80_FR_26064 80 FR 25977 - 911 Call-Forwarding Requirements for Non-Service-Initialized Phones

80 FR 25977 - 911 Call-Forwarding Requirements for Non-Service-Initialized Phones

FEDERAL COMMUNICATIONS COMMISSION

Federal Register Volume 80, Issue 87 (May 6, 2015)

Page Range25977-25989
FR Document2015-10472

The Commission seeks comment on whether the obligation to transmit 911 calls from non-service-initialized (NSI) devices still serves an important public safety objective. Because the cumbersome call validation methods extant when the rules were adopted in the late 1990s are no longer in use, and because of the current ubiquity of low- cost options for wireless services, the Commission proposes to sunset the obligation to transmit 911 calls from an NSI device within six month, accompanied by consumer outreach and education. Public safety representatives have indicated that NSI devices are frequently used to make fraudulent or otherwise non-emergency calls, causing a significant waste of limited public safety resources.

Federal Register, Volume 80 Issue 87 (Wednesday, May 6, 2015)
[Federal Register Volume 80, Number 87 (Wednesday, May 6, 2015)]
[Proposed Rules]
[Pages 25977-25989]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-10472]


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FEDERAL COMMUNICATIONS COMMISSION

47 CFR Part 20

[PS Docket No. 08-51; FCC 15-43]


911 Call-Forwarding Requirements for Non-Service-Initialized 
Phones

AGENCY: Federal Communications Commission.

ACTION: Proposed rule.

-----------------------------------------------------------------------

SUMMARY: The Commission seeks comment on whether the obligation to 
transmit 911 calls from non-service-initialized (NSI) devices still 
serves an important public safety objective. Because the cumbersome 
call validation methods extant when the rules were adopted in the late 
1990s are no longer in use, and because of the current ubiquity of low-
cost options for wireless services, the Commission proposes to sunset 
the obligation to transmit 911 calls from an NSI device within six 
month, accompanied by consumer outreach and education. Public safety 
representatives have indicated that NSI devices are frequently used to 
make fraudulent or otherwise non-emergency calls, causing a significant 
waste of limited public safety resources.

DATES: Submit comments on or before June 5, 2015 and reply comments by 
July 6, 2015. Written comments on the Paperwork Reduction Act proposed 
information collection requirements must be submitted by the public, 
Office of Management and Budget (OMB), and other interested parties on 
or before July 6, 2015.

ADDRESSES: Submit comments to the Federal Communications Commission, 
445 12th Street SW., Washington, DC 20554. Comments may be submitted 
electronically through the Federal Communications Commission's Web 
site: http://apps.fcc.gov/ecfs//. In addition to filing comments with 
the Secretary, a copy of any comments on the Paperwork Reduction Act 
information collection requirements contained herein should be 
submitted to the Federal Communications Commission via email to 
PRA@fcc.gov. For detailed instructions for submitting comments and 
additional information on the rulemaking process, see the

[[Page 25978]]

SUPPLEMENTARY INFORMATION section of this document.

FOR FURTHER INFORMATION CONTACT: Michael E. Connelly, Attorney Advisor, 
Public Safety and Homeland Security Bureau, (202) 418-0132 or 
michael.connelly@fcc.gov. For additional information concerning the 
Paperwork Reduction Act information collection requirements contained 
in this document, contact Nicole Ongele, (202) 418-2991, or send an 
email to PRA@fcc.gov.

SUPPLEMENTARY INFORMATION: This is a summary of the Commission's Notice 
of Proposed Rulemaking in PS Docket No. 08-51, released on April 1, 
2015. The full text of this document is available for public inspection 
during regular business hours in the FCC Reference Center, Room CY-
A257, 445 12th Street SW., Washington, DC 20554, or online at http://www.fcc.gov/document/fcc-seeks-comment-911-call-forwarding-requirements-nsi-phones. Parties may file comments and reply comments 
in response to this Notice of Proposed Rulemaking (NPRM) on or before 
the dates indicated on the first page of this document. Comments may be 
filed using the Commission's Electronic Comment Filing System (ECFS).
    Electronic Filers: Comments may be filed electronically using the 
Internet by accessing the ECFS: http://apps.fcc.gov/ecfs//.
    Paper Filers: Parties that choose to file by paper must file an 
original and one copy of each filing. If more than one docket or 
rulemaking number appears in the caption of this proceeding, filers 
must submit two additional copies for each additional docket or 
rulemaking number. Filings can be sent by hand or messenger delivery, 
by commercial overnight courier, or by first-class or overnight U.S. 
Postal Service mail. All paper filings must be addressed to the 
Commission's Secretary, Office of the Secretary, Federal Communications 
Commission. All hand-delivered or messenger-delivered paper filings for 
the Commission's Secretary must be delivered to FCC Headquarters at 445 
12th St. SW., Room TW-A325, Washington, DC 20554. The filing hours are 
8:00 a.m. to 7:00 p.m. All hand deliveries must be held together with 
rubber bands or fasteners. Any envelopes and boxes must be disposed of 
before entering the building.
    Commercial overnight mail (other than U.S. Postal Service Express 
Mail and Priority Mail) must be sent to 9300 East Hampton Drive, 
Capitol Heights, MD 20743.
    U.S. Postal Service first-class, Express, and Priority mail must be 
addressed to 445 12th Street SW., Washington, DC 20554.

Summary of the Notice of Proposed Rulemaking

I. Introduction

    1. The Commission has a longstanding commitment to ensuring access 
to 911 for the American public. In support of this objective, the 
Commission's rules require commercial mobile radio service (CMRS) 
providers subject to the 911 rules to transmit all wireless 911 calls 
without respect to their call validation process. Thus, the rule 
requires providers to transmit both 911 calls originating from 
customers that have contracts with CMRS providers and calls originating 
from ``non-service-initialized'' (NSI) devices to Public Safety 
Answering Points (PSAPs). An NSI device is a mobile device for which 
there is no valid service contract with any CMRS provider. As such, NSI 
devices have no associated subscriber name and address, and do not 
provide Automatic Number Identification (ANI) or call-back features. As 
a result, when a caller uses a NSI device to call 911, the PSAP 
typically cannot identify the caller.
    2. In this Notice of Proposed Rulemaking (NPRM), the Commission 
seeks comment on whether the obligation to transmit 911 calls from NSI 
devices continues to serve an important public safety objective. A 
primary rationale for the initial adoption of the Commission's rule in 
the late 1990s was to expedite wireless calls to 911 that would 
otherwise have been delayed due to lengthy call validation processes 
for unidentified callers that were commonly used at the time. In the 
nearly two decades since the rule was adopted, however, the call 
validation methods of concern to the Commission are no longer in use. 
Moreover, the availability of low-cost options for wireless services 
has increased. These trends suggest that the NSI component of the 
requirement is no longer necessary to ensure that wireless callers have 
continued access to emergency services. Further, the inability to 
identify the caller creates considerable difficulty for PSAPs when a 
caller uses an NSI device to place fraudulent calls. Public safety 
representatives have indicated that NSI devices are frequently used to 
make such calls, causing a significant waste of limited public safety 
resources. For these reasons, the Commission proposes to sunset the NSI 
component of the rule after a six-month transition period that will 
allow for public outreach and education. The Commission also seeks 
comment on alternative approaches to addressing the issue of fraudulent 
calls from NSI devices.

II. Background

A. Adoption of the NSI Device Requirement

    3. In 1996, the Commission issued its E911 First Report and Order, 
which required covered carriers (now defined as CMRS providers) to 
transmit all 911 calls from wireless mobile handsets that transmit a 
code identification, without requiring any user or call validation or 
similar procedure. The Commission noted that user validation 
procedures, such as requiring a caller to provide credit card 
information, could be long and cumbersome, and that applying these 
procedures in emergencies could thus cause a dangerous delay or 
interruption of the 911 assistance process and, effectively, the denial 
of assistance in some cases. The Commission also required covered 
carriers to comply with PSAP requests for transmission of 911 calls 
made without code identification. Even at the time of adoption of the 
NSI requirement, however, the Commission recognized that there were 
disadvantages associated with requiring all 911 calls to be processed 
without regard to evidence that a call is emanating from an authorized 
user of some CMRS provider. The Commission acknowledged that placing 
911 calls from handsets without a code identification has significant 
drawbacks, including the fact that ANI and call back features may not 
be usable, and hoax and false alarm calls may be facilitated. The 
Commission concluded, however, that public safety organizations are in 
the best position to determine whether acceptance of calls without code 
identification would help or hinder their efforts.
    4. In response to several petitions for reconsideration of the E911 
First Report and Order, the Commission issued a stay of its rules and 
sought additional comment. On the basis of the updated record on 
reconsideration, in 1997 the Commission released its E911 First 
Memorandum Opinion and Order. In that order, the Commission determined 
that without applying validation procedures, then-present technology 
could not distinguish between code-identified and non-code-identified 
handsets. Accordingly, the E911 First Memorandum Opinion and Order 
required carriers to forward all 911 calls whether or not they transmit 
a code identification. The Commission also found that PSAPs should be 
able to screen out or identify many types of fraudulent calls or those 
where call back

[[Page 25979]]

is not possible and also expressed the hope that PSAPs could implement 
call back technology for NSI devices.
    5. Since the adoption of the NSI requirement, the Commission has 
been aware of the continuing concern regarding fraudulent calls and the 
lack of call-back capabilities associated with NSI devices, and has 
taken various measures to address this issue. In 2002, the Commission 
required NSI handsets donated through carrier-sponsored programs, as 
well as newly manufactured ``911-only'' devices, to be programmed with 
the number 123-456-7890 as the ``telephone number,'' in order to alert 
PSAPs that call-back features were unavailable. The Commission also 
required that carriers complete any network programming necessary to 
deliver this programmed number to PSAPs. Later that year, the 
Commission clarified that its rules requiring carriers to forward all 
911 calls to PSAPs did not preclude carriers from blocking fraudulent 
911 calls from non-service initialized phones pursuant to applicable 
state and local law enforcement procedures. The Commission added that 
where a PSAP has identified a handset that is transmitting fraudulent 
911 calls and makes a request to a wireless carrier to block 911 calls 
from that handset in accordance with applicable state and local law 
enforcement procedures, the carrier's compliance does not constitute a 
violation of Section 20.18(b).
    6. In its subsequent E911 Second Memorandum Opinion and Order, the 
Commission modified its rules to require that carrier-donated handsets 
and newly manufactured 911-only devices be programmed with the number 
``911,'' followed by seven digits from the handset's unique identifier, 
such as the Electronic Serial Number (ESN) or International Mobile 
Station Equipment Identity (IMEI) (911+ESN/IMEI). The Commission took 
this action to facilitate identification of individual NSI devices used 
to make fraudulent or harassing calls, finding it ``highly probable'' 
that this form of identification would enable a PSAP to identify a 
suspected device and work with carriers and law enforcement to trace it 
and block further harassing calls from the device. The Commission 
further stated that it would continue monitoring the nature and extent 
of problems associated with 911 service for NSI devices.

B. Notice of Inquiry

    7. In February 2008, a coalition of nine public safety 
organizations, including the National Emergency Number Association 
(NENA) and the Association of Public-Safety Communications Officials 
(APCO), and a software development firm (Petitioners), filed a petition 
for notice of inquiry (Petition) to address the problem of non-
emergency calls placed to 911 by NSI devices. The Petition contended 
that while the E911 Second Memorandum Opinion and Order achieved the 
goal of helping PSAPs identify when 911 calls are from NSI devices, 
such calls continue to create severe problems for PSAPs. The Petition 
asserted that only a very small minority of the 911 calls from NSI 
devices were made to report actual emergencies, and that non-emergency 
NSI calls waste the limited and precious resources of the PSAPs and 
interfere with PSAPs' ability to answer emergency calls, as do 
subsequent efforts to locate or prosecute the callers.
    8. The Petition also asserted that when PSAPs and other authorities 
requested that CMRS providers block harassing 911 calls from NSI 
devices, the providers had declined, citing technical and legal 
concerns related to complying with such requests. Accordingly, the 
Petition requested that the Commission provide further clarification 
and guidance on this blocking option to stop harassing and fraudulent 
911 calls from NSI devices. The Petition also asked the Commission to 
consider other options to address fraudulent calls from NSI devices, 
including identifying further call-back capabilities for NSI devices, 
the elimination of call-forwarding requirements for NSI devices, and/or 
requiring CMRS providers' donation programs to provide service-
initialized devices. In the alternative, the Petition asked the 
Commission to seek comment on other solutions.
    9. On April 2008, the Commission granted the Petition and issued a 
Notice of Inquiry to enhance its understanding of the problems created 
by non-emergency 911 calls made from NSI devices and to explore 
potential solutions. In the Notice of Inquiry, the Commission requested 
comment on three specific areas: (1) The nature and extent of 
fraudulent 911 calls made from NSI devices; (2) concerns with blocking 
NSI devices used to make fraudulent 911 calls, and suggestions for 
making this a more viable option for CMRS providers; and (3) other 
possible solutions to the problem of fraudulent 911 calls from NSI 
devices. In response to the Notice of Inquiry, the Commission received 
comments from public safety representatives at state, county, and local 
government levels in twenty-one states, as well as comments from CMRS 
providers, third-party vendors, and others.

C. 2013 Public Notice

    10. In their comments to the Notice of Inquiry, the Petitioners, 
including NENA, argued in favor of retaining the NSI call-forwarding 
requirement on the grounds that the public relied on the fact that NSI 
devices are 911-capable and that a significant number of calls to 911 
from NSI devices are legitimate. However, in an ex parte filing 
submitted in 2013, NENA revised its view, stating that it now supported 
eliminating the 911 call-forwarding requirement, and that there was now 
a ``consensus view'' that requiring 911 call forwarding from NSI 
devices does more harm than good. In light of NENA's revised view on 
the necessity of retaining the 911 call-forwarding requirement, as well 
as the passage of time since the filing of comments in response to the 
Notice of Inquiry, in March 2013 the Commission released a public 
notice seeking to refresh the record on the foregoing issues (2013 PN). 
In response to the 2013 PN, the Commission received six comments from 
public safety entities and one from a CMRS provider.

III. Discussion of Proposed Sunsetting of the Requirement To Transmit 
911 Calls From NSI Devices

    11. The record received in response to the Notice of Inquiry and 
2013 PN has helped to further define and document the problem of 
fraudulent 911 calls placed by users of NSI devices. As discussed 
below, the problem remains acute. At the same time, the evolution of 
the record and changes in wireless service offerings, including the 
expanded availability of low-cost wireless services, suggest there is 
now significantly less need for the NSI rule then when it was adopted 
in 1996. Accordingly, in this NPRM we propose to sunset the NSI rule 
after a six-month transition and outreach period. During the transition 
period, we would partner with industry and public interest 
organizations to educate consumers about the transition and the 
availability of alternative means to call 911. We seek comment on this 
proposal in the discussion below. We also seek comment on the relative 
costs and benefits of other potential approaches and solutions to the 
problem, including blocking calls from NSI devices.

