FCC Approves Automated Frequency Coordination Systems
Beyond Telecom Law Blog » FCC
by Wesley K. Wright, Timothy A. Doughty and Liam Fulling
1M ago
Last week, the Federal Communications Commission (“FCC” or “Commission”) announced the approval of seven 6 GHz band Automated Frequency Coordination (“AFC”) systems. The approved systems include offerings from Qualcomm Incorporated, Federated Wireless, Inc., Sony Group Corporation, Comsearch, the Wi-Fi Alliance Services Corporation, the Wireless Broadband Alliance, Inc., and Broadcom Inc. Background In 2020, the FCC adopted a Report and Order opening portions of the 6 GHz band for expanded unlicensed operations. Under Commission rules, standard-power access points and fixed client devices ..read more
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Little-Known Drone Radio Compliance Requirement Subject of FCC Rulemaking
Beyond Telecom Law Blog » FCC
by Gregory E. Kunkle and Jackson Cherner
10M ago
Drones, or unmanned aerial vehicles (UAVs), are experiencing rapid growth throughout the world. In the United States, the FAA expects the recreational UAV fleet to reach almost 1.5 million units by 2024. Significant growth is also expected in commercial drones used for safety, delivery, and service operations, with the number of such aircraft expected to approximately double in the next year. UAVs will bring innovations across a variety of sectors, including critical infrastructure, public safety, agriculture, and delivery of consumer goods and services. In January, the Federal Communications ..read more
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FCC Proposes New NG911 Rules
Beyond Telecom Law Blog » FCC
by Wesley K. Wright and Timothy A. Doughty
1y ago
Last week, the Federal Communications Commission (FCC or Commission) released a draft Notice of Proposed Rulemaking (NPRM) to help facilitate the nationwide transition to Next Generation 911 (NG911). The Commission will vote on this NPRM at its Open Meeting on June 8th. Background In October 2021, the National Association of State 911 Administrators (NASNA) filed a Petition for Rulemaking; Alternatively, Petition for Notice of Inquiry (NASNA Petition) with the FCC asking the Commission to take a more active role in regulating NG911 deployments throughout the country. In par ..read more
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Keller and Heckman Webinar: Navigating the FCC’s Universal Service Program: Compliance Requirements for Service Providers
Beyond Telecom Law Blog » FCC
by Gregory E. Kunkle, Casey Lide and Jason P. Chun
1y ago
On March 9, 2023, Keller and Heckman attorneys Greg Kunkle, Casey Lide, and Jason Chun presented a webinar titled “Navigating the FCC’s Universal Service Program: Compliance Requirements for Service Providers.” The FCC’s Universal Service Fund (USF) program is one of the most significant regulatory issues faced by service providers. The USF assessment amount is substantial and penalties for non-compliance can be severe. Providers should ensure they understand their USF obligations at every stage of their business. The webinar provided background on USF principles and an overview of key items o ..read more
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With Billions of Dollars of Broadband Funding at Stake, the Timing of the Challenge Process to the FCC’s Broadband Map Under Increasing Scrutiny
Beyond Telecom Law Blog » FCC
by Sean A. Stokes, Kathleen Slattery Thompson and Liam Fulling
1y ago
Just over a month ago, the FCC released its pre-production draft of its new Broadband Maps. The initial map is based on service availability data collected from broadband providers through the ongoing Broadband Data Collection (“BDC”) and reflects services available[1] as of June 30, 2022.[2] The release of the Broadband Map initiated a process for individuals and other entities to submit challenges to the accuracy of data for single locations, both in terms of the availability of service and serviceable locations.[3] The FCC has released guidance on how to submit an Availability Challenge and ..read more
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Overview of the FCC’s Broadband Data Collection Bulk Fabric Challenge Process
Beyond Telecom Law Blog » FCC
by Sean A. Stokes, Kathleen Slattery Thompson and Liam Fulling
1y ago
The Federal Communications Commission (“FCC” or “Commission”) completed its first Broadband Data Collection (“BDC”) on September 1, 2022.[1] The Commission is now accepting and evaluating bulk challenges to the FCC’s Broadband Serviceable Location Fabric (“Fabric”), which serves as the foundation for the FCC’s upcoming broadband data map. To ensure the most accurate broadband map possible, service providers, state and local governments, and other entities are strongly encouraged to submit data in the BDC system pointing out any mistakes found in the Fabric. Challenge Process Background Current ..read more
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911 Network Reliability Deadline Approaching
Beyond Telecom Law Blog » FCC
by Wesley K. Wright and Liam Fulling
1y ago
Earlier this month, the FCC announced that its 2022 911 Reliability Certification System is now open for Covered 911 Service Providers to file annual reliability certifications.  The filings are due on October 17, 2022.  Failure to submit the certification may result in FCC enforcement action. Background In 2013, the FCC adopted rules aimed at improving the reliability and redundancy of the nation’s 911 network.  Those rules require Covered 911 Service Providers (“C9SP”) to take steps that promote reliable 911 service with respect to three network elements: circuit auditing, cen ..read more
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Overview of the FCC’s Broadband Data Collection Resources
Beyond Telecom Law Blog » FCC
by Sean A. Stokes, Kathleen Slattery Thompson and Liam Fulling
1y ago
The Federal Communications Commission (“FCC” or “Commission”) launched its Broadband Data Collection (“BDC”) program on June 30, 2022. As we have previously discussed in the first and second blog posts of our BDC series, all facilities-based providers of fixed and mobile broadband Internet access that have one or more end user connections in service are required to file broadband availability data in the BDC system by September 1, 2022. In this post, we highlight resources available to filers navigating the BDC system. Getting Started As previously discussed, the purpose of the BDC is to enabl ..read more
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The Who, What, When, and Where of the FCC’s New Broadband Data Collection
Beyond Telecom Law Blog » FCC
by Sean A. Stokes and Kathleen Slattery Thompson
2y ago
As discussed in our initial post in this series, the FCC is about to launch its new Broadband Data Collection (“BDC”) program. Starting this summer, all facilities-based providers of fixed and mobile broadband Internet access services will be required to submit broadband data on a biannual basis. In this post, we delve into the who, what, when, and where of the BDC filing obligations and process. Who is Required to File? The purpose of the BDC is to enable the FCC, acting through its contractor (CostQuest Associates), to develop a comprehensive database of serviceable broadband locations where ..read more
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The FCC’s New Broadband Data Collection is About to Launch
Beyond Telecom Law Blog » FCC
by Sean A. Stokes and Kathleen Slattery Thompson
2y ago
The Federal Communications Commission (“FCC” or “Commission”) is poised to implement a comprehensive overhaul of its existing broadband data mapping and collection process with a new Broadband Data Collection (“BDC”) program. Under the BDC, all facilities-based providers of fixed and mobile broadband Internet access services will be required to submit broadband data on a biannual basis. As discussed below, the initial filing window is between June 30, 2022, and September 1, 2022. Ensuring nationwide access to affordable high-speed broadband service is a national priority. A critical but elusiv ..read more
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