Court to provide me with a stamped copy of your submission so that there is no discrepancies between what you say or provide me.
Please provide me with copies of Exhibit 4.
Thank you for your cooperation.
Respectfully,

Archie Garga-Richardson dba scamFRAUDalert

Your cooperation would be greatly appreciated.
On Fri, Mar 6, 2015 at 10:05 AM, Thomas Sadaka <tom@sadakalaw.com> wrote:

Mr. Garga-Richardson,

I am not asking the Court to hold you accountable for things that are beyond your control.  The posting I have referenced in my most recent Motion for Order to Show Cause, and forwarded as exhibits, are posted directly on sites that you own and are under your control.  A perfect example is reflected in the attached document.  The requested remove these posts is not an unreasonable one.  Take them down and we can then address the Order to Show Cause.  If you recall the hearing in front of Judge Wallis, I made the same request.  The posts that the Judge referenced and were further discussed during the “Agreed Order” conversation were ones that appear to have been reposts of your own posts.  The Agreed Order would have allowed for a deindexing of those URLs from search results.  I am still in a position to be able to afford you the opportunity to cooperate in the formation of that Agreed Order as well.

I will not be sending you copies of the requests for exemplified copies as there is no document.  There is no pleading that was filed.  There was a request made of the Clerk for an exemplified copy of the final judgment, and the Clerk provided same.

You are also welcome to contact the Clerk’s office to determine if you are eligible for the electronic filing service that will also give you access to all of the pleadings filed in this matter since its inception. 

Thomas A. Sadaka, LL.M.

Sadaka Law Group, PLC
1701 Park Center Drive
Orlando, FL 32835
407-278-5728

Sadaka Law Group, PLC
1420 Celebration Blvd, Suite 200
Celebration, FL 34747
407-566-2110

On March 6, 2015 at 12:07 PM scamFRAUDalert < scamfraudalert@gmail.com> wrote:Dear Sadaka:
I did not expect your recollection to mirror mine. No surprises here. However, you do remembered that Judge Rand Wallis vacated his Contempt/Enforcement Order asking us to fashion some sort of agreement that would accommodate you and your client? 


I too do not play games. Based on my experienced in dealing with your client, he provides you and other Attorneys with fraudulent documents for filing in Court. Again, please provide me with all documents requested pursuant to Fla. Code of Civil Procedures 1.080 as requested Court certified copies. There are documents on the Court docket filed since  2014 which I do not have copies.


As Compliance Officer of Softrock, Inc., you have repeatedly use the word “urls” attributing these “urls” to me without educating the Court as to the difference between “urls”  and”  website addresses (domains).” What you and your client seek to have the Court hold me accountable for are web addresses/domains most of which are entirely not mine and a handful of 4 domains which have postings/urls the Court order removed. Those postings/urls have since been removed. The Court have already ruled on those postings/urls. 


I again have reach out to you and requesting that you provide me with all documents submitted to the Court.
Your cooperation would be greatly appreciated.

Sincerely,

Archie Garga-Richardson |PO Box 10294 |Glendale, CA 91209| 

On Wed, Mar 4, 2015 at 8:15 PM, Thomas Sadaka <tom@sadakalaw.com> wrote:
We have differing “recollections” of the last hearing.  Regardless, this hearing is based upon URLs that are attributed directly to you.  They are on sites that you own and control.  I do not play games.  If you are willing to remove the postings than so say, otherwise we will leave it to the Judge to decide.
I have provided you with the operative pleading which is the Amended Motion for Order (amended as to exhibit numbers) and the attached exhibits.  The references to the exemplified documents were for a certified copy of the final judgment that will be used to levy on your Trademarks and your domain names.  You are already in possession of the Final Judgment.