[[Page 25980]]

A. Public Policy Analysis and Comparative Benefits

1. The Extent of Fraudulent 911 Calls From NSI Devices and Associated 
Costs to Public Safety
    12. The record to date shows that fraudulent 911 calls from NSI 
devices continue to pose a major problem for PSAPs, imposing 
substantial costs while reducing their ability to respond to legitimate 
911 calls. In the Notice of Inquiry in 2008, the Commission cited data 
from the Petitioners, generated in late 2006 from jurisdictions in four 
states, showing that between 3.5% and less than 1% of 911 calls placed 
by NSI devices were legitimate calls relating to actual emergencies. 
The Notice of Inquiry asked commenters to provide more recent and 
expansive data from the same and other jurisdictions, and also welcomed 
further evidence illustrating the extent of the problem, such as 
statements from knowledgeable parties and media reports. In response, 
public safety commenters provided additional evidence that the vast 
majority of 911 calls from NSI devices were not actual calls for help, 
and that these calls both wasted the limited resources of PSAPs and 
interfered with their ability to respond to legitimate emergency calls. 
For example, Indiana estimated that over 90% of all NSI calls received 
were not legitimate, while North Carolina similarly reported that 
between May 15, 2008 and June 15, 2008, PSAPs across the state received 
159,129 calls from NSI devices, of which 132,885, or 83.51%, were non-
emergency calls, and an additional 11,395, or 7.16%, were ``malicious'' 
non-emergency calls. Amelia County, Virginia also stated that NSI 
devices were the biggest problem we have with the E911 system, and 
that, at times, they had been inundated with phone calls from these 
phones with the only purpose being to harass the call takers/
dispatchers. Washington State likewise indicated that by far, the 
majority of calls to 911 from NSI sets did not appear to be legitimate 
emergencies. Moreover, Washington estimated that reported NSI problems 
were very likely an understatement, due to lack of time and resources 
of PSAPs to respond to the Notice of Inquiry. Other public safety 
commenters reported similar patterns of frequent and recurring non-
emergency calls from NSI devices.
    13. Subsequent to the close of the Notice of Inquiry comment 
period, the Commission continued to receive evidence that fraudulent 
911 calls from NSI devices remain a large problem for PSAPs and other 
public safety entities. Comments received in response to the 2013 PN 
also indicate that the problem is continuing. For example, Tennessee 
states that during a three-month period in 2008, of over 10,000 NSI 
calls only 188 were valid emergencies. Sonoma County, California 
indicates that between April 2011 and April 2013 only approximately 8% 
of calls from NSI devices were to report an emergency or crime. Peoria, 
Illinois similarly asserts that it got numerous calls from NSI phones 
that were used to harass the 9-1-1 telecommunicators and pump as many 
as 25 calls per day into Peoria's system, while few if any actual 9-1-1 
calls came from these types of phones. Media reports also indicate that 
this is a serious and continuing problem.
    14. The Commission seeks comment and updated data regarding the 
degree to which the issue of fraudulent calls from NSI devices has 
continued since the 2013 PN comments were filed, as well as any other 
data that will help clarify the extent of the problem. Have changes in 
mobile device technology or design had any impact on the overall 
numbers of fraudulent NSI 911 calls? Has the increased proliferation 
and use of smartphones added to or reduced the problem, and if so, how? 
What technological advancements, if any, might increase the ability to 
trace back individual NSI callers and thereby deter fraudulent calls?
    15. The Commission also seeks comment on the percentage of 
fraudulent 911 calls coming from particular types of NSI devices or 
subsets of NSI device users. Several commenters suggested that a 
disproportionate number of fraudulent 911 calls come from a relatively 
small subset of NSI devices. California, for example, stated that 
between October 1, 2007 and May 15, 2008, PSAPs across the state 
reported 266 active repetitive callers who placed over 77,000 calls to 
911, mainly using NSI devices. Of the 266 callers identified, 85 had 
placed 200 or more calls, and eight callers had made more than 1,000 
calls. Other commenters noted that such calling patterns were often 
related to the accessibility of NSI devices to minors. For example, 
Petitioners stated that donated phones appear to be only a small 
portion of the problem, with the bulk of troublesome devices being old 
equipment no longer in use, often given to children to play with. Is 
data available regarding the percentage of fraudulent NSI calls that 
come from minors? Are there other categories of NSI devices that are 
disproportionately associated with fraudulent calls? For example, how 
frequently do fraudulent calls originate from NSI devices that appear 
to have been purchased by individuals specifically for the purpose of 
placing such fraudulent calls (e.g., devices purchased on auction sites 
or at pawn shops)?
    16. Some public safety commenters have also argued that the NSI 
rule exposes PSAPs to the risk of coordinated efforts to overload or 
impair their operations. Clinton County, Illinois, for example, cited 
the possibility of a group of individuals perpetrating a wireless 
denial-of-service by placing large amounts of calls to 9-1-1 from NSI 
phones, with the potential of jamming or at the very least severely 
impairing the operations of the 9-1-1 system. Accordingly, the 
Commission seeks comment on the extent to which NSI devices could be 
used in a coordinated manner to deny 911 service.
    17. Finally, the Commission seeks further comment regarding the 
costs that fraudulent NSI calls to 911 continue to impose on public 
safety and on consumers. For example, in response to the Notice of 
Inquiry, Kentucky indicated that the time taken away from real 
emergency calls to deal with calls from NSI devices seriously threatens 
the safety of any citizen in true need of service. Amelia County, 
Virginia similarly stated that there have been times when it has been 
totally inundated with calls from NSI devices. Tennessee notes how 
calls from a single child in one night nearly immobilized the call 
center's ability to receive actual emergency calls. Spokane County, 
Washington noted receiving 911 calls from a non-initialized cellular 
phone that was an open line and therefore tied up one of our 911 trunks 
and made it unavailable for emergency calls. Laredo, Texas cited bomb 
threats made from NSI phones which, when they cannot be identified with 
absolute certainty as a hoax, require deployment of response agencies 
to the alleged target. The Commission asks commenters to provide 
instances of fraudulent NSI calls delaying the ability of public safety 
dispatchers to send help to callers in distress or otherwise negatively 
impacting the ability of first responders to respond to actual 
emergencies, and seeks examples of fraudulent NSI calls impeding public 
safety, such as whether prison inmates have used the 911-calling 
capability of NSI devices to harass PSAPs or to circumvent call 
blocking or managed access technologies designed to deter contraband 
cellphone use from inside prison facilities. In all of the above 
examples, the Commission seeks cost estimates of the losses--including 
financial or human capital resources--

[[Page 25981]]

that PSAPs have incurred due to fraudulent calls.
2. Decreasing Benefits of the NSI Rule
    18. At the same time that the NSI requirement imposes costs on 
public safety resources--by diverting much-needed resources from 
legitimate emergencies--the record suggests that the benefits of the 
NSI rule are diminishing and the need for the rule is decreasing. The 
Commission seeks comment on whether this is the case. For example, 
several commenters pointed out that service-initialized devices have 
become far more ubiquitous and inexpensive, as compared to when the 
Commission originally implemented the NSI rule, thereby decreasing 
public reliance on the ability of NSI devices to call 911. Washington 
State, for instance, noted that when the NSI rule was adopted, there 
were few opportunities for a customer to acquire a wireless device 
other than by signing a relatively expensive long-term contract. Thus, 
while the rule originally ensured access to 911-service for segments of 
the population that could not afford a long-term wireless subscription, 
Washington contended that service-initialized devices are now 
sufficiently ubiquitous and affordable to render the rule unnecessary. 
CTIA likewise indicated that wireless device prices in the U.S. keep 
dropping; since 2006, wireless CPI has fallen 8.0%, even as the CPI for 
all items has increased 16.7%. In this regard, the Commission notes 
that the Bureau of Labor Statistics' Wireless Price Index shows that 
the effective monthly cost of wireless service to consumers has fallen 
by more than 40% since December 1997. There has also been a 
proliferation of pre-paid devices since the Commission promulgated the 
NSI rule. For example, CTIA reported that 76.4 million consumers had 
prepaid plans in 2012, up from 71.7 million in 2011.
    19. Several commenters have also noted the potential of Lifeline-
supported wireless services to provide a sufficient alternative to NSI 
phones. Accordingly, the Commission seeks comment on whether the 
increasing ubiquity and decreasing cost of service-initialized devices 
obviates the need for the NSI rule. Does the increased availability and 
use of pre-paid services provide a sufficient alternative?
    20. Many commenters also referenced a decrease in NSI handset 
donation programs. For example, NENA stated that most charities and 
domestic violence advocates have abandoned the practice of distributing 
NSI devices. APCO similarly indicated its understanding that current 
programs for at-risk individuals only distribute handsets that have at 
least limited carrier-subscription status and are `service 
initialized.' This also seems to indicate a decreasing need for the NSI 
rule due to fewer NSI devices in circulation.
    21. Two public safety commenters (King County, Washington, and 
Livingston County, New York, Sherriff's Department) also argued that 
eliminating the NSI requirement would eliminate false expectations 
among NSI device users who are unaware that NSI devices do not provide 
911 call-back capability or Phase II location information. Other 
commenters, however, argued that the public has come to rely on the 
fact that NSI devices are 911-capable, and that eliminating the call-
forwarding requirement could lead to tragic results given this public 
reliance. CTIA, for example, stated that the public now has a 
reasonable expectation that all wireless 911 calls will terminate at a 
PSAP. Likewise, the Petitioners noted that they while they were 
sympathetic to those calling for an outright FCC reversal of current 
rule, they could not support such a request at this time because there 
remain a significant number of legitimate 9-1-1 calls from NSI devices. 
California noted that calls from NSI phones have saved many lives, and 
Maryland indicated that 30% of calls to 911 from NSI handsets were 
legitimate in Montgomery County during the one-month period studied in 
2008. Vermont also questions the availability of low-cost service-
initialized devices, and adds that it is puzzled by the comment that 
calls on these devices do not include location information, as its 
review identified a high percentage of calls from NSI devices that 
arrive with Phase II location information.
    22. Accordingly, the Commission seeks comment on the extent to 
which the public, especially lower-income populations, the elderly, and 
other vulnerable segments of society, still rely on the use of NSI 
devices to seek emergency assistance. Has such reliance decreased, 
increased, or remained the same? Would consumers who presently use NSI 
devices to call 911 be able to effectively utilize other means of 
accessing 911? To what extent are ``911-only'' wireless handsets that 
rely on the NSI rule to enable a caller to reach a PSAP in use today? 
Are CMRS providers or third parties continuing to support NSI phone 
donation programs, and if so, are figures available for the number of 
phone donations within the last five years?

B. Sunset of the NSI Requirement After a Reasonable Transition Period

    23. Background. In the E911 Second Report and Order, the Commission 
declined to eliminate the 911 call-forwarding requirement for NSI 
devices because abolishing the requirement at this stage would restrict 
basic 911 service and result in the inability of many non-initialized 
wireless phone users to reach help in the event of an emergency. 
However, in the subsequent Notice of Inquiry, the Commission noted that 
the evidence suggested that NSI devices were the source of an 
overwhelming number of fraudulent 911 calls and sought comment 
regarding whether it should eliminate the NSI requirement. In response 
to the Notice of Inquiry, a significant number of public safety 
commenters advocated for elimination of the rule. Washington, for 
example, asserted that there is no justification in retaining the rules 
permitting calls to 911 from non-initialized handsets; more recently, 
NENA stated that there is now a consensus view that the promotion of 
NSI devices does more harm than good.
    24. Accordingly, the 2013 PN sought comment, in particular, on 
whether other interested parties agree or disagree with NENA's view 
that the Commission should consider phasing out the call-forwarding 
requirement as it applies to NSI devices. The subsequent record 
indicates that APCO now also agrees that the FCC should eliminate the 
requirement that wireless carriers forward to PSAPs 9-1-1 calls from 
NSI handsets, as do some other public safety commenters.
    25. At the same time, some commenters continue to advocate 
retention of the NSI requirement, arguing that the public has come to 
rely on the fact that NSI devices are 911-capable, and that given this 
public reliance, eliminating the call-forwarding requirement could lead 
to tragic results.
    26. Discussion. The Commission believes that the concerns that led 
the Commission to adopt the NSI rule in 1996, and to retain it twelve 
years ago, are less relevant today, and that it is now in the public 
interest to sunset the requirement. The record suggests that fraudulent 
calls to 911 from NSI devices constitute a large and continuing drain 
on public safety resources and that the problem is not abating. 
Moreover, it appears there is now less public need for the NSI rule 
than at the time the Commission implemented it. Indeed, while the 
Commission implemented the NSI rule in large part at the urging of 
public safety entities, including NENA

[[Page 25982]]

and APCO, both of these entities now favor elimination of the rule.
    27. Additionally, impending technological changes in carrier 
networks are likely to make the NSI call-forwarding rule less effective 
in protecting consumers while increasing the cost of implementation. As 
carriers migrate their networks away from legacy 2G technology, 2G-only 
NSI handsets will no longer be technically capable of supporting 911 
call-forwarding. If we retain the NSI rule, this technological shift is 
likely to create confusion among the very consumers that have retained 
older-generation NSI handsets for their 911 capability. Moreover, 
retaining the rule will impose added costs on carriers to implement NSI 
call-forwarding capability in 3G and 4G networks. While the Commission 
recognizes that public safety interests are driven by more than 
economic considerations, it believes that avoiding these added costs by 
sunsetting the rule will have significant net cost benefits for 
carriers, in addition to eliminating the burden of fraudulent 911 calls 
on first responders. Conversely, the Commission believes that any cost 
to carriers associated with removing NSI call-forwarding capability 
from their networks will be relatively minor. For these reasons, the 
Commission believes that the costs of retaining the NSI rule appear to 
outweigh the benefits, and thus proposes to sunset the NSI rule after a 
six-month transition period.
    28. Based on the comments advocating for elimination of the rule, 
the Commission believes that a uniform, nationwide deadline to sunset 
the NSI requirement would best address the concerns that have been 
raised in the record regarding the prevalence of fraudulent calls from 
NSI devices. A uniform sunset date would provide the greatest certainty 
to the public, as well as to PSAPs and CMRS providers, and would be 
easiest for all parties to administer. The Commission also believes 
that any necessary consumer education and outreach regarding a uniform 
deadline would be less burdensome than for an alternative ``phase-out'' 
approach, as it would avoid public confusion with respect to timing and 
with regard to which NSI devices could and could not call 911; this 
method of eliminating the NSI requirement best balances the needs of 
the public, public safety, and CMRS providers.
    29. The Commission also seeks comment on other possible transition 
approaches. For example, NENA has suggested that the Commission phase 
out the NSI rule for devices and networks that no longer support legacy 
circuit-switched voice calling, reasoning that this will minimize 
stranded investments by carriers and consumers as carriers transition 
to fully IP-based architectures such as LTE and as consumers transition 
to IP-only devices that no longer support circuit-switched voice 
services. Alternatively, the Commission seeks comment on whether to 
eliminate the NSI requirement for new wireless devices sold after a 
particular date, thus grandfathering the 911 call-forwarding capability 
for existing NSI devices.
    30. In the event the Commission sunsets the NSI rule, it would seek 
to educate consumers during the transition on whether their particular 
NSI device will allow them to reach 911, and on how to ensure 
continued, uninterrupted access to 911. The Commission recognizes that 
the public is increasingly reliant on wireless technology for their 
basic communications needs and that many persons have elected to do 
without landline telephone service. With this in mind, the Commission 
believes that elimination of the NSI rule must be accompanied by 
sufficient public education and outreach to ensure that the public is 
aware that they can no longer call 911 from NSI devices prior to loss 
of that capability, but that there are low-cost options for replacing 
such devices. Accordingly, the Commission proposes to allow a six-month 
transition period for service providers, public interest organizations, 
and other interested parties to engage in this educational outreach 
process, and seek comment on this proposal. We also seek comment on the 
necessary components of such an education and outreach effort, and on 
implementation of these components.
    31. Finally, assuming that the NSI call-forwarding rule is 
eliminated after a transition period, should CMRS providers be allowed 
to forward 911 calls from NSI devices at their discretion on a 
voluntary basis, or should we prohibit NSI call forwarding? What is the 
likelihood that CMRS providers would voluntarily continue to forward 
911 calls from NSI devices? Would allowing them to do so reduce the 
benefits of eliminating the NSI requirement?

C. Protecting Calls to 911 From Service-Initialized Devices That May 
Appear To Be NSI Devices

    32. Background. The obligation of CMRS providers to transmit 911 
calls without regard to their call validation process ensures that 
wireless customers are able to access life-saving emergency services 
without delay. This obligation to connect 911 calls from service-
initialized devices ensures, for example, that customers have access to 
911 when traveling in areas where service may be provided by another 
provider which does not have a roaming agreement with the customer's 
provider or when a wireless customer's provider is experiencing a 
network outage. The Commission does not propose to alter the obligation 
of CMRS providers to connect calls from devices that have a valid 
agreement with any CMRS provider at the time of the 911 call.
    33. The record indicates, however, that in certain circumstances a 
service-initialized device may appear to be an NSI device to a CMRS 
provider's network. For example, according to the Petitioners, devices 
can also become NSI in the following situations: (1) When a phone has 
not completed registration at the time a 9-1-1 call is placed; (2) when 
calls are placed from areas of weak or no signal for one carrier that 
receive a signal from another carrier; (3) when calls are made from a 
handset that selects the strongest signal, which may not be the 
subscriber's carrier; (4) for calls placed by consumers roaming in 
areas with or without automatic roaming agreements; (5) for calls 
placed on foreign phones; or (6) because of normal network events, 
system reboots, and other circumstances that can occur during mobile 
switching center (`MSC') to MSC handoffs, for several seconds after the 
phone is powered on, and as the phone recovers from loss of service in 
a tunnel. The Commission also observes that, when pre-paid phones have 
run out of minutes, they become de facto NSI devices until the user 
pays for more pre-paid minutes.
    34. Discussion. The Commission seeks comment on how calls to 911 
from service-initialized devices that may appear to be NSI might be 
affected, in the event it sunsets the requirement to transmit calls 
from NSI devices. Is this an extensive issue of concern? For example, 
in what specific circumstances would a service-initialized device 
nevertheless appear to a CMRS network as an NSI device? If the 
Commission were to sunset the NSI requirement, is there a way to ensure 
that such service-initialized devices could still call 911? What would 
be the cost of implementing such a solution? The Commission is also 
concerned that consumers with service-initialized phones could be at 
risk if they were to lose 911-capability immediately following a CMRS 
provider's stoppage of service for non-payment. Would it be in the 
public interest to require all CMRS providers to continue to forward

[[Page 25983]]

calls to 911 from such devices for a certain ``grace period'' following 
stoppage of service? If so, what would be the proper length of such a 
grace period? Should it differ based on whether the device is pre-paid 
or post-paid? Alternatively, rather than establishing a grace period, 
would it be sufficient for CMRS providers to send automated messages to 
pre-paid customers when their minutes are about to expire, warning them 
that if they do not extend their pre-paid service their devices will 
not support 911 calling?

