| ==Phrack Inc.== | |
| Volume Three, Issue 26, File 9 of 11 | |
| PWN PWN PWN PWN PWN PWN PWN PWN PWN PWN PWN PWN PWN PWN | |
| PWN PWN | |
| PWN P h r a c k W o r l d N e w s PWN | |
| PWN %%%%%%%%%%% %%%%%%%%% %%%%%%% PWN | |
| PWN Issue XXVI/Part 1 PWN | |
| PWN PWN | |
| PWN April 25, 1989 PWN | |
| PWN PWN | |
| PWN Created, Written, and Edited PWN | |
| PWN by Knight Lightning PWN | |
| PWN PWN | |
| PWN PWN PWN PWN PWN PWN PWN PWN PWN PWN PWN PWN PWN PWN | |
| Welcome to Issue XXVI of Phrack World News. This issue features articles on | |
| Robert Tappen Morris, ITT, Telenet, PC Pursuit, a hacker's convention in | |
| Holland, government wiretapping, viruses, social security numbers, a rivalry | |
| between two different factions of TAP Magazine and much more. | |
| As we are getting closer to SummerCon '89, it is becoming increasingly | |
| more important for us to get an idea of who to be expecting and who we need to | |
| contact to supply with further information. | |
| Since we only communicate directly with a select group of people at this time, | |
| we recommend that you contact Red Knight, Aristotle, or Violence (or other | |
| members of the VOID hackers). These people will in turn contact us and then we | |
| can get back to you. Keep in mind that only people who are able to contact us | |
| will be receiving the exact location of SummerCon '89. | |
| Please do not wait till the last minute as important information and changes | |
| can occur at any time. | |
| :Knight Lightning | |
| _______________________________________________________________________________ | |
| Cornell Panel Concludes Morris Responsible For Computer Worm April 6, 1989 | |
| %%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%% | |
| By Dennis Meredith (Cornell Chronicle) | |
| Graduate student Robert Tappan Morris Jr., working alone, created and spread | |
| the "worm" computer program that infected computers nationwide last November, | |
| concluded an internal investigative commission appointed by Provost Robert | |
| Barker. | |
| The commission said the program was not technically a "virus" -- a program that | |
| inserts itself into a host program to propagate -- as it has been referred to | |
| in popular reports. The commission described the program as a "worm," an | |
| independent program that propagates itself throughout a computer system. | |
| In its report, "The Computer Worm," the commission termed Morris's behavior "a | |
| juvenile act that ignored the clear potential consequences." This failure | |
| constituted "reckless disregard of those probable consequences," the commission | |
| stated. | |
| Barker, who had delayed release of the report for six weeks at the request of | |
| both federal prosecutors and Morris's defense attorney, said, "We feel an | |
| overriding obligation to our colleagues and to the public to reveal what we | |
| know about this profoundly disturbing incident." | |
| The commission had sought to determine the involvement of Morris or other | |
| members of the Cornell community in the worm attack. It also studied the | |
| motivation and ethical issues underlying the release of the worm. | |
| Evidence was gathered by interviewing Cornell faculty, staff, and graduate | |
| students and staff and former students at Harvard University, where Morris had | |
| done undergraduate work. | |
| Morris declined to be interviewed on advice of counsel. Morris had requested | |
| and has received a leave of absence from Cornell, and the university is | |
| prohibited by federal law from commenting further on his status as a student. | |
| The commission also was unable to reach Paul Graham, a Harvard graduate student | |
| who knew Morris well. Morris reportedly contacted Graham on November 2 1988, | |
| the day the worm was released, and several times before and after that. | |
| Relying on files from Morris's computer account, Cornell Computer Science | |
| Department documents, telephone records, media reports, and technical reports | |
| from other universities, the commission found that: | |
| - Morris violated the Computer Sciences Department's expressed policies | |
| against computer abuse. Although he apparently chose not to attend | |
| orientation meetings at which the policies were explained, Morris had | |
| been given a copy of them. Also, Cornell's policies are similar to | |
| those at Harvard, with which he should have been familiar. | |
| - No member of the Cornell community knew Morris was working on the worm. | |
| Although he had discussed computer security with fellow graduate | |
| students, he did not confide his plans to them. Cornell first became | |
| aware of Morris's involvement through a telephone call from the | |
| Washington Post to the science editor at Cornell's News Service. | |
| - Morris made only minimal efforts to halt the worm once it had | |
| propagated, and did not inform any person in a position of | |
| responsibility about the existence or content of the worm. | |
| - Morris probably did not intend for the worm to destroy data or files, | |
| but he probably did intend for it to spread widely. There is no | |