From: scamFRAUDalert < scamfraudalert@gmail.com>
Date: Wednesday, March 4, 2015 at 10:05 PM
To: Thomas Sadaka < tom@sadakalaw.com>
Subject: Re: Fwd: Non-Delivery of Motion To Show Cause

Mr. Sadaka:
Thank you for providing me with a copy of the Motion for Order filed 11/14/15. The copy  motion emailed me is incomplete.  At our last hearing on April 30, 2013 where I was represented by Counsel, there appears to be discrepancies between documents send me and those submitted to the Court. To ensure that these documents are the same, I would appreciate and like to have from you a stamped copy of documents filed with the Court.
I have not received copies of the following documents filed per the Court docket.10/10/2014 – Correspondence: re Exemp FJ10/14/2014 –  Exemplified Certificate Issued & sent to Judge11/14/2014 – Amended Motion for Order11/14/2014 – Amended Motion for Order  Second02/19/2015 – All Exhibits In Support of Order To Show Cause
My recollection of our last hearing, not sure if date was April 30 or June 10, 2013 is as follows:

  1. Judge Rand Willis denied  Motion For Contempt/Enforcement on grounds that Plaintiffs could not substantiate the urls/postings presented to the Court were that of (Defendant).
  2. Plaintiffs “witness” admitted in Court he was totally unaware that urls presented to the Courts were “”fraudulent” since the urls/postings were complied and supplied to Counsel by Plaintiffs employee. Plaintiffs witness also admitted that he was unaware that postings online can easily be copied and easilyre-post where about online.
  3. You also stated that postings on “Ripoffreport” not attributed to the Defendant could not be remove since Ripoffreport have a policy of non removal of posts.
  4. You also asked the Court for mercy if the Court would entertained and facilitate assisting Plaintiffs in removing all urls/postings online relating to your client by issuing an Court Order attributing  urls/postings to Defendant provided both Plaintiffs and Defendant agreed to go along.
  5. Judge Willis agreed and said he would signed such agreement if both parties could fashion some sort of agreement aiding in the removal of urls/postings online not attributed to the Defendant for which your client seek removal.
  6. Defendant position is not to assist or aid in any removal of urls/postings online relating to your client since he is not responsible for those urls/postings. That  your client business practices have resulted in these postings. 
  7. You did not present to the Court any evidence which showed  posting of those urls /domain names belong to the Defendant or were made by the Defendant. 
  8. Your client attempted to seek an Contempt of Court proceeding in California by way of the Debtor/Creditor examination hearing again by filing “fraudulent” documents was denied. The Glendale California rejected such filings comfortable to Judge Rand Willis of the Ninth Judicial Circuit.

The issued of urls/postings and domain names on the internet which you are seeking the aids of the Court from removal by the Defendant have been ruled upon both in Florida and California. 
Please tell me if my recollection of events is differ from what you understand Judge Willis ruling to be.
Your cooperation would be greatly appreciated.

Sincerely,
Archie Garga-Richardson /scamFRAUDalert
On Tue, Mar 3, 2015 at 8:45 AM, Thomas Sadaka <tom@sadakalaw.com> wrote:

Mr. Garga-Richardson,

Thank you for your email and your request to “Please provide me with copies and the offending urls so that I can comply to the Court order.”  Please provide me a list of all sites that you have published information about Alec Difrawi, Edward Bell, and all companies you have attributed to Alec on your various web-sites.  With confirmation of the posts and their removal, we can ask the Court to withdraw the Order to Show Cause.

As you know from our last hearing, all the Plaintiff’s are seeking is your compliance with the Final Judgment and Orders that have been entered in this case.

Sincerely,

Thomas A. Sadaka, LL.M.

Sadaka Law Group, PLC
1701 Park Center Drive
Orlando, FL 32835
407-278-5728

Sadaka Law Group, PLC
1420 Celebration Blvd, Suite 200
Celebration, FL 34747
407-566-2110

——— Forwarded message ———-
From: scamFRAUDalert <scamfraudalert@gmail.com>
Date: Thu, Feb 26, 2015 at 4:02 AM
Subject: Non-Delivery of Motion To Show Cause
To: Thomas Sadaka < tom@nejamelaw.com>

NeJame, LaFay, Jancha, Ahmed, Barker, Joshi & Moreno, P.A.189 South Orange Avenue , Suite 1800Orlando, FL 32801Phone: 407-245-1232
Fax: 407-245-2980
tom@nejamelaw.com

Attention: Thomas Sadaka
Dear Mr. Sadaka:
It has come to my attention that Circuit Court Judge Kest has issued an order requesting my appearance before the Court on March 13, 2015 on what I believe is a Motion to Show Cause. To date, I have not received a copy of your Motion or a copy of the Judge Kest ordered.
Please provide me with copies and the offending urls so that I can comply to the Court order.
Your cooperation would be greatly appreciated.