D. Technical and Operational Considerations Relating to Sunset of the 
NSI Rule

    35. The Commission seeks to determine what technical and 
operational changes, if any, CMRS providers and/or PSAPs would need to 
implement in conjunction with the sunset of the NSI rule, including the 
timeframe needed to implement any such changes, as well as the costs 
involved, as well as determining how these answers might vary depending 
on whether the Commission sunsets the rule on a date certain or whether 
it phases out the rule.
    36. What network modifications or other technical and operational 
changes would CMRS providers need to undertake, if any, if we were to 
sunset the NSI requirement as of a date certain? How long would it take 
to implement these changes? At what cost? Is the Commission's 
assumption that any costs associated with discontinuing call-forwarding 
of 911 calls from NSI devices as of the six-month sunset date proposed 
above would be relatively minor correct? The Commission also seeks 
comment on what, if anything, PSAPs would need to do to accommodate the 
sunset of the NSI requirement after six months. Would PSAPs incur any 
costs or are there timing considerations that the Commission should 
take into account? Alternatively, what technical and operational 
changes would CMRS providers and PSAPs need to implement if the 
Commission were to phase out the NSI requirement rather than sunset the 
rule on a uniform date?

E. Alternative Approaches to the Problem of Fraudulent NSI 911 Calls

    37. The Commission recognizes that sunsetting the NSI rule is not 
the only means of reducing the incidence of fraudulent calls to 911 
from such devices. In the Notice of Inquiry, the Commission examined 
the possibility of blocking NSI devices used to make fraudulent 911 
calls while retaining the NSI rule itself, and sought comment on 
suggestions for making blocking a more viable option for CMRS 
providers, as well as on other possible solutions. The Commission seeks 
comment on whether call-blocking is a viable alternative to sunsetting 
the NSI rule. While Commission rules generally require CMRS providers 
to forward all 911 calls to PSAPs, including calls from NSI devices, 
they do not prohibit CMRS providers from blocking fraudulent 911 calls 
pursuant to applicable state and local law enforcement procedures. 
Nevertheless, the Petition asserted that CMRS providers refuse to honor 
PSAP blocking requests due to technical and legal concerns. In response 
to the Notice of Inquiry, many commenters--both CMRS provider and 
public safety--cited technical and legal problems that continue to make 
blocking calls difficult.
    38. In the Notice of Inquiry, the Commission requested comment on 
two other alternative approaches to address the problem of fraudulent 
911 calls from NSI devices: (1) Implementing call-back capabilities for 
NSI devices, and (2) requiring CMRS provider-sponsored device donation 
programs to provide service-initialized devices. The Commission seeks 
further comment on the relative costs and benefits of these proposals 
as alternatives to sunsetting the NSI rule.

IV. Procedural Matter

F. Ex Parte Presentations

    39. The proceedings initiated by this NPRM shall be treated as 
``permit-but-disclose'' proceedings in accordance with the Commission's 
ex parte rules. Persons making ex parte presentations must file a copy 
of any written presentation or a memorandum summarizing any oral 
presentation within two business days after the presentation (unless a 
different deadline applicable to the Sunshine period applies). Persons 
making oral ex parte presentations are reminded that memoranda 
summarizing the presentation must: (1) List all persons attending or 
otherwise participating in the meeting at which the ex parte 
presentation was made; and (2) summarize all data presented and 
arguments made during the presentation. If the presentation consisted 
in whole or in part of the presentation of data or arguments already 
reflected in the presenter's written comments, memoranda, or other 
filings in the proceeding, the presenter may provide citations to such 
data or arguments in his or her prior comments, memoranda, or other 
filings (specifying the relevant page and/or paragraph numbers where 
such data or arguments can be found) in lieu of summarizing them in the 
memorandum. Documents shown or given to Commission staff during ex 
parte meetings are deemed to be written ex parte presentations and must 
be filed consistent with rule 1.1206(b). In proceedings governed by 
rule 1.49(f) or for which the Commission has made available a method of 
electronic filing, written ex parte presentations and memoranda 
summarizing oral ex parte presentations, and all attachments thereto, 
must be filed through the electronic comment filing system available 
for that proceeding, and must be filed in their native format (e.g., 
.doc, .xml, .ppt, searchable .pdf). Participants in this proceeding 
should familiarize themselves with the Commission's ex parte rules.

G. Comment Filing Procedures

    40. Pursuant to sections 1.415 and 1.419 of the Commission's rules, 
47 CFR 1.415, 1.419, interested parties may file comments and reply 
comments in response to this NPRM on or before the dates indicated on 
the first page of this document. Comments may be filed using the 
Commission's Electronic Comment Filing System (ECFS). See Electronic 
Filing of Documents in Rulemaking Proceedings, 63 FR 24121 (1998).
    [ssquf] Electronic Filers: Comments may be filed electronically 
using the Internet by accessing the ECFS: http://fjallfoss.fcc.gov/ecfs2/.
    [ssquf] Paper Filers: Parties that choose to file by paper must 
file an original and one copy of each filing. If more than one docket 
or rulemaking number appears in the caption of this proceeding, filers 
must submit two additional copies for each additional docket or 
rulemaking number.
    Filings can be sent by hand or messenger delivery, by commercial 
overnight courier, or by first-class or overnight U.S. Postal Service 
mail. All filings must be addressed to the Commission's Secretary, 
Office of the Secretary, Federal Communications Commission.
    [ssquf] All hand-delivered or messenger-delivered paper filings for 
the Commission's Secretary must be delivered to FCC Headquarters at 445 
12th St. SW., Room TW-A325, Washington, DC 20554. The filing hours are 
8:00 a.m. to 7:00 p.m. All hand deliveries must be held together with 
rubber bands or fasteners. Any envelopes and boxes must be disposed of 
before entering the building.
    [ssquf] Commercial overnight mail (other than U.S. Postal Service 
Express Mail

[[Page 25984]]

and Priority Mail) must be sent to 9300 East Hampton Drive, Capitol 
Heights, MD 20743. U.S. Postal Service first-class, Express, and 
Priority mail must be addressed to 445 12th Street SW., Washington, DC 
20554.

H. Accessible Formats

    41. To request materials in accessible formats for people with 
disabilities (braille, large print, electronic files, audio format), 
send an email to fcc504@fcc.gov or call the Consumer & Governmental 
Affairs Bureau at 202-418-0530 (voice), 202-418-0432 (TTY).

I. Regulatory Flexibility Analysis

    42. An Initial Regulatory Flexibility Analysis (IRFA) of the 
possible significant economic impact on small entities of the policies 
and rules addressed in this document is located under section titled 
Initial Regulatory Flexibility Analysis. Written public comments are 
requested in the IRFA. These comments must be filed in accordance with 
the same filing deadlines as comments filed in response to this NPRM as 
set forth on the first page of this document, and have a separate and 
distinct heading designating them as responses to the IRFA.

J. Paperwork Reduction Act Analysis

    43. This document contains proposed new information collection 
requirements. The Commission, as part of its continuing effort to 
reduce paperwork burdens, invites the general public and the Office of 
Management and Budget (OMB) to comment on the information collection 
requirements contained in this document, as required by Paperwork 
Reduction Act of 1995 (PRA), Public Law 104-13. In addition, pursuant 
to the Small Business Paperwork Relief Act of 2002, the Commission 
seeks specific comment on how it might further reduce the information 
collection burden for small business concerns with fewer than 25 
employees.

V. Initial Regulatory Flexibility Analysis

    44. As required by the Regulatory Flexibility Act of 1980, as 
amended (RFA), the Commission has prepared this present Initial 
Regulatory Flexibility Analysis (IRFA) of the possible significant 
economic impact of the proposal described in the attached Notice of 
Proposed Rulemaking on small entities. Written public comments are 
requested on this IRFA. Comments must be identified as responses to the 
IRFA and must be filed by the deadlines for comments in the Notice of 
Proposed Rulemaking. The Commission will send a copy of the Notice of 
Proposed Rulemaking, including this IRFA, to the Chief Counsel for 
Advocacy of the Small Business Administration (SBA). In addition, the 
Notice of Proposed Rulemaking and IRFA (or summaries thereof) will be 
published in the Federal Register.

A. Need for, and Objectives of, the Proposed Rules

    45. In this NPRM, we address regulatory concerns raised by non-
service initialized (NSI) devices. The Commission's rules require 
commercial mobile radio service (CMRS) providers subject to the 911 
rules to transmit all wireless 911 calls, including those originated 
from ``non-service-initialized'' (NSI) devices, to Public Safety 
Answering Points (PSAPs). A NSI device is a mobile device for which 
there is no valid service contract with a CMRS provider. Examples of 
NSI devices include prepaid cell phones with expired minutes, devices 
under an expired contract, donated cell phones, and ``911-only'' 
devices that are configured solely to make emergency calls. NSI devices 
by their nature have no associated subscriber name and address, and do 
not provide Automatic Number Identification (ANI) or call-back 
features. As a result, when a caller uses a NSI device to call 911, the 
PSAP typically cannot identify the caller.
    46. While the 911 calling capability of NSI devices initially 
provided significant public safety benefits by increasing the public's 
access to 911, those benefits have greatly decreased due to changed 
call validation methods and the increase in low-cost options for 
wireless services. Moreover, the inability of PSAPs to identify the 
caller on an NSI device creates significant difficulty for them when a 
caller uses a NSI device to place fraudulent non-emergency calls to the 
PSAP. Numerous PSAPs around the nation have reported that fraudulent 
and harassing calls from NSI devices are a persistent and significant 
problem that requires action. In February 2008, a group of public 
safety entities filed a petition requesting that the Commission examine 
the issue. In response to the petition, the Commission adopted a Notice 
of Inquiry in April 2008 to enhance our understanding of fraudulent and 
harassing 911 calls made from NSI devices and to explore potential 
solutions.
    47. In this NPRM, the Commission proposes to sunset the NSI rule 
after a six month transition period that will allow for public outreach 
and education. It also seeks comment on alternative approaches to 
addressing the issue of fraudulent calls from NSI devices.

B. Legal Basis

    48. The legal basis for any action that may be taken pursuant to 
this Notice of Proposed Rulemaking is contained in Sections 1, 4(i), 
4(j), 303(r) and 332 of the Communications Act of 1934, 47 U.S.C. 151, 
154(i), 154(j), 303(r), 332.

C. Description and Estimate of the Number of Small Entities to Which 
the Proposed Rules Would Apply

    49. The RFA directs agencies to provide a description of and, where 
feasible, an estimate of the number of small entities that may be 
affected by the proposed rules. The RFA generally defines the term 
``small entity'' as having the same meaning as the terms ``small 
business,'' ``small organization,'' and ``small governmental 
jurisdiction.'' In addition, the term ``small business'' has the same 
meaning as the term ``small business concern'' under the Small Business 
Act. A small business concern is one which: (1) Is independently owned 
and operated; (2) is not dominant in its field of operation; and (3) 
satisfies any additional criteria established by the Small Business 
Administration (SBA).
    50. Small Businesses, Small Organizations, and Small Governmental 
Jurisdictions. Our action may, over time, affect small entities that 
are not easily categorized at present. We therefore describe here, at 
the outset, three comprehensive, statutory small entity size standards. 
First, nationwide, there are a total of approximately 27.5 million 
small businesses, according to the SBA. In addition, a ``small 
organization'' is generally any not-for-profit enterprise which is 
independently owned and operated and is not dominant in its field. 
Nationwide, as of 2007, there were approximately 1,621,315 small 
organizations. Finally, the term ``small governmental jurisdiction'' is 
defined generally as governments of cities, towns, townships, villages, 
school districts, or special districts, with a population of less than 
fifty thousand. Census Bureau data for 2011 indicate that there were 
89,476 local governmental jurisdictions in the United States. We 
estimate that, of this total, as many as 88, 506 entities may qualify 
as ``small governmental jurisdictions.'' Thus, we estimate that most 
governmental jurisdictions are small.

[[Page 25985]]

1. Telecommunications Service Entities
a. Wireless Telecommunications Service Providers
    51. Pursuant to 47 CFR 20.18(a), the Commission's 911 service 
requirements are only applicable to Commercial Mobile Radio Service 
(CMRS) providers, excluding mobile satellite service operators, to the 
extent that they: (1) Offer real-time, two way switched voice service 
that is interconnected with the public switched network; and (2) 
Utilize an in-network switching facility that enables the provider to 
reuse frequencies and accomplish seamless hand-offs of subscriber 
calls. These requirements are applicable to entities that offer voice 
service to consumers by purchasing airtime or capacity at wholesale 
rates from CMRS licensees.
    52. Below, for those services subject to auctions, we note that, as 
a general matter, the number of winning bidders that qualify as small 
businesses at the close of an auction does not necessarily represent 
the number of small businesses currently in service. Also, the 
Commission does not generally track subsequent business size unless, in 
the context of assignments or transfers, unjust enrichment issues are 
implicated.
    53. Wireless Telecommunications Carriers (except Satellite). Since 
2007, the Census Bureau has placed wireless firms within this new, 
broad, economic census category. Prior to that time, such firms were 
within the now-superseded categories of ``Paging'' and ``Cellular and 
Other Wireless Telecommunications.'' Under the present and prior 
categories, the SBA has deemed a wireless business to be small if it 
has 1,500 or fewer employees. For the category of Wireless 
Telecommunications Carriers (except Satellite), Census data for 2007, 
which supersede data contained in the 2002 Census, show that there were 
1,383 firms that operated that year. Of those 1,383, 1,368 had fewer 
than 100 employees, and 15 firms had more than 100 employees. Thus 
under this category and the associated small business size standard, 
the majority of firms can be considered small.
    54. Wireless Service Providers. The SBA has developed a small 
business size standard for wireless firms within the two broad economic 
census categories of ``Paging'' and ``Cellular and Other Wireless 
Telecommunications.'' Under both categories, the SBA deems a wireless 
business to be small if it has 1,500 or fewer employees. For the census 
category of Paging, Census Bureau data for 2002 show that there were 
807 firms in this category that operated for the entire year. Of this 
total, 804 firms had employment of 999 or fewer employees, and three 
firms had employment of 1,000 employees or more. Thus, under this 
category and associated small business size standard, the majority of 
firms can be considered small. For the census category of Cellular and 
Other Wireless Telecommunications, Census Bureau data for 2002 show 
that there were 1,397 firms in this category that operated for the 
entire year. Of this total, 1,378 firms had employment of 999 or fewer 
employees, and 19 firms had employment of 1,000 employees or more. 
Thus, under this second category and size standard, the majority of 
firms can, again, be considered small.
    55. Incumbent Local Exchange Carriers (Incumbent LECs). Neither the 
Commission nor the SBA has developed a small business size standard 
specifically for incumbent local exchange services. The appropriate 
size standard under SBA rules is for the category Wired 
Telecommunications Carriers. Under that size standard, such a business 
is small if it has 1,500 or fewer employees. Census Bureau data for 
2007, which now supersede data from the 2002 Census, show that there 
were 3,188 firms in this category that operated for the entire year. Of 
this total, 3,144 had employment of 999 or fewer, and 44 firms had had 
employment of 1000 or more. According to Commission data, 1,307 
carriers reported that they were incumbent local exchange service 
providers. Of these 1,307 carriers, an estimated 1,006 have 1,500 or 
fewer employees and 301 have more than 1,500 employees. Consequently, 
the Commission estimates that most providers of local exchange service 
are small entities that may be affected by the rules and policies 
proposed in the Notice. Thus under this category and the associated 
small business size standard, the majority of these incumbent local 
exchange service providers can be considered small.
    56. A Competitive Local Exchange Carriers (Competitive LECs), 
Competitive Access Providers (CAPs), Shared-Tenant Service Providers, 
and Other Local Service Providers. Neither the Commission nor the SBA 
has developed a small business size standard specifically for these 
service providers. The appropriate size standard under SBA rules is for 
the category Wired Telecommunications Carriers. Under that size 
standard, such a business is small if it has 1,500 or fewer employees. 
Census Bureau data for 2007, which now supersede data from the 2002 
Census, show that there were 3,188 firms in this category that operated 
for the entire year. Of this total, 3,144 had employment of 999 or 
fewer, and 44 firms had had employment of 1,000 employees or more. Thus 
under this category and the associated small business size standard, 
the majority of these Competitive LECs, CAPs, Shared-Tenant Service 
Providers, and Other Local Service Providers can be considered small 
entities. According to Commission data, 1,442 carriers reported that 
they were engaged in the provision of either competitive local exchange 
services or competitive access provider services. Of these 1,442 
carriers, an estimated 1,256 have 1,500 or fewer employees and 186 have 
more than 1,500 employees. In addition, 17 carriers have reported that 
they are Shared-Tenant Service Providers, and all 17 are estimated to 
have 1,500 or fewer employees. In addition, 72 carriers have reported 
that they are Other Local Service Providers. Of the 72, seventy have 
1,500 or fewer employees and two have more than 1,500 employees. 
Consequently, the Commission estimates that most providers of 
competitive local exchange service, competitive access providers, 
Shared-Tenant Service Providers, and Other Local Service Providers are 
small entities that may be affected by rules adopted pursuant to the 
Notice.
    57. Broadband Personal Communications Service. The broadband 
personal communications services (PCS) spectrum is divided into six 
frequency blocks designated A through F, and the Commission has held 
auctions for each block. The Commission initially defined a ``small 
business'' for C- and F-Block licenses as an entity that has average 
gross revenues of $40 million or less in the three previous calendar 
years. For F-Block licenses, an additional small business size standard 
for ``very small business'' was added and is defined as an entity that, 
together with its affiliates, has average gross revenues of not more 
than $15 million for the preceding three calendar years. These small 
business size standards, in the context of broadband PCS auctions, have 
been approved by the SBA. No small businesses within the SBA-approved 
small business size standards bid successfully for licenses in Blocks A 
and B. There were 90 winning bidders that claimed small business status 
in the first two C-Block auctions. A total of 93 bidders that claimed 
small business status won approximately 40 percent of the 1,479 
licenses in the first auction for the D, E, and F Blocks. On April 15, 
1999, the Commission completed the reauction of 347 C-, D-, E-, and F-
Block licenses in Auction No. 22. Of the