| evidence that he intended for the worm to replicate uncontrollably. | |
| - Media reports that 6,000 computers had been infected were based on an | |
| initial rough estimate that could not be confirmed. "The total number | |
| of affected computers was surely in the thousands," the commission | |
| concluded. | |
| - A computer security industry association's estimate that the worm caused | |
| about $96 million in damage is "grossly exaggerated" and "self-serving." | |
| - Although it was technically sophisticated, "the worm could have been | |
| created by many students, graduate or undergraduate ... particularly if | |
| forearmed with knowledge of the security flaws exploited or of similar | |
| flaws." | |
| The commission was led by Cornell's vice president for information | |
| technologies, M. Stuart Lynn. Other members were law professor Theodore | |
| Eisenberg, computer science Professor David Gries, engineering and computer | |
| science Professor Juris Hartmanis, physics professor Donald Holcomb, and | |
| Associate University Counsel Thomas Santoro. | |
| Release of the worm was not "an heroic event that pointed up the weaknesses of | |
| operating systems," the report said. "The fact that UNIX ... has many security | |
| flaws has been generally well known, as indeed are the potential dangers of | |
| viruses and worms." | |
| The worm attacked only computers that were attached to Internet, a national | |
| research computer network and that used certain versions of the UNIX operating | |
| system. An operating system is the basic program that controls the operation | |
| of a computer. | |
| "It is no act of genius or heroism to exploit such weaknesses," the | |
| commission said. | |
| The commission also did not accept arguments that one intended benefit of the | |
| worm was a heightened public awareness of computer security. | |
| "This was an accidental by-product of the event and the resulting display of | |
| media interest," the report asserted. "Society does not condone burglary on | |
| the grounds that it heightens concern about safety and security." | |
| In characterizing the action, the commission said, "It may simply have been the | |
| unfocused intellectual meandering of a hacker completely absorbed with his | |
| creation and unharnessed by considerations of explicit purpose or potential | |
| effect." | |
| Because the commission was unable to contact Graham, it could not determine | |
| whether Graham discussed the worm with Morris when Morris visited Harvard about | |
| two weeks before the worm was launched. "It would be interesting to know, for | |
| example, to what Graham was referring to in an Oct. 26 electronic mail message | |
| to Morris when he inquired as to whether there was 'Any news on the brilliant | |
| project?'" said the report. | |
| Many in the computer science community seem to favor disciplinary measures for | |
| Morris, the commission reported. | |
| "However, the general sentiment also seems to be prevalent that such | |
| disciplinary measures should allow for redemption and as such not be so harsh | |
| as to permanently damage the perpetrator's career," the report said. | |
| The commission emphasized, that this conclusion was only an impression from its | |
| investigations and not the result of a systematic poll of computer scientists. | |
| "Although the act was reckless and impetuous, it appears to have been an | |
| uncharacteristic act for Morris" because of his past efforts at Harvard and | |
| elsewhere to improve computer security, the commission report said. | |
| Of the need for increased security on research computers, the commission wrote, | |
| "A community of scholars should not have to build walls as high as the sky to | |
| protect a reasonable expectation of privacy, particularly when such walls will | |
| equally impede the free flow of information." | |
| The trust between scholars has yielded benefits to computer science and to the | |
| world at large, the commission report pointed out. | |
| "Violations of that trust cannot be condoned. Even if there are unintended | |
| side benefits, which is arguable, there is a greater loss to the community | |
| as a whole." | |
| The commission did not suggest any specific changes in the policies of the | |
| Cornell Department of Computer Science and noted that policies against computer | |
| abuse are in place for centralized computer facilities. However, the | |
| commission urged the appointment of a committee to develop a university-wide | |
| policy on computer abuse that would recognize the pervasive use of computers | |
| distributed throughout the campus. | |
| The commission also noted the "ambivalent attitude towards reporting UNIX | |
| security flaws" among universities and commercial vendors. While some computer | |
| users advocate reporting flaws, others worry that such information might | |
| highlight the vulnerability of the system. | |
| "Morris explored UNIX security amid this atmosphere of uncertainty, where there | |
| were no clear ground rules and where his peers and mentors gave no clear | |
| guidance," the report said. | |
