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The design of a 21st Century Digital Network is defined by contract. The lynchpin in the design of a 21st Century Digital Network is a set of nine uniform contractual licensing agreements ("TTS CLAs") which serve to bind any business organization in each of four TTS Primary Network Component Classes ("PNCCs"; or "PNC Classes"). PNC Class One is Hardware, PNCC Two is Operating System, PNCC Three is Information Carrier, and Class Four is Network Administrator. Upon ratification of the TTS CLAs by the four PNCCs an independent 21st Century Digital Network is enabled to serve consumers and private enterprise alike for processing and transmission of Copyrighted, Trademarked, and financial data using the Internet backbone in accordance with United States governance.

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* The Uniform TTS CLAs exist for one purpose alone: to uphold the integrity of any Trademarked or Copyrighted data processed or transmitted on the 21st Century Digital Network.

 

*Multiple 21st Century Digital networks simultaneously co-exist. Each network is enabled and marketed by a set of four PNCCs. No network can function without each of the four Primary Network Component Class equivalents. Upon ratification of nine TTS CLAs, the four Primary Network Component equivalents are bound as a named network which can market and provide goods and services, seamlessly integrated with the flow of Internet commerce.

 

*Consumers can choose to use ad-hoc generic 21st Century Digital Networks by choosing PNCCs which offer such services as long as the network formed is bound by TTS CLAs. Consumers can choose to use regular Internet for supported transactions.

 

* Because uniform TTS CLAs bind PNCCs to enable each network, PNCCs retain their autonomy as individual business organizations such as AT&T or Verizon in Class 3 and Dell, Apple, or Toshiba in Class 1 making the system marketable to all PNCCs and consumers as well as complying with US antitrust standards.

 

*21st Century Digital Networks are owned by the PNCCs and/or user as enabled at network formation by agreement. TTS does not own the 21st Century Digital Networks, but TTS may choose to act as Network Administrator of one 21st Century Digital Network. Consumers pays the PNCCs or the named association thereof. TTS collects patent royalties for twenty years if patent is granted, conducts research and development, and administers a self regulatory organization. Network Administrators facilitate technical support and customer service while marketing the network and coordinating other administrative activities including recordkeeping and data transfer.

 

* Consumers can choose to pay for 21st Century Digital Network Service for Commercial use of the Internet, but use regular Internet for non-commercial Internet use

 

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*Because 21st Century Digital Networks are designed to uphold the integrity of trademarked and copyrighted data, the Networks will support regulated transfer of corporate logos and data associated therewith. Therefore, the Networks will support merchandise receipts, warrantees, and related documents which are problematic on un-enhanced Internet alone.

*21st Century Digital Networks will offer enhanced security for the content of big media companies whether such content is music or movies or other media which are unable to reap the full benefit of Internet technology on the unregulated Internet of the 20th century.

 

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*Because the design of a 21st Century Digital Network is defined by contract rather than a technological standard, technological innovation will not be stymied and the Networks will evolve. 

*While bound by TTS CLAs, 21st Century Digital Networks can offer enhanced services, competing for customer's business and driving research and development into consumer driven Network services unlike before. Without the 21st Century Digital Network model the Network as product has no proprietary interest driving coordinated development.

 

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*Internal Revenue Service collects any Federal Tax associated with regulated commerce on a 21st Century Digital Network

*States collect any State Tax for sales made in or shipped to their state as with non-digital.

*Companies such as FedEx, USPS, and UPS may provide secure document transfer services on 21st Century Digital Networks by contracting with the PNCCs.  

 

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*Security mechanisms and transaction records are embedded in four locations: hardware, software, information carrier, and network administrator. The security on a 21st Century Digital Network is based on the relationship of the four PNCCs to one another rather than simply in a software algorithm alone, exponentially increasing the security associated with digital commerce. This system mirrors US government "checks and balances";

*the United States Patent and Trademark Office reviews Copyright and Trademark Infringement, adding a regulatory measure. 21st Century Digital Network PNCCs that do not abide by the TTS CLAs will not be able to provide 21st Century Digital Network Service.

*It is anticipated that certain Bank Holding Company affiliates such as Mastercard, VISA, American Express, and similar companies will seek permission from to provide 21st Century Digital Network Administrator services for non-financial data, utilizing their same systems which currently process financial data . Therefore, the Federal Reserve and the Office of the Comptroller of the Currency will also oversee certain Internet governance.

*As a result of the proprietary nature of each system, basic legal jurisdiction for Internet based transactions will be enabled, making subpoenas and related law enforcement activities more easily defined and recognized. Networks can inform their customers the jurisdiction in which their transactions reside, and the law which governs it.

*Each 21st Century Digital network warrantees and guarantees its services as per user agreements; by default, as per TTS CLAs, the networks are waranteeing and guaranteeing the Trademark and Copyright.

 

Multiple 21st Century Digital networks simultaneously co-exist. Each network is enabled and marketed by a set of four PNCCs. No network can function without each of the four Primary Network Component Class equivalents. Upon ratification of nine TTS CLAs, the four Primary Network Component equivalents are bound as a named network which can market and provide goods and services, seamlessly integrated with the flow of Internet commerce. Because uniform TTS CLAs bind PNCCs to enable each network, PNCCs retain their autonomy as individual business organizations such as AT&T or Verizon in Class 3 and Dell, Apple, or Toshiba in Class 1 making the system marketable to all PNCCs and consumers as well as complying with US antitrust standards.

 

*Because 21st Century Digital Networks are designed to uphold the integrity of trademarked and copyrighted data, the Networks will support regulated transfer of corporate logos and data associated therewith. Therefore, the Networks will support merchandise receipts, warrantees, and related documents which are problematic on un-enhanced Internet alone.

*21st Century Digital Networks will offer enhanced security for the content of big media companies whether such content is music or movies or other media which are unable to reap the full benefit of Internet technology on the unregulated Internet of the 20th century.

Because the design of a 21st Century Digital Network is defined by contract rather than a technological standard, technological innovation will not be stymied and the Networks will evolve. 

*While bound by TTS CLAs, 21st Century Digital Networks can offer enhanced services, competing for customers' business and driving research and development into consumer driven Network services unlike before. Without the 21st Century Digital Network model the Network as product has no proprietary interest driving coordinated development.

*Security mechanisms and transaction records are embedded in four locations: hardware, software, information carrier, and network administrator. The security on a 21st Century Digital Network is based on the relationship of the four PNCCs to one another rather than simply in a software algorithm alone, exponentially increasing the security associated with digital commerce. This system mirrors US government "checks and balances"