Respectfully,

Archie Garga-Richardson

PO Box 10294Glendale, CA 91209

Attorney Myra P. Nicholson Offered Representing Alec Difrawi aka Gigats aka Expand, Inc. aka EducationMatch.com

from: Myra Nicholson – myra@mnicholson-law.com
to: ScamFraudAlert scamfraudalert@gmail.com
date: Thu, Oct 6, 2011 at 7:50 AM
Subject: Potential Settlement
Important mainly because of the people in the conversation.
hide details 7:50 AM (16 minutes ago)


Good morning Mr. Garga-Richardson –

I hope you and I can finally resolve this issue to be mutually agreeable to both parties and to help consumers. Just to outline the direction I would like to see (we can go over details if everyone is comfortable with the general premise).

My client would

  1. Agree to post information prominently on the site that the site is advertising based and many offers on the site (if accepted would lead to communication from advertisers)*
  2. Agree to hire you as a consumer advocate consultant and work with you to constantly improve the experience for the users. Our standard rate for outside consultants is $85/hour
  3. Address any complaints from users you have received and work to satisfy the users concerns.
  4. Drop all current litigation against you or any of your companies.

You would

  1. Remove negative information from sites and posts you have control over.
  2. Agree not to post additional negative allegations or information so long as my client is complying with terms of our agreement.
  3. Work with my client in helping them insure their user process is transparent and beneficial to consumers and users.

I look forward to hearing from you.

Regards,

Myra Nicholson

https://casetext.com/brief/career-network-inc-et-al-v-wot-services-ltd-et-al_motion-to-substitute-party-defendants-and-to-file-amended-complaint


From: ScamFraudAlert [mailto:scamfraudalert@gmail.com]
Sent: Tuesday, October 04, 2011 6:48 AM
To: Myra Nicholson
Subject: Fwd: CSI Inquiry – 41169 [ttid: 1006,48597]

Dear Ms. Nicholson:

Thank you for responding to my emails. As the Court have instructed us to seek mediation which is require by Florida Law, I am looking forward to working with your client to put in PLACE a system where your client and I can exchange emails as I have been communicating with careerbuilder.com and monster.com. A copy of my communication with careerbuilder is forwarded below.

As I have said along, ScamFraudAlert.com position is as follows:

However, this is a starting point to reach some resolutions.

  • That your client put in place measures that would protect and safeguard job seekers against misrepresentation and deceptive advertising.
  • That a disclaimer be put on all web pages which your client advertise on that inform job seekers the position he/she is about to apply for is an advertisement for career education training. Such disclaimer be visible and not hidden.
  • That all job seeker be given the option to opt out of any career education training solicitations.
  • This is our position and we hold this steadfast. Monitoring of your client business practices online is on going due to the nature of the work we do at ScamFraudAlert.com.

We are open to listen to your proposals.

Thank you for your time and I look forward to working with you.

Cordially,

Owner, scamFRAUDalert
Consumer Protection | Cyber-crime Awareness

_______________________________________________________________________________________

FYI…. Careerbuilder never initiated any lawsuit against scamFRAUDalert or any bloggers. Instead, careerbuilder and other job search board listen to what consumers were complaining about and implemented safe guards to protect job seekers.