| "It is hard to fault him for not reporting flaws that he discovered. From his | |
| viewpoint, that may have been the most responsible course of action, and one | |
| that was supported by his colleagues." | |
| The commission's report also included a brief account of the worm's course | |
| through Internet. After its release shortly after 7:26 p.m. on November 2, | |
| 1988, the worm spread to computers at the Massachusetts Institute of | |
| Technology, the Rand Corporation, the University of California at Berkeley and | |
| others, the commission report said. | |
| The worm consisted of two parts -- a short "probe" and a much larger "corpus." | |
| The problem would attempt to penetrate a computer, and if successful, send for | |
| the corpus. | |
| The program had four main methods of attack and several methods of defense to | |
| avoid discovery and elimination. The attack methods exploited various flaws | |
| and features in the UNIX operating systems of the target computers. The worm | |
| also attempted entry by "guessing" at passwords by such techniques as | |
| exploiting computer users' predilections for using common words as passwords. | |
| The study's authors acknowledged computer scientists at the University of | |
| California at Berkeley for providing a "decompiled" version of the worm and | |
| other technical information. The Cornell commission also drew on analyses of | |
| the worm by Eugene H. Spafford of Purdue University and Donn Seeley of the | |
| University of Utah. | |
| _______________________________________________________________________________ | |
| People Vs. ITT Communications Services, Inc. March 29, 1989 | |
| %%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%% | |
| NOTICE OF CLASS ACTION AND PROPOSED SETTLEMENT TO CERTAIN CURRENT | |
| AND FORMER CUSTOMERS OF UNITED STATES TRANSMISSION SYSTEMS, INC. | |
| (NOW KNOWN AS ITT COMMUNICATIONS SERVICES, INC.) | |
| By order of the United States District Court for the Eastern District of | |
| Michigan, PLEASE TAKE NOTICE THAT: | |
| A class action lawsuit has been filed on behalf of certain former and current | |
| customers against United States Transmission Systems, Inc., now known as ITT | |
| Communications Services, Inc., hereinafter referred to as "USTS." The Court | |
| has preliminarily approved a settlement of this lawsuit. | |
| YOU ARE URGED TO READ THIS NOTICE CAREFULLY BECAUSE IT AFFECTS YOUR RIGHTS AND | |
| WILL BE BINDING ON YOU IN THE FUTURE. | |
| I. NOTICE OF A PENDING CLASS ACTION | |
| A. Description of the Lawsuit | |
| Plaintiffs have sued USTS, alleging that USTS charged customers for certain | |
| unanswered phone calls, holding time, busy signals, and central office | |
| recorded messages, hereinafter referred to as "unanswered calls," without | |
| adequately disclosing such charges to their customers or the public. | |
| Plaintiffs seek to present their own claims for charges for unanswered | |
| calls, as well as the claims of other current and former USTS customers for | |
| similar charges. | |
| USTS denies the violations alleged by plaintiffs, and contends that at all | |
| times, USTS has charged its subscribers fairly and properly and has | |
| disclosed fully and fairly the basis for its long distance charges. USTS | |
| has agreed to settle plaintiff's suit solely to avoid the expense, | |
| inconvenience and disruption of further litigation. | |
| This notice is not an expression of any opinion by the Court of the merits | |
| of this litigation or of the Settlement Agreement. The Complaint, the | |
| Settlement Agreement and other pleadings in this case may be inspected | |
| during normal business hours at the office of the Clerk of the United States | |
| District Court for the Eastern District of Michigan, 231 West Lafayette | |
| Boulevard, Detroit, MI 48226. | |
| B. The Settlement Class | |
| Plaintiffs and USTS have entered into a Settlement Agreement, which has been | |
| preliminarily approved by the Court. Under the terms of the Settlement | |
| Agreement, the parties have agreed, for purposes of settlement only, that | |
| this suit has been brought on behalf of the following class of persons | |
| similarly situated to Plaintiffs, hereinafter known as "the Class": | |
| All persons and entities that subscribed to and utilized the long distance | |
| telephone service of USTS or its predecessor ITT Corporate Communication | |
| Services, Inc., referred to collectively hereinafter as "USTS," at any time | |
| during the period January 1, 1979 through December 31, 1985. | |
| C. How to Remain a Class Member | |
| If you were a subscriber to and utilized USTS' long distance service at any | |
| time during this period, you are a member of the Class. You need do nothing | |
| to remain a member of the Class and participate in the benefits this | |
| settlement will provide. If you remain in the Class, you will be bound by | |
| the results of the settlement and/or the lawsuit. | |
| D. How to Exclude Yourself From the Class | |
| You are not required to be a member of the Class. Should you decide that | |
| you do not want to me a member of the Class, you must send an Exclusion | |