[[Page 25986]]

57 winning bidders in that auction, 48 claimed small business status 
and won 277 licenses.
    58. On January 26, 2001, the Commission completed the auction of 
422 C and F Block Broadband PCS licenses in Auction No. 35. Of the 35 
winning bidders in that auction, 29 claimed small business status. 
Subsequent events concerning Auction 35, including judicial and agency 
determinations, resulted in a total of 163 C and F Block licenses being 
available for grant. On February 15, 2005, the Commission completed an 
auction of 242 C-, D-, E-, and F-Block licenses in Auction No. 58. Of 
the 24 winning bidders in that auction, 16 claimed small business 
status and won 156 licenses. On May 21, 2007, the Commission completed 
an auction of 33 licenses in the A, C, and F Blocks in Auction No. 71. 
Of the 12 winning bidders in that auction, five claimed small business 
status and won 18 licenses. On August 20, 2008, the Commission 
completed the auction of 20 C-, D-, E-, and F-Block Broadband PCS 
licenses in Auction No. 78. Of the eight winning bidders for Broadband 
PCS licenses in that auction, six claimed small business status and won 
14 licenses.
    59. Narrowband Personal Communications Services. To date, two 
auctions of narrowband personal communications services (PCS) licenses 
have been conducted. For purposes of the two auctions that have already 
been held, ``small businesses'' were entities with average gross 
revenues for the prior three calendar years of $40 million or less. 
Through these auctions, the Commission has awarded a total of 41 
licenses, out of which 11 were obtained by small businesses. To ensure 
meaningful participation of small business entities in future auctions, 
the Commission has adopted a two-tiered small business size standard in 
the Narrowband PCS Second Report and Order. A ``small business'' is an 
entity that, together with affiliates and controlling interests, has 
average gross revenues for the three preceding years of not more than 
$40 million. A ``very small business'' is an entity that, together with 
affiliates and controlling interests, has average gross revenues for 
the three preceding years of not more than $15 million. The SBA has 
approved these small business size standards.
    60. Specialized Mobile Radio. The Commission awards ``small 
entity'' bidding credits in auctions for Specialized Mobile Radio (SMR) 
geographic area licenses in the 800 MHz and 900 MHz bands to firms that 
had revenues of no more than $15 million in each of the three previous 
calendar years. The Commission awards ``very small entity'' bidding 
credits to firms that had revenues of no more than $3 million in each 
of the three previous calendar years. The SBA has approved these small 
business size standards for the 900 MHz Service. The Commission has 
held auctions for geographic area licenses in the 800 MHz and 900 MHz 
bands. The 900 MHz SMR was completed in 1996. Sixty bidders claiming 
that they qualified as small businesses under the $15 million size 
standard won 263 geographic area licenses in the 900 MHz SMR band. The 
800 MHz SMR auction for the upper 200 channels was conducted in 1997. 
Ten bidders claiming that they qualified as small businesses under the 
$15 million size standard won 38 geographic area licenses for the upper 
200 channels in the 800 MHz SMR band. A second auction for the 800 MHz 
band was conducted in 2002 and included 23 BEA licenses. One bidder 
claiming small business status won five licenses.
    61. The auction of the 1,050 800 MHz SMR geographic area licenses 
for the General Category channels was conducted in 2000. Eleven bidders 
won 108 geographic area licenses for the General Category channels in 
the 800 MHz SMR band qualified as small businesses under the $15 
million size standard. In an auction completed in 2000, a total of 
2,800 Economic Area licenses in the lower 80 channels of the 800 MHz 
SMR service were awarded. Of the 22 winning bidders, 19 claimed ``small 
business'' status and won 129 licenses. Thus, combining all three 
auctions, 40 winning bidders for geographic licenses in the 800 MHz SMR 
band claimed status as small business.
    62. In addition, there are numerous incumbent site-by-site SMR 
licensees and licensees with extended implementation authorizations in 
the 800 and 900 MHz bands. We do not know how many firms provide 800 
MHz or 900 MHz geographic area SMR pursuant to extended implementation 
authorizations, nor how many of these providers have annual revenues of 
no more than $15 million. One firm has over $15 million in revenues. In 
addition, we do not know how many of these firms have 1500 or fewer 
employees. We assume, for purposes of this analysis, that all of the 
remaining existing extended implementation authorizations are held by 
small entities, as that small business size standard is approved by the 
SBA.
    63. AWS Services (1710-1755 MHz and 2110-2155 MHz bands (AWS-1); 
1915-1920 MHz, 1995-2000 MHz, 2020-2025 MHz and 2175-2180 MHz bands 
(AWS-2); 2155-2175 MHz band (AWS-3)). For the AWS-1 bands, the 
Commission has defined a ``small business'' as an entity with average 
annual gross revenues for the preceding three years not exceeding $40 
million, and a ``very small business'' as an entity with average annual 
gross revenues for the preceding three years not exceeding $15 million. 
In 2006, the Commission conducted its first auction of AWS-1 licenses. 
In that initial AWS-1 auction, 31 winning bidders identified themselves 
as very small businesses. Twenty-six of the winning bidders identified 
themselves as small businesses. In a subsequent 2008 auction, the 
Commission offered 35 AWS-1 licenses. Four winning bidders identified 
themselves as very small businesses, and three of the winning bidders 
identified themselves as a small business. For AWS-2 and AWS-3, 
although we do not know for certain which entities are likely to apply 
for these frequencies, we note that the AWS-1 bands are comparable to 
those used for cellular service and personal communications service. 
The Commission has not yet adopted size standards for the AWS-2 or AWS-
3 bands but has proposed to treat both AWS-2 and AWS-3 similarly to 
broadband PCS service and AWS-1 service due to the comparable capital 
requirements and other factors, such as issues involved in relocating 
incumbents and developing markets, technologies, and services.
    64. Rural Radiotelephone Service. The Commission has not adopted a 
size standard for small businesses specific to the Rural Radiotelephone 
Service. A significant subset of the Rural Radiotelephone Service is 
the Basic Exchange Telephone Radio System (``BETRS''). In the present 
context, we will use the SBA's small business size standard applicable 
to Wireless Telecommunications Carriers (except Satellite), i.e., an 
entity employing no more than 1,500 persons. There are approximately 
1,000 licensees in the Rural Radiotelephone Service, and the Commission 
estimates that there are 1,000 or fewer small entity licensees in the 
Rural Radiotelephone Service that may be affected by the rules and 
policies adopted herein.
    65. Wireless Communications Services. This service can be used for 
fixed, mobile, radiolocation, and digital audio broadcasting satellite 
uses in the 2305-2320 MHz and 2345-2360 MHz bands. The Commission 
defined ``small business'' for the wireless communications services 
(WCS) auction

[[Page 25987]]

as an entity with average gross revenues of $40 million for each of the 
three preceding years, and a ``very small business'' as an entity with 
average gross revenues of $15 million for each of the three preceding 
years. The SBA has approved these definitions. The Commission auctioned 
geographic area licenses in the WCS service. In the auction, which 
commenced on April 15, 1997 and closed on April 25, 1997, there were 
seven bidders that won 31 licenses that qualified as very small 
business entities, and one bidder that won one license that qualified 
as a small business entity.
    66. 220 MHz Radio Service--Phase I Licensees. The 220 MHz service 
has both Phase I and Phase II licenses. Phase I licensing was conducted 
by lotteries in 1992 and 1993. There are approximately 1,515 such non-
nationwide licensees and four nationwide licensees currently authorized 
to operate in the 220 MHz band. The Commission has not developed a 
small business size standard for small entities specifically applicable 
to such incumbent 220 MHz Phase I licensees. To estimate the number of 
such licensees that are small businesses, the Commission applies the 
small business size standard under the SBA rules applicable. The SBA 
has deemed a wireless business to be small if it has 1,500 or fewer 
employees. For this service, the SBA uses the category of Wireless 
Telecommunications Carriers (except Satellite). Census data for 2007, 
which supersede data contained in the 2002 Census, show that there were 
1,383 firms that operated that year. Of those 1,383, 1,368 had fewer 
than 100 employees, and 15 firms had more than 100 employees. Thus 
under this category and the associated small business size standard, 
the majority of firms can be considered small.
    67. 220 MHz Radio Service--Phase II Licensees. The 220 MHz service 
has both Phase I and Phase II licenses. The Phase II 220 MHz service is 
a new service, and is subject to spectrum auctions. In the 220 MHz 
Third Report and Order, the Commission adopted a small business size 
standard for defining ``small'' and ``very small'' businesses for 
purposes of determining their eligibility for special provisions such 
as bidding credits and installment payments. This small business 
standard indicates that a ``small business'' is an entity that, 
together with its affiliates and controlling principals, has average 
gross revenues not exceeding $15 million for the preceding three years. 
A ``very small business'' is defined as an entity that, together with 
its affiliates and controlling principals, has average gross revenues 
that do not exceed $3 million for the preceding three years. The SBA 
has approved these small size standards. Auctions of Phase II licenses 
commenced on and closed in 1998. In the first auction, 908 licenses 
were auctioned in three different-sized geographic areas: three 
nationwide licenses, 30 Regional Economic Area Group (EAG) Licenses, 
and 875 Economic Area (EA) Licenses. Of the 908 licenses auctioned, 693 
were sold. Thirty-nine small businesses won 373 licenses in the first 
220 MHz auction. A second auction included 225 licenses: 216 EA 
licenses and 9 EAG licenses. Fourteen companies claiming small business 
status won 158 licenses. A third auction included four licenses: 2 BEA 
licenses and 2 EAG licenses in the 220 MHz Service. No small or very 
small business won any of these licenses. In 2007, the Commission 
conducted a fourth auction of the 220 MHz licenses. Bidding credits 
were offered to small businesses. A bidder with attributed average 
annual gross revenues that exceeded $3 million and did not exceed $15 
million for the preceding three years (``small business'') received a 
25 percent discount on its winning bid. A bidder with attributed 
average annual gross revenues that did not exceed $3 million for the 
preceding three years received a 35 percent discount on its winning bid 
(``very small business''). Auction 72, which offered 94 Phase II 220 
MHz Service licenses, concluded in 2007. In this auction, five winning 
bidders won a total of 76 licenses. Two winning bidders identified 
themselves as very small businesses won 56 of the 76 licenses. One of 
the winning bidders that identified themselves as a small business won 
5 of the 76 licenses won.
    68. 700 MHz Guard Band Licenses. In the 700 MHz Guard Band Order, 
the Commission adopted size standards for ``small businesses'' and 
``very small businesses'' for purposes of determining their eligibility 
for special provisions such as bidding credits and installment 
payments. A small business in this service is an entity that, together 
with its affiliates and controlling principals, has average gross 
revenues not exceeding $40 million for the preceding three years. 
Additionally, a ``very small business'' is an entity that, together 
with its affiliates and controlling principals, has average gross 
revenues that are not more than $15 million for the preceding three 
years. SBA approval of these definitions is not required. In 2000, the 
Commission conducted an auction of 52 Major Economic Area (``MEA'') 
licenses. Of the 104 licenses auctioned, 96 licenses were sold to nine 
bidders. Five of these bidders were small businesses that won a total 
of 26 licenses. A second auction of 700 MHz Guard Band licenses 
commenced and closed in 2001. All eight of the licenses auctioned were 
sold to three bidders. One of these bidders was a small business that 
won a total of two licenses.
    69. Upper 700 MHz Band Licenses. In the 700 MHz Second Report and 
Order, the Commission revised its rules regarding Upper 700 MHz 
licenses. On January 24, 2008, the Commission commenced Auction 73 in 
which several licenses in the Upper 700 MHz band were available for 
licensing: 12 Regional Economic Area Grouping licenses in the C Block, 
and one nationwide license in the D Block. The auction concluded on 
March 18, 2008, with 3 winning bidders claiming very small business 
status (those with attributable average annual gross revenues that do 
not exceed $15 million for the preceding three years) and winning five 
licenses.
    70. Lower 700 MHz Band Licenses. The Commission previously adopted 
criteria for defining three groups of small businesses for purposes of 
determining their eligibility for special provisions such as bidding 
credits. The Commission defined a ``small business'' as an entity that, 
together with its affiliates and controlling principals, has average 
gross revenues not exceeding $40 million for the preceding three years. 
A ``very small business'' is defined as an entity that, together with 
its affiliates and controlling principals, has average gross revenues 
that are not more than $15 million for the preceding three years. 
Additionally, the lower 700 MHz Service had a third category of small 
business status for Metropolitan/Rural Service Area (MSA/RSA) 
licenses--``entrepreneur''--which is defined as an entity that, 
together with its affiliates and controlling principals, has average 
gross revenues that are not more than $3 million for the preceding 
three years. The SBA approved these small size standards. An auction of 
740 licenses (one license in each of the 734 MSAs/RSAs and one license 
in each of the six Economic Area Groupings (EAGs)) was conducted in 
2002. Of the 740 licenses available for auction, 484 licenses were won 
by 102 winning bidders. Seventy-two of the winning bidders claimed 
small business, very small business or entrepreneur status and won 
licenses. A second auction commenced on May 28, 2003, closed on June 
13, 2003, and included 256 licenses. Seventeen winning bidders claimed 
small or very small business status, and nine winning bidders claimed 
entrepreneur status. In 2005,