———- Forwarded message ———-
From: Site Integrity SiteIntegrity@careerbuilder.com
Date: Tue, May 23, 2006 at 1:32 PM
Subject: CSI Inquiry – 41169 [ttid: 1006,48597]
To: TTRecorder TTRecorder@careerbuilder.com, ScamFraudAlert scamfraudalert@gmail.com

Dear Archie,

Thank you for contacting Careerbuilder.com. We appreciate you sending us this information. We are dedicated to removing fraudulent companies from our website and we rely on the help of our customers to do so.

At this time, we have removed the jobs posted by T-T-T Inc from our site and are currently working to ensure that this company will not have the ability to use any of the products and services on our website. In appropriate cases, we will also share information with the FBI, Secret Service, and local law enforcement agencies across the country to further combat this type of fraudulent activity.

Thanks for your help! If you have any additional questions or comments, please let us know. We are available by email at csi@careerbuilder.com or by phone at 1-866-438-1485, 8:00 am to 9:00 pm EST, Monday through Friday.

Heather Blythe / Site Integrity Team

CareerBuilder.com I The Smarter Way to Find a Better Candidate!

866.438.1485 I Customer Service
http://www.ic3.gov | FBI Internet Crime Complaint Center

Learn how to better protect yourself online! Learn about common scams and how to avoid becoming a victim on CareerBuilder’s Fighting

WhoIs liveinhomecare.com? aka trafficplanethosting.com

To Whom This May Concern:

My name is Archie Garga-Richardson and I own the trademark scam FRAUD alert.  I am contacting you regarding an article which includes the words scam /fraud alert. Link is below:
https://uspto.report/TM/90723980
https://www.liveinhomecare.com/elderly-scam-fraud-alert-june-2021/fraud-scams/

Please remove the word SCAM FRAUD ALERT from your article and all other articles you have written or published on behalf of your clients or yourself as these articles include the words scam FRAUD alert infringe on my trademark. If you are a content creator, please cease and desist from using scam fraud alerts in any shape or form in any of your publications on any platforms you own, operate or are affiliated with.

Should you disregard this request, I will have no choice but to take LEGAL actions against ALL publications you are affiliated with, including the domain registrar and host for trademark infringements.

Your cooperation would be greatly appreciated.

Owner, scamFRAUDalert

_______________________________________________________________________________________

Address lookup
canonical name:https://liveinhomecare.com

aliases
addresses:194.1.147.85
194.1.147.70
Domain Whois record
Queried whois.internic.net with “dom liveinhomecare.com”…

Domain Name: LIVEINHOMECARE.COM
Registry Domain ID: 18751001_DOMAIN_COM-VRSN
Registrar WHOIS Server: whois.godaddy.com
Registrar URL: http://www.godaddy.com
Updated Date: 2021-01-26T18:47:23Z
Creation Date: 2000-01-31T13:30:13Z
Registry Expiry Date: 2026-01-31T13:30:13Z
Registrar: GoDaddy.com, LLC
Registrar IANA ID: 146
Registrar Abuse Contact Email: abuse@godaddy.com
Registrar Abuse Contact Phone: 480-624-2505
Domain Status: clientDeleteProhibited https://icann.org/epp#clientDeleteProhibited
Domain Status: clientRenewProhibited https://icann.org/epp#clientRenewProhibited
Domain Status: clientTransferProhibited https://icann.org/epp#clientTransferProhibited
Domain Status: clientUpdateProhibited https://icann.org/epp#clientUpdateProhibited


Name Server: NS40.WPXHOSTING.COM
Name Server: NS41.WPXHOSTING.COM
DNSSEC: unsigned

URL of the ICANN Whois Inaccuracy Complaint Form: https://www.icann.org/wicf/
Last update of whois database: 2021-08-01T22:29:43Z <<<
Queried whois.godaddy.com with “liveinhomecare.com”…