| Notice that states your name, your current address, and your desire to be | |
| excluded from the Class to the Clerk of the United States District Court for | |
| the Eastern District of Michigan at the address given at the end of this | |
| Notice, postmarked no later than April 20, 1989. If you choose to be | |
| excluded from the Class, you may not participate in the settlement. You | |
| will not, however, be bound by any judgment dismissing this action and you | |
| will be free to pursue on your own behalf any legal rights you may have. | |
| II. TERMS OF THE SETTLEMENT | |
| The Settlement Agreement requires USTS to provide to Class members up to | |
| 750,000 minutes of long distance telephone credits having a maximum value, | |
| at 30 cents per minute, of $225,000, hereinafter known as the "Settlement | |
| Credits," and cash refunds up to a maximum of $50,000. These benefits are | |
| available to Class members who file a proof of claim in a timely manner as | |
| described in Section III below. Class members may choose one benefit from | |
| the following options: | |
| A. A *standardized credit* toward USTS long distance telephone service of | |
| $1.50 for each year from 1979 through 1985 in which the Class member (i) | |
| was a USTS customer, and (ii) claims that s/he was charged by USTS for | |
| unanswered calls; or | |
| B. A *standardized cash refund* of 90 cents for each year from 1979 through | |
| 1985 in which the Class member was (i) was a USTS customer and (ii) | |
| claims that s/he was charged by USTS for unanswered calls; or, | |
| C. An *itemized credit* toward USTS long distance service of 30 cents for | |
| each minute of unanswered calls for which the Class member was charged | |
| during the Class period (January 1, 1979 through December 31, 1985) and | |
| for which the Class member has not been previously reimbursed or | |
| credited; or, | |
| D. An *itemized cash refund* of 30 cents for each minute of unanswered | |
| calls for which the Class member charged during the Class period | |
| (January 1, 1979 through December 31, 1985) and for which the Class | |
| member has not been previously reimbursed or credited. | |
| To obtain an *itemized* credit or cash refund, the Class member must | |
| itemize and attest to each unanswered call for for which a refund or credit | |
| is claimed. If the total credits claimed by Class members exceed 750,000 | |
| credit minutes, each Class member claiming Settlement Credits will receive | |
| his/her/its pro rata share of the total Settlement Credits available. | |
| Class members need not be current USTS customers to claim the standardized | |
| and itemized credits. USTS will automatically open an account for any | |
| Class member who requests credits and executes an authorization to open | |
| such an account. If a Class member incurs a local telephone company | |
| service charge in connection with the opening of a USTS account, USTS will | |
| issue a credit to the Class member's account for the full amount of such | |
| service charge upon receipt of the local telephone company's bill for the | |
| service charge. USTS is not responsible for any other service charge that | |
| a local telephone company may impose for ordering, using or terminating | |
| USTS service. | |
| The Settlement Agreement requires USTS to pay the costs of giving this | |
| Notice (up to a maximum of $120,000) and of administering the settlement | |
| described above. | |
| The Settlement Agreement further provides that upon final approval of the | |
| settlement, the Court will enter a judgment dismissing with prejudice all | |
| claims of plaintiffs and members of the Class that have been or might have | |
| been asserted in this action and that relate to USTS' billing practices and | |
| disclosure practices for unanswered calls. | |
| Counsel for the Class have investigated the facts and circumstances | |
| regarding the claims against USTS and their defenses. In view of those | |
| circumstances, counsel for the Class have concluded that this Settlement | |
| Agreement is fair and reasonable, and in the best interests of the Class. | |
| III. HOW TO FILE A CLAIM | |
| To receive Settlement Credits or a Cash Refund, you must first obtain a | |
| Proof of Claim Notice; then provide all the information requested and | |
| return it to the Clerk of the Court postmarked no later than June 30, 1989. | |
| To obtain claim forms: To file completed claim form: | |
| USTS Class Action Claim Administrator Clerk of the United States Court | |
| ITT Communication Services, Inc. ATTN: USTS Settlement | |
| 100 Plaza Drive 231 W. Lafayette Blvd. Room 740 | |
| Secaucus, NJ 07096 Detroit, MI 48226 | |
| If you have any further questions about this Notice, or the filing of Proof of | |
| Claim, *write* to the USTS Action Claim Administrator at the above address. If | |
| you have any questions about this lawsuit or your participation therein as a | |
| member of the Class, *write* to lead counsel for plaintiffs -- | |
| Sachnoff Weaver & Rubenstein, Ltd. | |
| ATTN: USTS Settlement | |