[[Page 25988]]

the Commission completed an auction of 5 licenses in the Lower 700 MHz 
band. All three winning bidders claimed small business status.
    71. In 2007, the Commission reexamined its rules governing the 700 
MHz band in the 700 MHz Second Report and Order. An auction of A, B and 
E block 700 MHz licenses was held in 2008. Twenty winning bidders 
claimed small business status (those with attributable average annual 
gross revenues that exceed $15 million and do not exceed $40 million 
for the preceding three years). Thirty three winning bidders claimed 
very small business status (those with attributable average annual 
gross revenues that do not exceed $15 million for the preceding three 
years).
    72. Offshore Radiotelephone Service. This service operates on 
several UHF television broadcast channels that are not used for 
television broadcasting in the coastal areas of states bordering the 
Gulf of Mexico. There are presently approximately 55 licensees in this 
service. The Commission is unable to estimate at this time the number 
of licensees that would qualify as small under the SBA's small business 
size standard for the category of Wireless Telecommunications Carriers 
(except Satellite). Under that standard. Under that SBA small business 
size standard, a business is small if it has 1,500 or fewer employees. 
Census data for 2007, which supersede data contained in the 2002 
Census, show that there were 1,383 firms that operated that year. Of 
those 1,383, 1,368 had fewer than 100 employees, and 15 firms had more 
than 100 employees. Thus under this category and the associated small 
business size standard, the majority of firms can be considered small.
    73. Wireless Telephony. Wireless telephony includes cellular, 
personal communications services, and specialized mobile radio 
telephony carriers. As noted, the SBA has developed a small business 
size standard for Wireless Telecommunications Carriers (except 
Satellite). Under the SBA small business size standard, a business is 
small if it has 1,500 or fewer employees. According to Trends in 
Telephone Service data, 413 carriers reported that they were engaged in 
wireless telephony. Of these, an estimated 261 have 1,500 or fewer 
employees and 152 have more than 1,500 employees. Therefore, more than 
half of these entities can be considered small.
    74. Satellite Telecommunications Providers. Two economic census 
categories address the satellite industry. The first category has a 
small business size standard of $15 million or less in average annual 
receipts, under SBA rules. The second has a size standard of $25 
million or less in annual receipts.
    75. The category of Satellite Telecommunications ``comprises 
establishments primarily engaged in providing telecommunications 
services to other establishments in the telecommunications and 
broadcasting industries by forwarding and receiving communications 
signals via a system of satellites or reselling satellite 
telecommunications.'' Census Bureau data for 2007 show that 512 
Satellite Telecommunications firms that operated for that entire year. 
Of this total, 464 firms had annual receipts of under $10 million, and 
18 firms had receipts of $10 million to $24,999,999. Consequently, the 
Commission estimates that the majority of Satellite Telecommunications 
firms are small entities that might be affected by our action.
    76. The second category, i.e. ``All Other Telecommunications,'' 
comprises ``establishments primarily engaged in providing specialized 
telecommunications services, such as satellite tracking, communications 
telemetry, and radar station operation. This industry also includes 
establishments primarily engaged in providing satellite terminal 
stations and associated facilities connected with one or more 
terrestrial systems and capable of transmitting telecommunications to, 
and receiving telecommunications from, satellite systems. 
Establishments providing Internet services or Voice over Internet 
Protocol (VoIP) services via client-supplied telecommunications 
connections are also included in this industry.'' For this category, 
Census Bureau data for 2007 show that there were a total of 2,383 firms 
that operated for the entire year. Of this total, 2,346 firms had 
annual receipts of under $25 million and 37 firms had annual receipts 
of $25 million to $49,999,999. Consequently, the Commission estimates 
that the majority of All Other Telecommunications firms are small 
entities that might be affected by our action.
b. Equipment Manufacturers
    77. Radio and Television Broadcasting and Wireless Communications 
Equipment Manufacturing. The Census Bureau defines this category as 
follows: ``This industry comprises establishments primarily engaged in 
manufacturing radio and television broadcast and wireless 
communications equipment. Examples of products made by these 
establishments are: transmitting and receiving antennas, cable 
television equipment, GPS equipment, pagers, cellular phones, mobile 
communications equipment, and radio and television studio and 
broadcasting equipment.'' The SBA has developed a small business size 
standard for Radio and Television Broadcasting and Wireless 
Communications Equipment Manufacturing which is: all such firms having 
750 or fewer employees. According to Census Bureau data for 2007, there 
were a total of 939 establishments in this category that operated for 
part or all of the entire year. Of this total, 784 had less than 500 
employees and 155 had more than 100 employees. Thus, under this size 
standard, the majority of firms can be considered small.
    78. Semiconductor and Related Device Manufacturing. These 
establishments manufacture computer storage devices that allow the 
storage and retrieval of data from a phase change, magnetic, optical, 
or magnetic/optical media. The SBA has developed a small business size 
standard for this category of manufacturing; that size standard is 500 
or fewer employees storage and retrieval of data from a phase change, 
magnetic, optical, or magnetic/optical media. According to data from 
the 2007 U.S. Census, in 2007, there were 954 establishments engaged in 
this business. Of these, 545 had from 1 to 19 employees; 219 had from 
20 to 99 employees; and 190 had 100 or more employees. Based on this 
data, the Commission concludes that the majority of the businesses 
engaged in this industry are small.

D. Description of Projected Reporting, Recordkeeping, and Other 
Compliance Requirements for Small Entities

    79. The Notice of Proposed Rulemaking does not propose any 
recordkeeping or reporting requirements.

E. Steps Taken To Minimize Significant Economic Impact on Small 
Entities, and Significant Alternatives Considered

    80. The RFA requires an agency to describe any significant, 
specifically small business alternatives that it has considered in 
reaching its proposed approach, which may include the following four 
alternatives (among others): (1) The establishment of differing 
compliance or reporting requirements or timetables that take into 
account the resources available to small entities; (2) the 
clarification, consolidation, or simplification of compliance or 
reporting requirements under the rule for small entities; (3) the use 
of performance, rather than design,

[[Page 25989]]

standards; and (4) and exemption from coverage of the rule, or any part 
thereof, for small entities.
    81. The Notice of Proposed Rulemaking proposes sunsetting the NSI 
rule after a six-month transition period, as well as seeking comment on 
a variety of possible alternatives to addressing the issue of 
fraudulent calls from NSI handsets. Because sunsetting the NSI rule 
will remove certain call-forwarding obligations on small entities, it 
is likely the method that would impose the least costs on these small 
entities.

F. Federal Rules That May Duplicate, Overlap, or Conflict With the 
Proposed Rules

    82. None.

VI. Ordering Clause

    83. The Federal Communications Commission ADOPTS, pursuant to 
Sections 1, 4(i), 4(j), 303(r) and 332 of the Communications Act of 
1934, 47 U.S.C. 151, 154(i), 154(j), 303(r), 332, this Notice of 
Proposed Rulemaking.
    84. It is further ORDERED that the Commission's Consumer and 
Governmental Affairs Bureau, Reference Information Center, SHALL SEND a 
copy of this Notice of Proposed Rulemaking, including the Initial 
Regulatory Flexibility Analysis, to the Chief Counsel for Advocacy of 
the Small Business Administration.

List of Subjects in 47 CFR Part 20

    Communications common carriers, Communications equipment.

Federal Communications Commission.
Marlene H. Dortch,
Secretary.

Proposed Rules

    For the reasons discussed in the preamble, the Federal 
Communications Commission proposes to amend 47 part 20 as follows:

PART 20--COMMERCIAL MOBILE RADIO SERVICES

0
1. The authority citation for part 20 continues to read:

    Authority: 47 U.S.C. 151, 152(a), 154(i), 157, 160, 201, 214, 
222, 251(e), 301, 302, 303, 303(b), 303(r), 307, 307(a), 309, 
309(j)(3), 316, 316(a), 332, 615, 615a, 615b, 615c.

0
2. Section 20.18 is amended by revising paragraph (b) and adding 
paragraph (o)(4), to read as follows:


Sec.  20.18  911 Service.

* * * * *
    (b) Basic 911 Service. CMRS providers subject to this section must 
transmit all wireless 911 calls without respect to their call 
validation process to a Public Safety Answering Point, or, where no 
Public Safety Answering Point has been designated, to a designated 
statewide default answering point or appropriate local emergency 
authority pursuant to Sec.  64.3001 of this chapter, provided that 
``all wireless 911 calls'' is defined as ``any call initiated by a 
wireless user dialing 911 on a phone using a compliant radio frequency 
protocol of the serving carrier.'' After [insert date six months from 
the effective date of the Order], the requirements of this section will 
no longer apply to calls from non-service-initialized handsets as 
defined in paragraph (o)(3)(i) of this section.
* * * * *
    (o) * * *
    (4) Sunset. The requirements of this paragraph shall cease to be 
effective [insert date six months from the effective date of the 
Order].
* * * * *
[FR Doc. 2015-10472 Filed 5-5-15; 8:45 am]
 BILLING CODE 6712-01-P



                                                                        Federal Register / Vol. 80, No. 87 / Wednesday, May 6, 2015 / Proposed Rules                                                  25977

                                                development of natural gas, a section                   of flowback produced during the                       qualifying income under these proposed
                                                7704(d)(1)(E) activity, X’s income from water           development of natural gas, and this training         regulations.
                                                delivery services may be qualifying income              is of limited utility other than to perform or
                                                for purposes of section 7704(c) if the water            support the development of natural gas. The           John Dalrymple,
                                                delivery service is an intrinsic activity as            provision of water is also specialized because        Deputy Commissioner for Services and
                                                provided in paragraph (d) of this section. An           water is an injectant used to perform a               Enforcement.
                                                activity is an intrinsic activity if the activity       section 7704(d)(1)(E) activity, and X also            [FR Doc. 2015–10592 Filed 5–5–15; 8:45 am]
                                                is specialized to narrowly support the section          collects and treats flowback in accordance
                                                                                                                                                              BILLING CODE 4830–01–P
                                                7704(d)(1)(E) activity, is essential to the             with state regulations as part of its water
                                                completion of the section 7704(d)(1)(E)                 delivery services. Therefore, X meets the
                                                activity, and requires the provision of                 specialized requirement. The delivery of
                                                significant services to support the section             water is essential to support A’s development         FEDERAL COMMUNICATIONS
                                                7704(d)(1)(E) activity. Under paragraph                 activity because the water is needed for use          COMMISSION
                                                (d)(2)(ii)(B) of this section, the provision of         in fracturing to develop A’s natural gas
                                                water used in a section 7704(d)(1)(E) activity          reserve in a cost-efficient manner. Finally,          47 CFR Part 20
                                                is specialized to that activity only if the             the water delivery and recovery and
                                                partnership also collects and cleans, recycles,         recycling activities require significant              [PS Docket No. 08–51; FCC 15–43]
                                                or otherwise disposes of the water after use            services to support the development activity
                                                in accordance with federal, state, or local             because X’s personnel provide services
                                                                                                                                                              911 Call-Forwarding Requirements for
                                                regulations concerning waste products from              necessary for the partnership to perform the          Non-Service-Initialized Phones
                                                mining or production activities. Because X              support activity at the development site on
                                                does not collect and clean, recycle, or                                                                       AGENCY:  Federal Communications
                                                                                                        an ongoing or frequent basis that is consistent
                                                otherwise dispose of the delivered water after                                                                Commission.
                                                                                                        with best industry practices. Because X’s
                                                use, X’s water delivery activities are not              delivery of water and X’s collection,                 ACTION: Proposed rule.
                                                specialized to narrowly support the section             transport, and treatment of flowback is a
                                                7704(d)(1)(E) activity. Thus, X’s water                 specialized activity, is essential to the
                                                                                                                                                              SUMMARY:    The Commission seeks
                                                delivery is not an intrinsic activity.                  completion of a section 7704(d)(1)(E) activity,       comment on whether the obligation to
                                                Accordingly, X’s income from the delivery of            and requires significant services, the delivery       transmit 911 calls from non-service-
                                                water is not qualifying income for purposes             of water and the transport and treatment of           initialized (NSI) devices still serves an
                                                of section 7704(c).                                     flowback is an intrinsic activity. X’s income         important public safety objective.
                                                   Example 6. Delivery of water and recovery            from the delivery of water and the collection,        Because the cumbersome call validation
                                                and recycling of flowback. (i) Assume the               treatment, and transport of flowback is               methods extant when the rules were
                                                same facts as in Example 5, except that X also          qualifying income for purposes of section
                                                collects and treats flowback at the drilling
                                                                                                                                                              adopted in the late 1990s are no longer
                                                                                                        7704(c).                                              in use, and because of the current
                                                site in accordance with state regulations as
                                                part of its water delivery services and                    (f) Proposed Effective/Applicability               ubiquity of low-cost options for wireless
                                                transports the treated flowback away from               Date and Transition Rule—(i) Except as                services, the Commission proposes to
                                                the site. In connection with these services, X          provided in paragraph (f)(ii) of this                 sunset the obligation to transmit 911
                                                provides personnel to perform these services            section, this section is proposed to                  calls from an NSI device within six
                                                on an ongoing or frequent basis that is                 apply to income earned by a partnership               month, accompanied by consumer
                                                consistent with best industry practices. X has          in a taxable year beginning on or after               outreach and education. Public safety
                                                provided these personnel with specialized               the date these regulations are published              representatives have indicated that NSI
                                                training regarding the recovery and recycling
                                                of flowback produced during the
                                                                                                        as final regulations in the Federal                   devices are frequently used to make
                                                development of natural gas, and this training           Register. Paragraph (f)(ii) of this section           fraudulent or otherwise non-emergency
                                                is of limited utility other than to perform or          applies during the Transition Period,                 calls, causing a significant waste of
                                                support the development of natural gas.                 which ends on the last day of the                     limited public safety resources.
                                                   (ii) The income X obtains from its water             partnership’s taxable year that includes              DATES: Submit comments on or before
                                                delivery services is not a section                      the date that is ten years after the date             June 5, 2015 and reply comments by
                                                7704(d)(1)(E) activity as provided in                   that these regulations are published as               July 6, 2015. Written comments on the
                                                paragraph (d) of this section. However,                 final regulations in the Federal Register.            Paperwork Reduction Act proposed
                                                because X’s water delivery supports A’s
                                                                                                           (ii) A partnership may treat income                information collection requirements
                                                development of natural gas, a section
                                                7704(d)(1)(E) activity, X’s income from water           from an activity as qualifying income                 must be submitted by the public, Office
                                                delivery services may be qualifying income              during the Transition Period if:                      of Management and Budget (OMB), and
                                                for purposes of section 7704(c) if the water               (A) The partnership received a private             other interested parties on or before July
                                                delivery service is an intrinsic activity as            letter ruling from the IRS holding that               6, 2015.
                                                provided in paragraph (d) of this section.              the income from that activity is                      ADDRESSES: Submit comments to the
                                                   (iii) An activity is an intrinsic activity if        qualifying income;                                    Federal Communications Commission,
                                                the activity is specialized to narrowly                    (B) Prior to May 6, 2015, the                      445 12th Street SW., Washington, DC
                                                support the section 7704(d)(1)(E) activity, is
                                                                                                        partnership was publicly traded,                      20554. Comments may be submitted
                                                essential to the completion of the section
                                                7704(d)(1)(E) activity, and requires the                engaged in the activity, and treated the              electronically through the Federal
                                                provision of significant services to support            activity as giving rise to qualifying                 Communications Commission’s Web
                                                the section 7704(d)(1)(E) activity. Under               income under section 7704(d)(1)(E), and               site: http://apps.fcc.gov/ecfs//. In
                                                paragraph (d)(2)(ii)(B) of this section, the            that income was qualifying income                     addition to filing comments with the
                                                provision of water used in a section                    under the statute as reasonably                       Secretary, a copy of any comments on
                                                7704(d)(1)(E) activity is specialized to that           interpreted prior to the issuance of these
tkelley on DSK3SPTVN1PROD with PROPOSALS




                                                                                                                                                              the Paperwork Reduction Act
                                                activity only if the partnership also collects          proposed regulations; or                              information collection requirements
                                                and cleans, recycles, or otherwise disposes of
                                                                                                           (C) The partnership is publicly traded             contained herein should be submitted to
                                                the water after use in accordance with
                                                federal, state, or local regulations concerning         and engages in the activity after May 6,              the Federal Communications
                                                waste products from mining or production                2015 but before the date these                        Commission via email to PRA@fcc.gov.
                                                activities. X’s provision of personnel is               regulations are published as final                    For detailed instructions for submitting
                                                specialized because those personnel received            regulations in the Federal Register, and              comments and additional information
                                                training regarding the recovery and recycling           the income from that activity is                      on the rulemaking process, see the


                                           VerDate Sep<11>2014   18:29 May 05, 2015   Jkt 235001   PO 00000   Frm 00009   Fmt 4702   Sfmt 4702   E:\FR\FM\06MYP1.SGM   06MYP1