Domain Name: liveinhomecare.com
Registry Domain ID: 18751001_DOMAIN_COM-VRSN
Registrar WHOIS Server: whois.godaddy.com
Registrar URL: http://www.godaddy.com
Updated Date: 2021-01-26T11:47:22Z
Creation Date: 2000-01-31T08:30:13Z
Registrar Registration Expiration Date: 2026-01-31T08:30:13Z
Registrar: GoDaddy.com, LLC
Registrar IANA ID: 146
Registrar Abuse Contact Email: abuse@godaddy.com
Registrar Abuse Contact Phone: +1.4806242505
Domain Status: clientTransferProhibited http://www.icann.org/epp#clientTransferProhibited
Domain Status: clientUpdateProhibited http://www.icann.org/epp#clientUpdateProhibited
Domain Status: clientRenewProhibited http://www.icann.org/epp#clientRenewProhibited
Domain Status: clientDeleteProhibited http://www.icann.org/epp#clientDeleteProhibited
Registrant Organization:
Registrant State/Province: Connecticut
Registrant Country: US
Registrant Email: Select Contact Domain Holder link at https://www.godaddy.com/whois/results.aspx?domain=liveinhomecare.com

Tech Email: Select Contact Domain Holder link at https://www.godaddy.com/whois/results.aspx?domain=liveinhomecare.com
Admin Email: Select Contact Domain Holder link at https://www.godaddy.com/whois/results.aspx?domain=liveinhomecare.com


Name Server: NS40.WPXHOSTING.COM
Name Server: NS41.WPXHOSTING.COM

DNSSEC: unsigned
URL of the ICANN WHOIS Data Problem Reporting System: http://wdprs.internic.net/
Last update of WHOIS database: 2021-08-01T22:29:59Z

For more information on Whois status codes, please visit https://www.icann.org/resources/pages/epp-status-codes-2014-06-16-en

Information related to ‘194.1.147.0 – 194.1.147.255’
Abuse contact for ‘194.1.147.0 – 194.1.147.255’ is ‘abuse@wpxhosting.com’

inetnum: 194.1.147.0 – 194.1.147.255
netname: K-MEDIA-TECH
country: BG
org: ORG-WH23-RIPE
admin-c: AT14758-RIPE
tech-c: AT14758-RIPE
geoloc: 41.881832 -87.623177
status: ASSIGNED PI
mnt-by: RIPE-NCC-END-MNT
mnt-by: WPXHOSTING-MNT
mnt-routes: WPXHOSTING-MNT
mnt-domains: WPXHOSTING-MNT
created: 2007-02-09T14:44:55Z
last-modified: 2018-10-11T09:15:59Z
source: RIPE
sponsoring-org: ORG-NCSI1-RIPE

organisation: ORG-WH23-RIPE
org-name: K Media Tech Ltd.
org-type: OTHER
address: Solunska 27, Sofia, Bulgaria
e-mail: ripe@wpxhosting.com
abuse-c: ACRO17053-RIPE
mnt-ref: WPXHOSTING-MNT
mnt-by: WPXHOSTING-MNT
created: 2018-06-13T14:41:04Z
last-modified: 2018-06-27T10:34:12Z
source: RIPE

person: Georgi Petrov
address: Solunska 27, Sofia, Bulgaria
phone: +359-898-540425
nic-hdl: AT14758-RIPE
mnt-by: WPXHOSTING-MNT
created: 2018-06-13T14:22:32Z
last-modified: 2018-06-27T10:35:00Z
source: RIPE

% Information related to ‘194.1.147.0/24AS210250’

route: 194.1.147.0/24
origin: AS210250
mnt-by: WPXHOSTING-MNT
created: 2018-10-08T12:56:43Z
last-modified: 2018-10-08T12:56:43Z
source: RIPE

This query was served by the RIPE Database Query Service version 1.101 (HEREFORD)
DNS records
name class type data time to live
http://www.liveinhomecare.com IN A 194.1.147.85 600s (00:10:00)
http://www.liveinhomecare.com IN A 194.1.147.70 600s (00:10:00)
liveinhomecare.com IN A 194.1.147.85 600s (00:10:00)
liveinhomecare.com IN A 194.1.147.70 600s (00:10:00)
liveinhomecare.com IN MX
preference: 5
exchange: mail.liveinhomecare.com
38400s (10:40:00)
liveinhomecare.com IN NS ns40.wpxhosting.com 38400s (10:40:00)
liveinhomecare.com IN NS ns41.wpxhosting.com 38400s (10:40:00)
liveinhomecare.com IN TXT v=spf1 a mx a:liveinhomecare.com ip4:67.202.92.17 ?all 38400s (10:40:00)
liveinhomecare.com IN SOA


