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This year, the IAA Convergent Event Series is going back to where it all began as we relive the stories, tech, and moments that shaped how we connect.
Across 2026, we’ll be hosting Convergent events in some genuinely fascinating venues, including communication and technology museums around the country.
Expect behind-the-scenes tours, nostalgic throwbacks, iconic hardware, and plenty of “remember when?” moments, alongside the good conversations and familiar faces that make Convergent what it is.
It’s a chance to step away from the day-to-day, enjoy a relaxed evening with industry peers, and reflect on how far the internet and our community have come (with drinks and nibbles in hand, of course).
We’re kicking off the series in Sydney with an exclusive visit to the NBN Discovery Centre, with Melbourne, Brisbane, and more to follow.
Spots are limited for each event.
Learn more and register via the IAA Member Portal:
IAA Convergent Sydney
Date: Wednesday, 11 March 2026
Time: 5:30 PM – 9:00 PM AEST
Venue: NBN Discovery Centre | 100 Mount St | North Sydney | Sydney
IAA Convergent Melbourne & VIC-IX 15th anniversary
Date: Wednesday, 29 April 2026
Time: 5:30 PM – 9:00 PM AEST
Venue: National Communication Museum | 375 Burwood Rd | Hawthorn | Melbourne
IAA Convergent Brisbane & QLD-IX 15th anniversary
Date: Wednesday, 13 May 2026
Time: 5:30 PM – 9:00 PM AEST
Venue: Queensland Communications Museum | 3 Oriel Road | Clayfield | Brisbane
Followed by: Hamilton Hotel | 442 Kingsford Smith Drive | Hamilton | Brisbane
IAASysters NZ is just around the corner, taking place in Christchurch on Wednesday, 25 March 2026, followed by a two-day conference. Thanks to NZNOG for their support in hosting once again!
For Aussies, there’s still time to be involved in IAASysters 2026 in Brisbane (2–4 September 2026). Each year we have 10 funded places available, and we’re inviting applications, nominations, and sponsors to support women in the internet industry to attend right now!
Applications close Friday 24 April 2026, 5:00 pm AEST.
Apply, nominate or sponsor now!
We hope you enjoyed some time off during the festive season because there are plenty of regulatory updates for the year ahead! Our policy team was busy responding to consultations before the year-end period, and has jumped straight back to policy work in the new year on various regulatory reform matters that will affect our Members.
Online safety
We released guidance material on the Online Safety Code obligations for ISPs, available to Members via the IAA Member Portal. The Phase 2 Code came into effect for ISPs on 27 December 2025, so make sure you’re compliant!
Telco Domestic and Family Violence Standard
We are continuing to work with WISPAU and domestic and family violence expert organisations to find the best way to deliver template and training material for our Members to be compliant with the new DFSV Standard, which you can read about in this newsletter item. The ACMA also recently updated its guidance material to reflect changes to the definition of ‘urgent complaint’ and has also published templates to notify the ACMA of privacy breaches in relation to an affected person in accordance with the DFSV Standard:
Public Register of Outages
The ACMA is currently consulting on amendments to the existing Telecommunications (Customer Communications for Outages) Industry Standard (CCO Standard) to introduce a new Public Register of Outages in accordance with directions from the Minister for Communications.
Telecommunications providers will have to establish and maintain an outage register on their websites that is publicly available and compliant with accessibility requirements. The register must be operational by 30 June 2026. We will update the template materials provided in the IAA Member Portal on the CCO Standard to include the outage register requirements once these amendments come into effect.
Record keeping rules
Following its 2025 Review of the various record keeping rules in the telecommunications sector, the ACCC released its final report. As per its findings, the ACCC will be establishing a new Wholesale and Networks Record Keeping Rules to come into effect in late 2026, and a new Retail Record Keeping Rules to commence in 2027. The ACCC will be consulting on these RKRs in the coming months.
Completed submissions:
Open consultations:
ACMA – Proposed public register of telecommunications outages | 18 February 2026
As always, please get in touch to share any thoughts on any of the open consultations and/or previous submissions as we really appreciate your feedback.
To support Members in meeting their obligations under the Telecommunications (Domestic, Family and Sexual Violence Consumer Protections) Industry Standard 2025 (the DFSV Standard), IAA is partnering with WISPAU to engage Good Shepherd to deliver targeted and practical training and compliance materials.
Who the DFSV Standard applies to:
Compliance with DFSV Standard is mandatory for all carriage service providers that supply telecommunications services to consumers. Consumers includes individual customers, business customers with an annual spend of less than $40,000 who did not have a genuine or reasonable opportunity to negotiate their contract, and not-for-profit organisations acquiring services not for resale.