                                                25978                   Federal Register / Vol. 80, No. 87 / Wednesday, May 6, 2015 / Proposed Rules

                                                SUPPLEMENTARY INFORMATION             section of        addressed to 445 12th Street SW.,                     comment on alternative approaches to
                                                this document.                                          Washington, DC 20554.                                 addressing the issue of fraudulent calls
                                                FOR FURTHER INFORMATION CONTACT:                                                                              from NSI devices.
                                                                                                        Summary of the Notice of Proposed
                                                Michael E. Connelly, Attorney Advisor,                  Rulemaking                                            II. Background
                                                Public Safety and Homeland Security
                                                Bureau, (202) 418–0132 or                               I. Introduction                                       A. Adoption of the NSI Device
                                                michael.connelly@fcc.gov. For                              1. The Commission has a                            Requirement
                                                additional information concerning the                   longstanding commitment to ensuring                      3. In 1996, the Commission issued its
                                                Paperwork Reduction Act information                     access to 911 for the American public.                E911 First Report and Order, which
                                                collection requirements contained in                    In support of this objective, the                     required covered carriers (now defined
                                                this document, contact Nicole Ongele,                   Commission’s rules require commercial                 as CMRS providers) to transmit all 911
                                                (202) 418–2991, or send an email to                     mobile radio service (CMRS) providers                 calls from wireless mobile handsets that
                                                PRA@fcc.gov.                                            subject to the 911 rules to transmit all              transmit a code identification, without
                                                SUPPLEMENTARY INFORMATION: This is a                    wireless 911 calls without respect to                 requiring any user or call validation or
                                                summary of the Commission’s Notice of                   their call validation process. Thus, the              similar procedure. The Commission
                                                Proposed Rulemaking in PS Docket No.                    rule requires providers to transmit both              noted that user validation procedures,
                                                08–51, released on April 1, 2015. The                   911 calls originating from customers                  such as requiring a caller to provide
                                                full text of this document is available for             that have contracts with CMRS                         credit card information, could be long
                                                public inspection during regular                        providers and calls originating from                  and cumbersome, and that applying
                                                business hours in the FCC Reference                     ‘‘non-service-initialized’’ (NSI) devices             these procedures in emergencies could
                                                Center, Room CY–A257, 445 12th Street                   to Public Safety Answering Points                     thus cause a dangerous delay or
                                                SW., Washington, DC 20554, or online                    (PSAPs). An NSI device is a mobile                    interruption of the 911 assistance
                                                at http://www.fcc.gov/document/fcc-                     device for which there is no valid                    process and, effectively, the denial of
                                                seeks-comment-911-call-forwarding-                      service contract with any CMRS                        assistance in some cases. The
                                                requirements-nsi-phones. Parties may                    provider. As such, NSI devices have no                Commission also required covered
                                                file comments and reply comments in                     associated subscriber name and address,               carriers to comply with PSAP requests
                                                response to this Notice of Proposed                     and do not provide Automatic Number                   for transmission of 911 calls made
                                                Rulemaking (NPRM) on or before the                      Identification (ANI) or call-back                     without code identification. Even at the
                                                dates indicated on the first page of this               features. As a result, when a caller uses             time of adoption of the NSI requirement,
                                                document. Comments may be filed                         a NSI device to call 911, the PSAP                    however, the Commission recognized
                                                using the Commission’s Electronic                       typically cannot identify the caller.                 that there were disadvantages associated
                                                Comment Filing System (ECFS).                              2. In this Notice of Proposed                      with requiring all 911 calls to be
                                                   Electronic Filers: Comments may be                   Rulemaking (NPRM), the Commission                     processed without regard to evidence
                                                filed electronically using the Internet by              seeks comment on whether the                          that a call is emanating from an
                                                accessing the ECFS: http://apps.fcc.gov/                obligation to transmit 911 calls from NSI             authorized user of some CMRS provider.
                                                ecfs//.                                                 devices continues to serve an important               The Commission acknowledged that
                                                   Paper Filers: Parties that choose to file            public safety objective. A primary                    placing 911 calls from handsets without
                                                by paper must file an original and one                  rationale for the initial adoption of the             a code identification has significant
                                                copy of each filing. If more than one                   Commission’s rule in the late 1990s was               drawbacks, including the fact that ANI
                                                docket or rulemaking number appears in                  to expedite wireless calls to 911 that                and call back features may not be
                                                the caption of this proceeding, filers                  would otherwise have been delayed due                 usable, and hoax and false alarm calls
                                                must submit two additional copies for                   to lengthy call validation processes for              may be facilitated. The Commission
                                                each additional docket or rulemaking                    unidentified callers that were                        concluded, however, that public safety
                                                number. Filings can be sent by hand or                  commonly used at the time. In the                     organizations are in the best position to
                                                messenger delivery, by commercial                       nearly two decades since the rule was                 determine whether acceptance of calls
                                                overnight courier, or by first-class or                 adopted, however, the call validation                 without code identification would help
                                                overnight U.S. Postal Service mail. All                 methods of concern to the Commission                  or hinder their efforts.
                                                paper filings must be addressed to the                  are no longer in use. Moreover, the                      4. In response to several petitions for
                                                Commission’s Secretary, Office of the                   availability of low-cost options for                  reconsideration of the E911 First Report
                                                Secretary, Federal Communications                       wireless services has increased. These                and Order, the Commission issued a
                                                Commission. All hand-delivered or                       trends suggest that the NSI component                 stay of its rules and sought additional
                                                messenger-delivered paper filings for                   of the requirement is no longer                       comment. On the basis of the updated
                                                the Commission’s Secretary must be                      necessary to ensure that wireless callers             record on reconsideration, in 1997 the
                                                delivered to FCC Headquarters at 445                    have continued access to emergency                    Commission released its E911 First
                                                12th St. SW., Room TW–A325,                             services. Further, the inability to                   Memorandum Opinion and Order. In
                                                Washington, DC 20554. The filing hours                  identify the caller creates considerable              that order, the Commission determined
                                                are 8:00 a.m. to 7:00 p.m. All hand                     difficulty for PSAPs when a caller uses               that without applying validation
                                                deliveries must be held together with                   an NSI device to place fraudulent calls.              procedures, then-present technology
                                                rubber bands or fasteners. Any                          Public safety representatives have                    could not distinguish between code-
                                                envelopes and boxes must be disposed                    indicated that NSI devices are                        identified and non-code-identified
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                                                of before entering the building.                        frequently used to make such calls,                   handsets. Accordingly, the E911 First
                                                   Commercial overnight mail (other                     causing a significant waste of limited                Memorandum Opinion and Order
                                                than U.S. Postal Service Express Mail                   public safety resources. For these                    required carriers to forward all 911 calls
                                                and Priority Mail) must be sent to 9300                 reasons, the Commission proposes to                   whether or not they transmit a code
                                                East Hampton Drive, Capitol Heights,                    sunset the NSI component of the rule                  identification. The Commission also
                                                MD 20743.                                               after a six-month transition period that              found that PSAPs should be able to
                                                   U.S. Postal Service first-class,                     will allow for public outreach and                    screen out or identify many types of
                                                Express, and Priority mail must be                      education. The Commission also seeks                  fraudulent calls or those where call back


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                                                                        Federal Register / Vol. 80, No. 87 / Wednesday, May 6, 2015 / Proposed Rules                                           25979

                                                is not possible and also expressed the                  Association of Public-Safety                          providers, third-party vendors, and
                                                hope that PSAPs could implement call                    Communications Officials (APCO), and                  others.
                                                back technology for NSI devices.                        a software development firm
                                                   5. Since the adoption of the NSI                     (Petitioners), filed a petition for notice            C. 2013 Public Notice
                                                requirement, the Commission has been                    of inquiry (Petition) to address the                     10. In their comments to the Notice of
                                                aware of the continuing concern                         problem of non-emergency calls placed                 Inquiry, the Petitioners, including
                                                regarding fraudulent calls and the lack                 to 911 by NSI devices. The Petition
                                                of call-back capabilities associated with                                                                     NENA, argued in favor of retaining the
                                                                                                        contended that while the E911 Second
                                                NSI devices, and has taken various                                                                            NSI call-forwarding requirement on the
                                                                                                        Memorandum Opinion and Order
                                                measures to address this issue. In 2002,                                                                      grounds that the public relied on the
                                                                                                        achieved the goal of helping PSAPs
                                                the Commission required NSI handsets                                                                          fact that NSI devices are 911-capable
                                                                                                        identify when 911 calls are from NSI
                                                donated through carrier-sponsored                       devices, such calls continue to create                and that a significant number of calls to
                                                programs, as well as newly                              severe problems for PSAPs. The Petition               911 from NSI devices are legitimate.
                                                manufactured ‘‘911-only’’ devices, to be                asserted that only a very small minority              However, in an ex parte filing submitted
                                                programmed with the number 123–456–                     of the 911 calls from NSI devices were                in 2013, NENA revised its view, stating
                                                7890 as the ‘‘telephone number,’’ in                    made to report actual emergencies, and                that it now supported eliminating the
                                                order to alert PSAPs that call-back                     that non-emergency NSI calls waste the                911 call-forwarding requirement, and
                                                features were unavailable. The                          limited and precious resources of the                 that there was now a ‘‘consensus view’’
                                                Commission also required that carriers                  PSAPs and interfere with PSAPs’ ability               that requiring 911 call forwarding from
                                                complete any network programming                        to answer emergency calls, as do                      NSI devices does more harm than good.
                                                necessary to deliver this programmed                    subsequent efforts to locate or prosecute             In light of NENA’s revised view on the
                                                number to PSAPs. Later that year, the                   the callers.                                          necessity of retaining the 911 call-
                                                Commission clarified that its rules                        8. The Petition also asserted that                 forwarding requirement, as well as the
                                                requiring carriers to forward all 911                   when PSAPs and other authorities                      passage of time since the filing of
                                                calls to PSAPs did not preclude carriers                requested that CMRS providers block                   comments in response to the Notice of
                                                from blocking fraudulent 911 calls from                 harassing 911 calls from NSI devices,                 Inquiry, in March 2013 the Commission
                                                non-service initialized phones pursuant                 the providers had declined, citing                    released a public notice seeking to
                                                to applicable state and local law                       technical and legal concerns related to
                                                enforcement procedures. The                                                                                   refresh the record on the foregoing
                                                                                                        complying with such requests.                         issues (2013 PN). In response to the
                                                Commission added that where a PSAP
                                                                                                        Accordingly, the Petition requested that              2013 PN, the Commission received six
                                                has identified a handset that is
                                                                                                        the Commission provide further                        comments from public safety entities
                                                transmitting fraudulent 911 calls and
                                                                                                        clarification and guidance on this                    and one from a CMRS provider.
                                                makes a request to a wireless carrier to
                                                                                                        blocking option to stop harassing and
                                                block 911 calls from that handset in                                                                          III. Discussion of Proposed Sunsetting
                                                                                                        fraudulent 911 calls from NSI devices.
                                                accordance with applicable state and                                                                          of the Requirement To Transmit 911
                                                                                                        The Petition also asked the Commission
                                                local law enforcement procedures, the                                                                         Calls From NSI Devices
                                                                                                        to consider other options to address
                                                carrier’s compliance does not constitute
                                                                                                        fraudulent calls from NSI devices,
                                                a violation of Section 20.18(b).                                                                                 11. The record received in response to
                                                   6. In its subsequent E911 Second                     including identifying further call-back
                                                                                                        capabilities for NSI devices, the                     the Notice of Inquiry and 2013 PN has
                                                Memorandum Opinion and Order, the                                                                             helped to further define and document
                                                Commission modified its rules to                        elimination of call-forwarding
                                                                                                        requirements for NSI devices, and/or                  the problem of fraudulent 911 calls
                                                require that carrier-donated handsets
                                                                                                        requiring CMRS providers’ donation                    placed by users of NSI devices. As
                                                and newly manufactured 911-only
                                                                                                        programs to provide service-initialized               discussed below, the problem remains
                                                devices be programmed with the
                                                number ‘‘911,’’ followed by seven digits                devices. In the alternative, the Petition             acute. At the same time, the evolution
                                                from the handset’s unique identifier,                   asked the Commission to seek comment                  of the record and changes in wireless
                                                such as the Electronic Serial Number                    on other solutions.                                   service offerings, including the
                                                (ESN) or International Mobile Station                      9. On April 2008, the Commission                   expanded availability of low-cost
                                                Equipment Identity (IMEI) (911+ESN/                     granted the Petition and issued a Notice              wireless services, suggest there is now
                                                IMEI). The Commission took this action                  of Inquiry to enhance its understanding               significantly less need for the NSI rule
                                                to facilitate identification of individual              of the problems created by non-                       then when it was adopted in 1996.
                                                NSI devices used to make fraudulent or                  emergency 911 calls made from NSI                     Accordingly, in this NPRM we propose
                                                harassing calls, finding it ‘‘highly                    devices and to explore potential                      to sunset the NSI rule after a six-month
                                                probable’’ that this form of                            solutions. In the Notice of Inquiry, the              transition and outreach period. During
                                                identification would enable a PSAP to                   Commission requested comment on                       the transition period, we would partner
                                                identify a suspected device and work                    three specific areas: (1) The nature and              with industry and public interest
                                                with carriers and law enforcement to                    extent of fraudulent 911 calls made from              organizations to educate consumers
                                                trace it and block further harassing calls              NSI devices; (2) concerns with blocking               about the transition and the availability
                                                from the device. The Commission                         NSI devices used to make fraudulent                   of alternative means to call 911. We seek
                                                further stated that it would continue                   911 calls, and suggestions for making                 comment on this proposal in the
                                                monitoring the nature and extent of                     this a more viable option for CMRS                    discussion below. We also seek
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                                                problems associated with 911 service for                providers; and (3) other possible
                                                                                                                                                              comment on the relative costs and
                                                NSI devices.                                            solutions to the problem of fraudulent
                                                                                                                                                              benefits of other potential approaches
                                                                                                        911 calls from NSI devices. In response
                                                B. Notice of Inquiry                                    to the Notice of Inquiry, the Commission              and solutions to the problem, including
                                                  7. In February 2008, a coalition of                   received comments from public safety                  blocking calls from NSI devices.
                                                nine public safety organizations,                       representatives at state, county, and
                                                including the National Emergency                        local government levels in twenty-one
                                                Number Association (NENA) and the                       states, as well as comments from CMRS


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                                                25980                   Federal Register / Vol. 80, No. 87 / Wednesday, May 6, 2015 / Proposed Rules