server: ns40.wpxhosting.com
email: root@s17.wpxhosting.com
serial: 1560214169
refresh: 10800
retry: 3600
expire: 604800
minimum ttl: 38400
38400s (10:40:00)
85.147.1.194.in-addr.arpa IN PTR wpx.net 38400s (10:40:00)
147.1.194.in-addr.arpa IN NS ns1.wpxhosting.com 38400s (10:40:00)
147.1.194.in-addr.arpa IN NS ns2.wpxhosting.com 38400s (10:40:00)
147.1.194.in-addr.arpa IN SOA
server: ns1.wpxhosting.com
email: root@v1.trafficplanethosting.com
serial: 1612276993
refresh: 10800
retry: 3600
expire: 604800

_____________________________________________

Address lookup
canonical name:trafficplanethosting.com
aliases
addresses: 67.202.92.65
Domain Whois record
Queried whois.internic.net with “dom trafficplanethosting.com”…

Domain Name: TRAFFICPLANETHOSTING.COM
Registry Domain ID: 1813037476_DOMAIN_COM-VRSN
Registrar WHOIS Server: whois.namecheap.com
Registrar URL: http://www.namecheap.com
Updated Date: 2021-01-04T10:05:30Z
Creation Date: 2013-07-05T11:43:00Z
Registry Expiry Date: 2024-07-05T11:43:00Z
Registrar: NameCheap, Inc.
Registrar IANA ID: 1068
Registrar Abuse Contact Email: abuse@namecheap.com
Registrar Abuse Contact Phone: +1.6613102107
Domain Status: clientTransferProhibited https://icann.org/epp#clientTransferProhibited


Name Server: NS1.TRAFFICPLANETHOSTING.COM
Name Server: NS2.TRAFFICPLANETHOSTING.COM

DNSSEC: unsigned
URL of the ICANN Whois Inaccuracy Complaint Form: https://www.icann.org/wicf/

Last update of whois database: 2021-08-01T22:51:04Z <<<
Queried whois.namecheap.com with “trafficplanethosting.com”…

Domain name: trafficplanethosting.com
Registry Domain ID: 1813037476_DOMAIN_COM-VRSN
Registrar WHOIS Server: whois.namecheap.com
Registrar URL: http://www.namecheap.com

Updated Date: 2021-01-04T10:05:30.91Z
Creation Date: 2013-07-05T11:43:00.00Z
Registrar Registration Expiration Date: 2024-07-05T11:43:00.00Z
Registrar: NAMECHEAP INC
Registrar IANA ID: 1068
Registrar Abuse Contact Email: abuse@namecheap.com
Registrar Abuse Contact Phone: +1.6613102107
Reseller: NAMECHEAP INC

Domain Status: clientTransferProhibited https://icann.org/epp#clientTransferProhibited
Registry Registrant ID:
Registrant Name: Withheld for Privacy Purposes
Registrant Organization: Privacy service provided by Withheld for Privacy ehf
Registrant Street: Kalkofnsvegur 2
Registrant City: Reykjavik
Registrant State/Province: Capital Region
Registrant Postal Code: 101
Registrant Country: IS
Registrant Phone: +354.4212434
Registrant Email: 4e54e462905a4052af5fbe85f8093bb6.protect@withheldforprivacy.com

Registry Admin ID:
Admin Name: Withheld for Privacy Purposes
Admin Organization: Privacy service provided by Withheld for Privacy ehf
Admin Street: Kalkofnsvegur 2
Admin City: Reykjavik
Admin State/Province: Capital Region
Admin Postal Code: 101
Admin Country: IS
Admin Phone: +354.4212434
Admin Email: 4e54e462905a4052af5fbe85f8093bb6.protect@withheldforprivacy.com