| 30 South Wacker Drive, Suite 2900 | |
| Chicago, IL 60606 | |
| Always consult your own attorney for legal advice and questions which concern | |
| you about your rights in any class action matter. | |
| DO NOT telephone the Court. | |
| DO NOT telephone the attorneys for plaintiff. | |
| DO NOT telephone the Claims Administrator; any office of USTS or any of its | |
| employees. | |
| DO NOT telephone any Telephone Company asking for information on this matter. | |
| Only *written correspondence filed in a timely manner will be considered | |
| by the Court. | |
| _______________________________________________________________________________ | |
| Telenet Announces New PC Pursuit Terms April 9, 1989 | |
| %%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%%% | |
| Earlier this year, Telenet announced new terms for the PC Pursuit program, | |
| which placed time limits on the use of the service, and set new rates for | |
| usage of the service. | |
| ***** Most of the deal has been called OFF ***** | |
| In a letter dated March 29, 1989 from Floyd H. Trogdon, Vice President and | |
| General Manager of Network Services announced several revisions in the earlier | |
| plans. His latest letter supersedes all previous memos and usage agreements, | |
| and becomes effective July 1, 1989. | |
| There will be THREE membership plans: | |
| o REGULAR membership will be $30 per month for up to 30 hours of | |
| non-prime time (evenings and weekend) use. This can be used by the | |
| subscriber only. No others allowed to use it. | |
| o FAMILY membership will be $50 per month for up to 60 hours of non-prime | |
| time (evenings and weekend) use. This can be used by the subscriber | |
| and any immediate family members in the same household. If a single | |
| person expected to use more than 30 hours per month, s/he would still | |
| buy this "family" plan, even if the entire "family" consisted of just | |
| one person. | |
| o HANDICAPPED membership will be $30 per month for up to 90 hours of | |
| non-prime time (evening and weekend) use. To qualify for these terms, | |
| proof of physical handicap must be provided. Ask Telenet for the exact | |
| terms. | |
| EXCESS HOURS over 30 (or 60/90) per month during non-prime time hours will be | |
| billed at $3.00 per hour. This is a decrease from the earlier proposed charge | |
| of $4.50 per hour. | |
| PRIME-TIME USAGE will be billed at $10.50 per hour, regardless of how much time | |
| may be remaining on the PCP membership plan. | |
| The billing will be in arrears each month. That is, the July usage will be | |
| billed in August, etc. Call detail will be automatically provided to any | |
| subscriber going over thirty hours per month. | |
| GRACE PERIOD/FORGIVENESS: All calls will be given a one minute grace period | |
| for the purpose of establishing the connection. There will never be a charge | |
| for calls lasting one minute or less. If you disconnect promptly when you see | |
| that your call will not complete for whatever reason, there will be no charge. | |
| There will be a two minute minimum on all connections (after the first minute | |
| has passed). Otherwise, times will be rounded to the *nearest* minute for | |
| billing purposes. | |
| NEW PASSWORDS AND USER I.D.'s FOR EVERYONE: During April, 1989, all current | |
| subscribers to PC Pursuit will be issued new passwords and new user identities. | |
| On May 1, 1989, all existing passwords and ID's will be killed. | |
| New users after July 1, 1989 will pay $30 to set up an account. Password | |
| changes will be $5.00. *Existing* users will never have to pay a fee to adjust | |
| their account upward or downward from regular < == > family plans. Call detail | |
| will be provided in June, 1989 to users with more than 30 hours of usage to | |
| help them determine which plan they should use; however there will be no charge | |
| for extra hours until July. | |
| Because of the confusion and lack of good communication between Telenet and its | |
| users over the past few months, the official change in terms from unlimited use | |
| to measured use has been postponed from its original starting date in June to | |
| July 1. | |
| These are just excerpts from the letter to subscribers posted on the Net | |
| Exchange BBS. If you subscribe to PC Pursuit, I recommend you sign on and read | |
| the full memo, along with the accompanying Terms and Conditions and price | |
| schedules. | |
| Remember, any changes you may have made in February/March in anticipation of | |
| the changeover originally planned for May/June are now void. Telenet has | |
| stated all users will be defaulted to REGULAR memberships effective July 1 | |
| unless they specifically make changes to this during the months of May and | |
| June. | |
| Telenet Customer Service: 1-800-336-0437 | |
| Telenet Telemarketing: 1-800-TELENET | |
| Sign up via modem with credit card number handy: 1-800-835-3001. | |
| To read the full bulletins, log onto Net Exchange by calling into your local | |
| Telenet switcher and connecting to '@pursuit'. | |
| _______________________________________________________________________________ | |