                                                A. Public Policy Analysis and                           2013 PN also indicate that the problem                individuals specifically for the purpose
                                                Comparative Benefits                                    is continuing. For example, Tennessee                 of placing such fraudulent calls (e.g.,
                                                                                                        states that during a three-month period               devices purchased on auction sites or at
                                                1. The Extent of Fraudulent 911 Calls
                                                                                                        in 2008, of over 10,000 NSI calls only                pawn shops)?
                                                From NSI Devices and Associated Costs
                                                                                                        188 were valid emergencies. Sonoma                       16. Some public safety commenters
                                                to Public Safety
                                                                                                        County, California indicates that                     have also argued that the NSI rule
                                                   12. The record to date shows that                    between April 2011 and April 2013 only                exposes PSAPs to the risk of
                                                fraudulent 911 calls from NSI devices                   approximately 8% of calls from NSI                    coordinated efforts to overload or impair
                                                continue to pose a major problem for                    devices were to report an emergency or                their operations. Clinton County,
                                                PSAPs, imposing substantial costs while                 crime. Peoria, Illinois similarly asserts             Illinois, for example, cited the
                                                reducing their ability to respond to                    that it got numerous calls from NSI                   possibility of a group of individuals
                                                legitimate 911 calls. In the Notice of                  phones that were used to harass the 9–                perpetrating a wireless denial-of-service
                                                Inquiry in 2008, the Commission cited                   1–1 telecommunicators and pump as                     by placing large amounts of calls to 9–
                                                data from the Petitioners, generated in                 many as 25 calls per day into Peoria’s                1–1 from NSI phones, with the potential
                                                late 2006 from jurisdictions in four                    system, while few if any actual 9–1–1                 of jamming or at the very least severely
                                                states, showing that between 3.5% and                   calls came from these types of phones.                impairing the operations of the 9–1–1
                                                less than 1% of 911 calls placed by NSI                 Media reports also indicate that this is              system. Accordingly, the Commission
                                                devices were legitimate calls relating to               a serious and continuing problem.                     seeks comment on the extent to which
                                                actual emergencies. The Notice of                          14. The Commission seeks comment                   NSI devices could be used in a
                                                Inquiry asked commenters to provide                     and updated data regarding the degree                 coordinated manner to deny 911
                                                more recent and expansive data from                     to which the issue of fraudulent calls                service.
                                                the same and other jurisdictions, and                   from NSI devices has continued since
                                                also welcomed further evidence                                                                                   17. Finally, the Commission seeks
                                                                                                        the 2013 PN comments were filed, as
                                                illustrating the extent of the problem,                                                                       further comment regarding the costs that
                                                                                                        well as any other data that will help
                                                such as statements from knowledgeable                                                                         fraudulent NSI calls to 911 continue to
                                                                                                        clarify the extent of the problem. Have
                                                parties and media reports. In response,                                                                       impose on public safety and on
                                                                                                        changes in mobile device technology or
                                                public safety commenters provided                                                                             consumers. For example, in response to
                                                                                                        design had any impact on the overall
                                                additional evidence that the vast                                                                             the Notice of Inquiry, Kentucky
                                                                                                        numbers of fraudulent NSI 911 calls?
                                                majority of 911 calls from NSI devices                                                                        indicated that the time taken away from
                                                                                                        Has the increased proliferation and use
                                                were not actual calls for help, and that                of smartphones added to or reduced the                real emergency calls to deal with calls
                                                these calls both wasted the limited                     problem, and if so, how? What                         from NSI devices seriously threatens the
                                                resources of PSAPs and interfered with                  technological advancements, if any,                   safety of any citizen in true need of
                                                their ability to respond to legitimate                  might increase the ability to trace back              service. Amelia County, Virginia
                                                emergency calls. For example, Indiana                   individual NSI callers and thereby deter              similarly stated that there have been
                                                estimated that over 90% of all NSI calls                fraudulent calls?                                     times when it has been totally
                                                received were not legitimate, while                        15. The Commission also seeks                      inundated with calls from NSI devices.
                                                North Carolina similarly reported that                  comment on the percentage of                          Tennessee notes how calls from a single
                                                between May 15, 2008 and June 15,                       fraudulent 911 calls coming from                      child in one night nearly immobilized
                                                2008, PSAPs across the state received                   particular types of NSI devices or                    the call center’s ability to receive actual
                                                159,129 calls from NSI devices, of                      subsets of NSI device users. Several                  emergency calls. Spokane County,
                                                which 132,885, or 83.51%, were non-                     commenters suggested that a                           Washington noted receiving 911 calls
                                                emergency calls, and an additional                      disproportionate number of fraudulent                 from a non-initialized cellular phone
                                                11,395, or 7.16%, were ‘‘malicious’’                    911 calls come from a relatively small                that was an open line and therefore tied
                                                non-emergency calls. Amelia County,                     subset of NSI devices. California, for                up one of our 911 trunks and made it
                                                Virginia also stated that NSI devices                   example, stated that between October 1,               unavailable for emergency calls. Laredo,
                                                were the biggest problem we have with                   2007 and May 15, 2008, PSAPs across                   Texas cited bomb threats made from NSI
                                                the E911 system, and that, at times, they               the state reported 266 active repetitive              phones which, when they cannot be
                                                had been inundated with phone calls                     callers who placed over 77,000 calls to               identified with absolute certainty as a
                                                from these phones with the only                         911, mainly using NSI devices. Of the                 hoax, require deployment of response
                                                purpose being to harass the call takers/                266 callers identified, 85 had placed 200             agencies to the alleged target. The
                                                dispatchers. Washington State likewise                  or more calls, and eight callers had                  Commission asks commenters to
                                                indicated that by far, the majority of                  made more than 1,000 calls. Other                     provide instances of fraudulent NSI
                                                calls to 911 from NSI sets did not appear               commenters noted that such calling                    calls delaying the ability of public safety
                                                to be legitimate emergencies. Moreover,                 patterns were often related to the                    dispatchers to send help to callers in
                                                Washington estimated that reported NSI                  accessibility of NSI devices to minors.               distress or otherwise negatively
                                                problems were very likely an                            For example, Petitioners stated that                  impacting the ability of first responders
                                                understatement, due to lack of time and                 donated phones appear to be only a                    to respond to actual emergencies, and
                                                resources of PSAPs to respond to the                    small portion of the problem, with the                seeks examples of fraudulent NSI calls
                                                Notice of Inquiry. Other public safety                  bulk of troublesome devices being old                 impeding public safety, such as whether
                                                commenters reported similar patterns of                 equipment no longer in use, often given               prison inmates have used the 911-
                                                frequent and recurring non-emergency                    to children to play with. Is data                     calling capability of NSI devices to
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                                                calls from NSI devices.                                 available regarding the percentage of                 harass PSAPs or to circumvent call
                                                   13. Subsequent to the close of the                   fraudulent NSI calls that come from                   blocking or managed access
                                                Notice of Inquiry comment period, the                   minors? Are there other categories of                 technologies designed to deter
                                                Commission continued to receive                         NSI devices that are disproportionately               contraband cellphone use from inside
                                                evidence that fraudulent 911 calls from                 associated with fraudulent calls? For                 prison facilities. In all of the above
                                                NSI devices remain a large problem for                  example, how frequently do fraudulent                 examples, the Commission seeks cost
                                                PSAPs and other public safety entities.                 calls originate from NSI devices that                 estimates of the losses—including
                                                Comments received in response to the                    appear to have been purchased by                      financial or human capital resources—


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                                                                        Federal Register / Vol. 80, No. 87 / Wednesday, May 6, 2015 / Proposed Rules                                            25981

                                                that PSAPs have incurred due to                         understanding that current programs for               B. Sunset of the NSI Requirement After
                                                fraudulent calls.                                       at-risk individuals only distribute                   a Reasonable Transition Period
                                                                                                        handsets that have at least limited
                                                2. Decreasing Benefits of the NSI Rule                                                                           23. Background. In the E911 Second
                                                                                                        carrier-subscription status and are
                                                   18. At the same time that the NSI                    ‘service initialized.’ This also seems to             Report and Order, the Commission
                                                requirement imposes costs on public                     indicate a decreasing need for the NSI                declined to eliminate the 911 call-
                                                safety resources—by diverting much-                     rule due to fewer NSI devices in                      forwarding requirement for NSI devices
                                                needed resources from legitimate                        circulation.                                          because abolishing the requirement at
                                                emergencies—the record suggests that                                                                          this stage would restrict basic 911
                                                                                                           21. Two public safety commenters
                                                the benefits of the NSI rule are                                                                              service and result in the inability of
                                                                                                        (King County, Washington, and
                                                diminishing and the need for the rule is                                                                      many non-initialized wireless phone
                                                                                                        Livingston County, New York, Sherriff’s
                                                decreasing. The Commission seeks                                                                              users to reach help in the event of an
                                                                                                        Department) also argued that
                                                comment on whether this is the case.                                                                          emergency. However, in the subsequent
                                                                                                        eliminating the NSI requirement would
                                                For example, several commenters                                                                               Notice of Inquiry, the Commission noted
                                                                                                        eliminate false expectations among NSI
                                                pointed out that service-initialized                                                                          that the evidence suggested that NSI
                                                                                                        device users who are unaware that NSI
                                                devices have become far more                                                                                  devices were the source of an
                                                                                                        devices do not provide 911 call-back
                                                ubiquitous and inexpensive, as                                                                                overwhelming number of fraudulent 911
                                                                                                        capability or Phase II location
                                                compared to when the Commission                                                                               calls and sought comment regarding
                                                                                                        information. Other commenters,
                                                originally implemented the NSI rule,                                                                          whether it should eliminate the NSI
                                                                                                        however, argued that the public has
                                                thereby decreasing public reliance on                                                                         requirement. In response to the Notice
                                                                                                        come to rely on the fact that NSI devices
                                                the ability of NSI devices to call 911.                                                                       of Inquiry, a significant number of
                                                                                                        are 911-capable, and that eliminating
                                                Washington State, for instance, noted                                                                         public safety commenters advocated for
                                                                                                        the call-forwarding requirement could
                                                that when the NSI rule was adopted,                                                                           elimination of the rule. Washington, for
                                                                                                        lead to tragic results given this public
                                                there were few opportunities for a                                                                            example, asserted that there is no
                                                                                                        reliance. CTIA, for example, stated that
                                                customer to acquire a wireless device                                                                         justification in retaining the rules
                                                                                                        the public now has a reasonable
                                                other than by signing a relatively                                                                            permitting calls to 911 from non-
                                                                                                        expectation that all wireless 911 calls
                                                expensive long-term contract. Thus,                                                                           initialized handsets; more recently,
                                                                                                        will terminate at a PSAP. Likewise, the
                                                while the rule originally ensured access                                                                      NENA stated that there is now a
                                                                                                        Petitioners noted that they while they
                                                to 911-service for segments of the                                                                            consensus view that the promotion of
                                                population that could not afford a long-                were sympathetic to those calling for an
                                                                                                                                                              NSI devices does more harm than good.
                                                term wireless subscription, Washington                  outright FCC reversal of current rule,
                                                                                                        they could not support such a request at                 24. Accordingly, the 2013 PN sought
                                                contended that service-initialized                                                                            comment, in particular, on whether
                                                devices are now sufficiently ubiquitous                 this time because there remain a
                                                                                                        significant number of legitimate 9–1–1                other interested parties agree or disagree
                                                and affordable to render the rule                                                                             with NENA’s view that the Commission
                                                unnecessary. CTIA likewise indicated                    calls from NSI devices. California noted
                                                                                                        that calls from NSI phones have saved                 should consider phasing out the call-
                                                that wireless device prices in the U.S.                                                                       forwarding requirement as it applies to
                                                keep dropping; since 2006, wireless CPI                 many lives, and Maryland indicated that
                                                                                                        30% of calls to 911 from NSI handsets                 NSI devices. The subsequent record
                                                has fallen 8.0%, even as the CPI for all                                                                      indicates that APCO now also agrees
                                                items has increased 16.7%. In this                      were legitimate in Montgomery County
                                                                                                        during the one-month period studied in                that the FCC should eliminate the
                                                regard, the Commission notes that the                                                                         requirement that wireless carriers
                                                Bureau of Labor Statistics’ Wireless                    2008. Vermont also questions the
                                                                                                        availability of low-cost service-                     forward to PSAPs 9–1–1 calls from NSI
                                                Price Index shows that the effective                                                                          handsets, as do some other public safety
                                                monthly cost of wireless service to                     initialized devices, and adds that it is
                                                                                                        puzzled by the comment that calls on                  commenters.
                                                consumers has fallen by more than 40%
                                                since December 1997. There has also                     these devices do not include location                    25. At the same time, some
                                                been a proliferation of pre-paid devices                information, as its review identified a               commenters continue to advocate
                                                since the Commission promulgated the                    high percentage of calls from NSI                     retention of the NSI requirement,
                                                NSI rule. For example, CTIA reported                    devices that arrive with Phase II                     arguing that the public has come to rely
                                                that 76.4 million consumers had                         location information.                                 on the fact that NSI devices are 911-
                                                prepaid plans in 2012, up from 71.7                        22. Accordingly, the Commission                    capable, and that given this public
                                                million in 2011.                                        seeks comment on the extent to which                  reliance, eliminating the call-forwarding
                                                   19. Several commenters have also                     the public, especially lower-income                   requirement could lead to tragic results.
                                                noted the potential of Lifeline-                        populations, the elderly, and other                      26. Discussion. The Commission
                                                supported wireless services to provide a                vulnerable segments of society, still rely            believes that the concerns that led the
                                                sufficient alternative to NSI phones.                   on the use of NSI devices to seek                     Commission to adopt the NSI rule in
                                                Accordingly, the Commission seeks                       emergency assistance. Has such reliance               1996, and to retain it twelve years ago,
                                                comment on whether the increasing                       decreased, increased, or remained the                 are less relevant today, and that it is
                                                ubiquity and decreasing cost of service-                same? Would consumers who presently                   now in the public interest to sunset the
                                                initialized devices obviates the need for               use NSI devices to call 911 be able to                requirement. The record suggests that
                                                the NSI rule. Does the increased                        effectively utilize other means of                    fraudulent calls to 911 from NSI devices
                                                availability and use of pre-paid services               accessing 911? To what extent are ‘‘911-              constitute a large and continuing drain
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                                                provide a sufficient alternative?                       only’’ wireless handsets that rely on the             on public safety resources and that the
                                                   20. Many commenters also referenced                  NSI rule to enable a caller to reach a                problem is not abating. Moreover, it
                                                a decrease in NSI handset donation                      PSAP in use today? Are CMRS                           appears there is now less public need
                                                programs. For example, NENA stated                      providers or third parties continuing to              for the NSI rule than at the time the
                                                that most charities and domestic                        support NSI phone donation programs,                  Commission implemented it. Indeed,
                                                violence advocates have abandoned the                   and if so, are figures available for the              while the Commission implemented the
                                                practice of distributing NSI devices.                   number of phone donations within the                  NSI rule in large part at the urging of
                                                APCO similarly indicated its                            last five years?                                      public safety entities, including NENA


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                                                25982                   Federal Register / Vol. 80, No. 87 / Wednesday, May 6, 2015 / Proposed Rules

                                                and APCO, both of these entities now                    circuit-switched voice calling, reasoning             to connect 911 calls from service-
                                                favor elimination of the rule.                          that this will minimize stranded                      initialized devices ensures, for example,
                                                   27. Additionally, impending                          investments by carriers and consumers                 that customers have access to 911 when
                                                technological changes in carrier                        as carriers transition to fully IP-based              traveling in areas where service may be
                                                networks are likely to make the NSI call-               architectures such as LTE and as                      provided by another provider which
                                                forwarding rule less effective in                       consumers transition to IP-only devices               does not have a roaming agreement with
                                                protecting consumers while increasing                   that no longer support circuit-switched               the customer’s provider or when a
                                                the cost of implementation. As carriers                 voice services. Alternatively, the                    wireless customer’s provider is
                                                migrate their networks away from legacy                 Commission seeks comment on whether                   experiencing a network outage. The
                                                2G technology, 2G-only NSI handsets                     to eliminate the NSI requirement for                  Commission does not propose to alter
                                                will no longer be technically capable of                new wireless devices sold after a                     the obligation of CMRS providers to
                                                supporting 911 call-forwarding. If we                   particular date, thus grandfathering the              connect calls from devices that have a
                                                retain the NSI rule, this technological                 911 call-forwarding capability for                    valid agreement with any CMRS
                                                shift is likely to create confusion among               existing NSI devices.                                 provider at the time of the 911 call.
                                                the very consumers that have retained                      30. In the event the Commission                       33. The record indicates, however,
                                                older-generation NSI handsets for their                 sunsets the NSI rule, it would seek to                that in certain circumstances a service-
                                                911 capability. Moreover, retaining the                 educate consumers during the transition               initialized device may appear to be an
                                                rule will impose added costs on carriers                on whether their particular NSI device                NSI device to a CMRS provider’s
                                                to implement NSI call-forwarding                        will allow them to reach 911, and on                  network. For example, according to the
                                                capability in 3G and 4G networks.                       how to ensure continued, uninterrupted                Petitioners, devices can also become
                                                While the Commission recognizes that                    access to 911. The Commission                         NSI in the following situations: (1)
                                                public safety interests are driven by                   recognizes that the public is                         When a phone has not completed
                                                more than economic considerations, it                   increasingly reliant on wireless                      registration at the time a 9–1–1 call is
                                                believes that avoiding these added costs                technology for their basic                            placed; (2) when calls are placed from
                                                by sunsetting the rule will have                        communications needs and that many                    areas of weak or no signal for one carrier
                                                significant net cost benefits for carriers,             persons have elected to do without                    that receive a signal from another
                                                in addition to eliminating the burden of                landline telephone service. With this in              carrier; (3) when calls are made from a
                                                fraudulent 911 calls on first responders.               mind, the Commission believes that                    handset that selects the strongest signal,
                                                Conversely, the Commission believes                     elimination of the NSI rule must be                   which may not be the subscriber’s
                                                that any cost to carriers associated with               accompanied by sufficient public                      carrier; (4) for calls placed by consumers
                                                removing NSI call-forwarding capability                 education and outreach to ensure that                 roaming in areas with or without
                                                from their networks will be relatively                  the public is aware that they can no                  automatic roaming agreements; (5) for
                                                minor. For these reasons, the                           longer call 911 from NSI devices prior                calls placed on foreign phones; or (6)
                                                Commission believes that the costs of                   to loss of that capability, but that there            because of normal network events,
                                                retaining the NSI rule appear to                        are low-cost options for replacing such               system reboots, and other circumstances
                                                outweigh the benefits, and thus                         devices. Accordingly, the Commission                  that can occur during mobile switching
                                                proposes to sunset the NSI rule after a                 proposes to allow a six-month transition              center (‘MSC’) to MSC handoffs, for
                                                six-month transition period.                            period for service providers, public                  several seconds after the phone is
                                                   28. Based on the comments                            interest organizations, and other                     powered on, and as the phone recovers
                                                advocating for elimination of the rule,                 interested parties to engage in this                  from loss of service in a tunnel. The
                                                the Commission believes that a uniform,                 educational outreach process, and seek                Commission also observes that, when
                                                nationwide deadline to sunset the NSI                   comment on this proposal. We also seek                pre-paid phones have run out of
                                                requirement would best address the                      comment on the necessary components                   minutes, they become de facto NSI
                                                concerns that have been raised in the                   of such an education and outreach                     devices until the user pays for more pre-
                                                record regarding the prevalence of                      effort, and on implementation of these                paid minutes.
                                                fraudulent calls from NSI devices. A                    components.                                              34. Discussion. The Commission seeks
                                                uniform sunset date would provide the                      31. Finally, assuming that the NSI                 comment on how calls to 911 from
                                                greatest certainty to the public, as well               call-forwarding rule is eliminated after a            service-initialized devices that may
                                                as to PSAPs and CMRS providers, and                     transition period, should CMRS                        appear to be NSI might be affected, in
                                                would be easiest for all parties to                     providers be allowed to forward 911                   the event it sunsets the requirement to
                                                administer. The Commission also                         calls from NSI devices at their                       transmit calls from NSI devices. Is this
                                                believes that any necessary consumer                    discretion on a voluntary basis, or                   an extensive issue of concern? For
                                                education and outreach regarding a                      should we prohibit NSI call forwarding?               example, in what specific circumstances
                                                uniform deadline would be less                          What is the likelihood that CMRS                      would a service-initialized device
                                                burdensome than for an alternative                      providers would voluntarily continue to               nevertheless appear to a CMRS network
                                                ‘‘phase-out’’ approach, as it would avoid               forward 911 calls from NSI devices?                   as an NSI device? If the Commission
                                                public confusion with respect to timing                 Would allowing them to do so reduce                   were to sunset the NSI requirement, is
                                                and with regard to which NSI devices                    the benefits of eliminating the NSI                   there a way to ensure that such service-
                                                could and could not call 911; this                      requirement?                                          initialized devices could still call 911?
                                                method of eliminating the NSI                                                                                 What would be the cost of
                                                requirement best balances the needs of                  C. Protecting Calls to 911 From Service-              implementing such a solution? The
                                                                                                        Initialized Devices That May Appear To
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                                                the public, public safety, and CMRS                                                                           Commission is also concerned that
                                                providers.                                              Be NSI Devices                                        consumers with service-initialized
                                                   29. The Commission also seeks                          32. Background. The obligation of                   phones could be at risk if they were to
                                                comment on other possible transition                    CMRS providers to transmit 911 calls                  lose 911-capability immediately
                                                approaches. For example, NENA has                       without regard to their call validation               following a CMRS provider’s stoppage
                                                suggested that the Commission phase                     process ensures that wireless customers               of service for non-payment. Would it be
                                                out the NSI rule for devices and                        are able to access life-saving emergency              in the public interest to require all
                                                networks that no longer support legacy                  services without delay. This obligation               CMRS providers to continue to forward