Registry Tech ID:
Tech Name: Withheld for Privacy Purposes
Tech Organization: Privacy service provided by Withheld for Privacy ehf
Tech Street: Kalkofnsvegur 2
Tech City: Reykjavik
Tech State/Province: Capital Region
Tech Postal Code: 101
Tech Country: IS
Tech Phone: +354.4212434
Tech Email: 4e54e462905a4052af5fbe85f8093bb6.protect@withheldforprivacy.com

Name Server: ns1.trafficplanethosting.com
Name Server: ns2.trafficplanethosting.com
DNSSEC: unsigned
URL of the ICANN WHOIS Data Problem Reporting System: http://wdprs.internic.net/

Last update of WHOIS database: 2021-08-01T13:51:18.31Z <<<
Network Whois record
Queried whois.arin.net with “n ! NET-67-202-92-0-1″…

NetRange: 67.202.92.0 – 67.202.92.255
CIDR: 67.202.92.0/24
NetName: TPH-1
NetHandle: NET-67-202-92-0-1
Parent: STEADFAST-3 (NET-67-202-64-0-1)
NetType: Reassigned
OriginAS: AS32748
Customer: Traffic Planet Hosting, LLC (C06169956)
RegDate: 2016-07-13
Updated: 2016-07-13
Ref: https://rdap.arin.net/registry/ip/67.202.92.0

CustName: Traffic Planet Hosting, LLC
Address: Solunska 27
City: Sofia
StateProv: SOFIA
PostalCode: 1000
Country: BG
RegDate: 2016-07-13
Updated: 2016-08-11
Ref: https://rdap.arin.net/registry/entity/C06169956

OrgTechHandle: NOG3-ARIN
OrgTechName: Steadfast Networks Network Operations Center
OrgTechPhone: +1-312-602-2689
OrgTechEmail: noc@steadfast.net
OrgTechRef: https://rdap.arin.net/registry/entity/NOG3-ARIN

OrgAbuseHandle: ABUSE959-ARIN
OrgAbuseName: Steadfast Networks Abuse Department
OrgAbusePhone: +1-312-602-2688
OrgAbuseEmail: abuse@steadfast.net
OrgAbuseRef: https://rdap.arin.net/registry/entity/ABUSE959-ARIN

OrgNOCHandle: NOG3-ARIN
OrgNOCName: Steadfast Networks Network Operations Center
OrgNOCPhone: +1-312-602-2689
OrgNOCEmail: noc@steadfast.net
OrgNOCRef: https://rdap.arin.net/registry/entity/NOG3-ARIN
DNS records
name class type data time to live
trafficplanethosting.com IN A 67.202.92.65 38400s (10:40:00)
trafficplanethosting.com IN MX
preference: 5
exchange: mail.trafficplanethosting.com
38400s (10:40:00)


trafficplanethosting.com IN NS ns1.trafficplanethosting.com 38400s (10:40:00)
trafficplanethosting.com IN NS ns2.trafficplanethosting.com 38400s (10:40:00)


trafficplanethosting.com IN TXT v=spf1 a mx a:trafficplanethosting.com ip4:67.202.92.66 ~all 38400s (10:40:00)
trafficplanethosting.com IN SOA
server: ns1.trafficplanethosting.com
email: root@v1.trafficplanethosting.com
serial: 1425548026
refresh: 10800
retry: 3600
expire: 604800
minimum ttl: 38400
38400s (10:40:00)
65.92.202.67.in-addr.arpa IN PTR v1.trafficplanethosting.com 86400s (1.00:00:00)
92.202.67.in-addr.arpa IN SOA

server: r0.steadfastdns.net
email: root@steadfast.net


serial: 2021070700
refresh: 14400
retry: 7200
expire: 3600000
minimum ttl: 86400
86400s (1.00:00:00)
92.202.67.in-addr.arpa IN NS ra.steadfastdns.net 86400s (1.00:00:00)
92.202.67.in-addr.arpa IN NS rb.steadfastdns.net