Smaller providers with under 30,000 services in operation are required to meet the full extent of obligations by 1 April 2026. However, smaller organisations can rely on industry representative bodies such as IAA and WISPAU to undertake the consultation requirements. IAA and WISPAU are proposing to do this on behalf of our members to provide:
- template DFSV Policy;
- template DFSV Procedure;
- template DFSV Statement;
- training to be delivered by Good Shepherd:
- foundational webinar for all personnel covering core requirements of the Standard, understanding domestic and family violence in the telecommunications context, and the DFSV Policy (early March)
- tailored workshop for specialised DFSV teams and escalation staff focusing on trauma-informed practice and hypothetical scenarios (late March)
While there is no obligation for Members to undertake training via IAA, the DFSV Standard does require providers to have a DFSV Policy, DFSV Procedure and DFSV Statement in place, as well as for the training of all staff, and specialised training for customer-facing personnel.
In addition, these materials and training must be developed in consultation with expert organisations. IAA and WISPAU is undertaking this work to assist small ISPs efficiently meet these consultation and training requirements on behalf of our Members who meet the small organisation threshold.
You can read more on the compliance obligations on our website.
Costs
Pricing is to be confirmed, and will depend on participant numbers. The more participants will reduce the cost per participant/entity.
Expression of interest
If you are interested in attending the training and accessing the template materials, please register your expression of interest by completing the webfrom by COB Friday, 13 February 2026 to assist with finalising dates and pricing.
Welcome to our newest Professional Members:
Naresh Balasubramanian
Chris Buckridge
Sandra Davey
Thomas Dunn
Thomas Fernandes
Arsh Kataria
Craig Lomans
Kent Plummer
Stephen Schwetz
Tim Stockman
Welcome to our Corporate Members:
Acronis
We’re pleased to welcome Acronis ANZ Pty. Ltd. as a new Member of IAA.
Acronis is part of the global technology company known for its cyber protection and data-security solutions, including backup, disaster recovery and integrated cybersecurity for businesses and service providers. They are joining our NSW-IX as part of their network strategy.
VERNet
Join us in welcoming VERNet to our VIX-IX peering network.
A long-standing Victorian telecom carrier, VERNet designs and operates a large fibre network serving universities, research, health and community sites across Victoria. They joined to support IAA’s advocacy work.
Vytal
Welcome Vytal Group to IAA as a new Corporate Member.
Through its Dialplan brand, Vytal Group delivers business-grade internet and voice solutions with reliable connectivity and WA-based support to organisations across Western Australia. Their network also participates in peering and industry-level interconnects.
While you may be getting ready to wind down for the end-of-year break, make sure to pay attention to important regulatory reform that will likely affect your business.
Key topics in this update:
- TCP Code – latest progress and what is expected next
- Online Safety obligations – new requirements taking effect 27 December 2025
- Domestic and Family Violence protections – obligations commencing early 2026
Make sure to read on for details on these changes, your compliance obligations, and what IAA is doing to assist our Members.
If you have any questions on any of the below regulatory matters, or want to provide any feedback on the increasing cost of compliance, we’d love to hear from you. Please contact us at policy@internet.asn.au.
TCP Code
The draft Telecommunications Consumer Protections Code (TCP Code) was rejected by the Australian Communications Media Authority (ACMA) in late October, and the Australian Telecommunications Alliance (ATA) was given 30 days to submit a revised TCP Code to address deficiencies identified by the ACMA, failing which, the ACMA would move to direct regulation on consumer protections by way of an industry standard. On 24 November, the ATA submitted a revised TCP Code with significant uplifts, summarised below.
These uplifts have been drafted to ensure the TCP Code is accepted and registered by the ACMA so it remains an industry code, and not a standard subject to direct regulation.
However, IAA is keen to discuss the impacts this would have on your business, particularly the disproportionate effect on small to medium-sized ISPs. Please contact us to share any feedback, which we can relay to the ACMA on a confidential basis.
While the revised TCP Code is currently with the ACMA for consideration, it is very likely that the below uplifts will become mandatory, either through a revised TCP Code or via a new industry standard. We therefore recommend CSPs read and review the changes, and begin assessing what updates may be required within your business to ensure compliance.
Please note, the below summary relate only to the most recent changes contained in the final submission made to the ACMA, and not overall changes to the current TCP Code.
Key proposed uplifts include:
Overall review to improve accessibility and enforceability
- new ‘your rights as a consumer’ section with a consumer-friendly, plain-language overview of the TCP Code;
- stronger, more prescriptive wording to enhance the enforceability of the TCP Code – e.g. changing ‘CSPs should’ to ‘CSPs must’ and removing references to ‘best efforts’ or ‘best endeavours’.
Responsible Selling (Chapter 2 and 5)
- sales incentive structure must also comprise compliance with responsible selling obligations;
- cap on incentives for meeting volume/value targets to be no more than 20% of a staff member’s remuneration;
- negative and proportional consequences for persons who benefitted from mis-selling;
- obligation for staff to disclose to the consumer that they are operating under a sales incentive structure prior to completing an assisted sale;
- new training and assessment obligations;
- ability for consumers to exit contract with no early termination fees where sale was the result of mis-selling.
See also below on the new ‘suitability’ concept.
New ‘suitability’ concept (Chapters 3-5)
- new end-to-end ‘suitability concept’ requiring CSPs to design and offer products that are appropriate for the consumer to address mis-selling practices;
- new training requirement whereby customer-facing staff cannot begin selling until they have been trained and achieve a 100% pass-rate on the suitability of products and services;
- requiring the outcome of a CSP’s suitability assessment to be included in the Critical Information Summary.
- Mobile Coverage (Chapter 5)
- ensuring adequate mobile coverage of a service by offering to check coverage during an assisted sale;
- requiring consumers to acknowledge they have been prompted to check coverage;
- expansion of refunds where mobile coverage does not meet expectations – no termination fees, allowing consumers to pay the remaining device on the same terms and payment schedule if they choose to keep the device purchased alongside the service or return the device in good working order and original packaging for a full refund.
Payment Methods (Chapter 8)
- CSPs must offer direct debit payment flexibility as to:
- the date of payment;
- the frequency of payment (monthly or fortnightly); and
- allow the customer to temporarily defer a payment;
- earlier notification of a failed direct debit payment (2 working days following direct debit attempt);
- new obligation to notify the consumer of the CSP’s payment assistance policy in the event of a failed direct debit attempt;
- new obligation to not issue credit management notices where the CSP identifies a system fault that may have caused the failed direct debit payment, issue a prompt notice of system issue to the customer, and withdrawing any credit management notice that may have been sent;
- new obligation that CSPs must not suspend/disconnect a consumer’s service for credit management reasons where the payment failure is a CSP system fault.
Disconnection (Chapter 9)
- disconnection to only occur as a last resort, and only 20 working days after an overdue bill;
- increased number of notices to be sent prior to a service being disconnected for credit management reasons;
- tiered, three-stage process before disconnection (restriction, suspension, disconnection);
- general obligation for CSPs to ensure their credit management process treats customers with fairness.
Credit Assessments (Chapter 6)
- CSPs must complete a credit assessment where a consumer contract may result in a debt of $300 or more (for residential customers; $2,000 or more for business customers) and not only for debts that would be pursued by the CSP.
You can read more on the TCP Code review on ATA’s website.
Online Safety Code
From 27 December 2025, the Phase 2 Code for ISPs will come into effect, adding to your obligations relating to online safety (Phase 1 Code came into effect in 2023). The Phase 2 Code focuses on protecting children from sexually explicit material online. Make sure you are compliant with the new obligations before you close up shop to make sure you’re not facing enforcement action when you come back next year!
IAA has created guidance material to help Members understand and comply with their obligations. You can access the guidance material on the IAA Member Portal.
You can also read more about the Online Safety Codes on eSafety’s website.
Telco DFSV Standard
Additional obligations under the Telecommunications (Domestic, Family and Sexual Violence Consumer Protections) Industry Standard (DFSV Standard) will come into effect early next year – 1 January for larger providers with at least 30,000 SIOs, and 1 April for smaller providers with under 30,000 SIOs. These include implementing a DFV policy and delivering staff training, with specialised training for customer-facing staff. You can read more on the obligations in our guidance article.
IAA is currently working on developing template material that Members who fall under the <30,000 SIOs can use to comply with the DFSV Standard. We are also looking at organising a webinar that Members can attend and will provide further information on this in due course.
In the meantime, the ACMA have also recently published guidance material on the DFSV Standard, which we strongly encourage you to read.
Thank you for your support throughout 2025
Before you head off for a well-deserved break, thank you for your ongoing engagement with IAA. Enjoy the holidays, and we’ll continue helping you tackle these regulatory changes in 2026.