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                                                                        Federal Register / Vol. 80, No. 87 / Wednesday, May 6, 2015 / Proposed Rules                                              25983

                                                calls to 911 from such devices for a                    suggestions for making blocking a more                numbers where such data or arguments
                                                certain ‘‘grace period’’ following                      viable option for CMRS providers, as                  can be found) in lieu of summarizing
                                                stoppage of service? If so, what would                  well as on other possible solutions. The              them in the memorandum. Documents
                                                be the proper length of such a grace                    Commission seeks comment on whether                   shown or given to Commission staff
                                                period? Should it differ based on                       call-blocking is a viable alternative to              during ex parte meetings are deemed to
                                                whether the device is pre-paid or post-                 sunsetting the NSI rule. While                        be written ex parte presentations and
                                                paid? Alternatively, rather than                        Commission rules generally require                    must be filed consistent with rule
                                                establishing a grace period, would it be                CMRS providers to forward all 911 calls               1.1206(b). In proceedings governed by
                                                sufficient for CMRS providers to send                   to PSAPs, including calls from NSI                    rule 1.49(f) or for which the
                                                automated messages to pre-paid                          devices, they do not prohibit CMRS                    Commission has made available a
                                                customers when their minutes are about                  providers from blocking fraudulent 911                method of electronic filing, written ex
                                                to expire, warning them that if they do                 calls pursuant to applicable state and                parte presentations and memoranda
                                                not extend their pre-paid service their                 local law enforcement procedures.                     summarizing oral ex parte
                                                devices will not support 911 calling?                   Nevertheless, the Petition asserted that              presentations, and all attachments
                                                                                                        CMRS providers refuse to honor PSAP                   thereto, must be filed through the
                                                D. Technical and Operational
                                                                                                        blocking requests due to technical and                electronic comment filing system
                                                Considerations Relating to Sunset of the
                                                                                                        legal concerns. In response to the Notice             available for that proceeding, and must
                                                NSI Rule
                                                                                                        of Inquiry, many commenters—both                      be filed in their native format (e.g., .doc,
                                                   35. The Commission seeks to                          CMRS provider and public safety—cited                 .xml, .ppt, searchable .pdf). Participants
                                                determine what technical and                            technical and legal problems that                     in this proceeding should familiarize
                                                operational changes, if any, CMRS                       continue to make blocking calls                       themselves with the Commission’s ex
                                                providers and/or PSAPs would need to                    difficult.                                            parte rules.
                                                implement in conjunction with the                         38. In the Notice of Inquiry, the
                                                sunset of the NSI rule, including the                                                                         G. Comment Filing Procedures
                                                                                                        Commission requested comment on two
                                                timeframe needed to implement any                       other alternative approaches to address                  40. Pursuant to sections 1.415 and
                                                such changes, as well as the costs                      the problem of fraudulent 911 calls from              1.419 of the Commission’s rules, 47 CFR
                                                involved, as well as determining how                    NSI devices: (1) Implementing call-back               1.415, 1.419, interested parties may file
                                                these answers might vary depending on                   capabilities for NSI devices, and (2)                 comments and reply comments in
                                                whether the Commission sunsets the                      requiring CMRS provider-sponsored                     response to this NPRM on or before the
                                                rule on a date certain or whether it                    device donation programs to provide                   dates indicated on the first page of this
                                                phases out the rule.                                    service-initialized devices. The                      document. Comments may be filed
                                                   36. What network modifications or                                                                          using the Commission’s Electronic
                                                                                                        Commission seeks further comment on
                                                other technical and operational changes                                                                       Comment Filing System (ECFS). See
                                                                                                        the relative costs and benefits of these
                                                would CMRS providers need to                                                                                  Electronic Filing of Documents in
                                                                                                        proposals as alternatives to sunsetting
                                                undertake, if any, if we were to sunset                                                                       Rulemaking Proceedings, 63 FR 24121
                                                                                                        the NSI rule.
                                                the NSI requirement as of a date certain?                                                                     (1998).
                                                How long would it take to implement                     IV. Procedural Matter                                    D Electronic Filers: Comments may be
                                                these changes? At what cost? Is the                                                                           filed electronically using the Internet by
                                                                                                        F. Ex Parte Presentations
                                                Commission’s assumption that any costs                                                                        accessing the ECFS: http://
                                                associated with discontinuing call-                        39. The proceedings initiated by this              fjallfoss.fcc.gov/ecfs2/.
                                                forwarding of 911 calls from NSI                        NPRM shall be treated as ‘‘permit-but-                   D Paper Filers: Parties that choose to
                                                devices as of the six-month sunset date                 disclose’’ proceedings in accordance                  file by paper must file an original and
                                                proposed above would be relatively                      with the Commission’s ex parte rules.                 one copy of each filing. If more than one
                                                minor correct? The Commission also                      Persons making ex parte presentations                 docket or rulemaking number appears in
                                                seeks comment on what, if anything,                     must file a copy of any written                       the caption of this proceeding, filers
                                                PSAPs would need to do to                               presentation or a memorandum                          must submit two additional copies for
                                                accommodate the sunset of the NSI                       summarizing any oral presentation                     each additional docket or rulemaking
                                                requirement after six months. Would                     within two business days after the                    number.
                                                PSAPs incur any costs or are there                      presentation (unless a different deadline                Filings can be sent by hand or
                                                timing considerations that the                          applicable to the Sunshine period                     messenger delivery, by commercial
                                                Commission should take into account?                    applies). Persons making oral ex parte                overnight courier, or by first-class or
                                                Alternatively, what technical and                       presentations are reminded that                       overnight U.S. Postal Service mail. All
                                                operational changes would CMRS                          memoranda summarizing the                             filings must be addressed to the
                                                providers and PSAPs need to implement                   presentation must: (1) List all persons               Commission’s Secretary, Office of the
                                                if the Commission were to phase out the                 attending or otherwise participating in               Secretary, Federal Communications
                                                NSI requirement rather than sunset the                  the meeting at which the ex parte                     Commission.
                                                rule on a uniform date?                                 presentation was made; and (2)                           D All hand-delivered or messenger-
                                                                                                        summarize all data presented and                      delivered paper filings for the
                                                E. Alternative Approaches to the                        arguments made during the                             Commission’s Secretary must be
                                                Problem of Fraudulent NSI 911 Calls                     presentation. If the presentation                     delivered to FCC Headquarters at 445
                                                   37. The Commission recognizes that                   consisted in whole or in part of the                  12th St. SW., Room TW–A325,
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                                                sunsetting the NSI rule is not the only                 presentation of data or arguments                     Washington, DC 20554. The filing hours
                                                means of reducing the incidence of                      already reflected in the presenter’s                  are 8:00 a.m. to 7:00 p.m. All hand
                                                fraudulent calls to 911 from such                       written comments, memoranda, or other                 deliveries must be held together with
                                                devices. In the Notice of Inquiry, the                  filings in the proceeding, the presenter              rubber bands or fasteners. Any
                                                Commission examined the possibility of                  may provide citations to such data or                 envelopes and boxes must be disposed
                                                blocking NSI devices used to make                       arguments in his or her prior comments,               of before entering the building.
                                                fraudulent 911 calls while retaining the                memoranda, or other filings (specifying                  D Commercial overnight mail (other
                                                NSI rule itself, and sought comment on                  the relevant page and/or paragraph                    than U.S. Postal Service Express Mail


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                                                25984                   Federal Register / Vol. 80, No. 87 / Wednesday, May 6, 2015 / Proposed Rules

                                                and Priority Mail) must be sent to 9300                 Rulemaking. The Commission will send                  alternative approaches to addressing the
                                                East Hampton Drive, Capitol Heights,                    a copy of the Notice of Proposed                      issue of fraudulent calls from NSI
                                                MD 20743. U.S. Postal Service first-                    Rulemaking, including this IRFA, to the               devices.
                                                class, Express, and Priority mail must be               Chief Counsel for Advocacy of the Small
                                                addressed to 445 12th Street SW.,                       Business Administration (SBA). In                     B. Legal Basis
                                                Washington, DC 20554.                                   addition, the Notice of Proposed                        48. The legal basis for any action that
                                                                                                        Rulemaking and IRFA (or summaries
                                                H. Accessible Formats                                                                                         may be taken pursuant to this Notice of
                                                                                                        thereof) will be published in the Federal
                                                  41. To request materials in accessible                                                                      Proposed Rulemaking is contained in
                                                                                                        Register.
                                                formats for people with disabilities                                                                          Sections 1, 4(i), 4(j), 303(r) and 332 of
                                                (braille, large print, electronic files,                A. Need for, and Objectives of, the                   the Communications Act of 1934, 47
                                                audio format), send an email to fcc504@                 Proposed Rules                                        U.S.C. 151, 154(i), 154(j), 303(r), 332.
                                                fcc.gov or call the Consumer &                             45. In this NPRM, we address
                                                                                                                                                              C. Description and Estimate of the
                                                Governmental Affairs Bureau at 202–                     regulatory concerns raised by non-
                                                                                                                                                              Number of Small Entities to Which the
                                                418–0530 (voice), 202–418–0432 (TTY).                   service initialized (NSI) devices. The
                                                                                                        Commission’s rules require commercial                 Proposed Rules Would Apply
                                                I. Regulatory Flexibility Analysis                      mobile radio service (CMRS) providers                    49. The RFA directs agencies to
                                                   42. An Initial Regulatory Flexibility                subject to the 911 rules to transmit all              provide a description of and, where
                                                Analysis (IRFA) of the possible                         wireless 911 calls, including those                   feasible, an estimate of the number of
                                                significant economic impact on small                    originated from ‘‘non-service-                        small entities that may be affected by
                                                entities of the policies and rules                      initialized’’ (NSI) devices, to Public
                                                                                                                                                              the proposed rules. The RFA generally
                                                addressed in this document is located                   Safety Answering Points (PSAPs). A NSI
                                                under section titled Initial Regulatory                 device is a mobile device for which                   defines the term ‘‘small entity’’ as
                                                Flexibility Analysis. Written public                    there is no valid service contract with a             having the same meaning as the terms
                                                comments are requested in the IRFA.                     CMRS provider. Examples of NSI                        ‘‘small business,’’ ‘‘small organization,’’
                                                These comments must be filed in                         devices include prepaid cell phones                   and ‘‘small governmental jurisdiction.’’
                                                accordance with the same filing                         with expired minutes, devices under an                In addition, the term ‘‘small business’’
                                                deadlines as comments filed in response                 expired contract, donated cell phones,                has the same meaning as the term
                                                to this NPRM as set forth on the first                  and ‘‘911-only’’ devices that are                     ‘‘small business concern’’ under the
                                                page of this document, and have a                       configured solely to make emergency                   Small Business Act. A small business
                                                separate and distinct heading                           calls. NSI devices by their nature have               concern is one which: (1) Is
                                                designating them as responses to the                    no associated subscriber name and                     independently owned and operated; (2)
                                                IRFA.                                                   address, and do not provide Automatic                 is not dominant in its field of operation;
                                                                                                        Number Identification (ANI) or call-back              and (3) satisfies any additional criteria
                                                J. Paperwork Reduction Act Analysis                     features. As a result, when a caller uses             established by the Small Business
                                                   43. This document contains proposed                  a NSI device to call 911, the PSAP                    Administration (SBA).
                                                new information collection                              typically cannot identify the caller.
                                                requirements. The Commission, as part                      46. While the 911 calling capability of               50. Small Businesses, Small
                                                of its continuing effort to reduce                      NSI devices initially provided                        Organizations, and Small Governmental
                                                paperwork burdens, invites the general                  significant public safety benefits by                 Jurisdictions. Our action may, over time,
                                                public and the Office of Management                     increasing the public’s access to 911,                affect small entities that are not easily
                                                and Budget (OMB) to comment on the                      those benefits have greatly decreased                 categorized at present. We therefore
                                                information collection requirements                     due to changed call validation methods                describe here, at the outset, three
                                                contained in this document, as required                 and the increase in low-cost options for              comprehensive, statutory small entity
                                                by Paperwork Reduction Act of 1995                      wireless services. Moreover, the                      size standards. First, nationwide, there
                                                (PRA), Public Law 104–13. In addition,                  inability of PSAPs to identify the caller             are a total of approximately 27.5 million
                                                pursuant to the Small Business                          on an NSI device creates significant                  small businesses, according to the SBA.
                                                Paperwork Relief Act of 2002, the                       difficulty for them when a caller uses a              In addition, a ‘‘small organization’’ is
                                                Commission seeks specific comment on                    NSI device to place fraudulent non-                   generally any not-for-profit enterprise
                                                how it might further reduce the                         emergency calls to the PSAP. Numerous                 which is independently owned and
                                                information collection burden for small                 PSAPs around the nation have reported                 operated and is not dominant in its
                                                business concerns with fewer than 25                    that fraudulent and harassing calls from              field. Nationwide, as of 2007, there were
                                                employees.                                              NSI devices are a persistent and                      approximately 1,621,315 small
                                                                                                        significant problem that requires action.             organizations. Finally, the term ‘‘small
                                                V. Initial Regulatory Flexibility                       In February 2008, a group of public
                                                Analysis                                                                                                      governmental jurisdiction’’ is defined
                                                                                                        safety entities filed a petition requesting
                                                                                                                                                              generally as governments of cities,
                                                  44. As required by the Regulatory                     that the Commission examine the issue.
                                                Flexibility Act of 1980, as amended                                                                           towns, townships, villages, school
                                                                                                        In response to the petition, the
                                                (RFA), the Commission has prepared                                                                            districts, or special districts, with a
                                                                                                        Commission adopted a Notice of Inquiry
                                                this present Initial Regulatory                         in April 2008 to enhance our                          population of less than fifty thousand.
                                                Flexibility Analysis (IRFA) of the                      understanding of fraudulent and                       Census Bureau data for 2011 indicate
                                                                                                                                                              that there were 89,476 local
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                                                possible significant economic impact of                 harassing 911 calls made from NSI
                                                the proposal described in the attached                  devices and to explore potential                      governmental jurisdictions in the
                                                Notice of Proposed Rulemaking on                        solutions.                                            United States. We estimate that, of this
                                                small entities. Written public comments                    47. In this NPRM, the Commission                   total, as many as 88, 506 entities may
                                                are requested on this IRFA. Comments                    proposes to sunset the NSI rule after a               qualify as ‘‘small governmental
                                                must be identified as responses to the                  six month transition period that will                 jurisdictions.’’ Thus, we estimate that
                                                IRFA and must be filed by the deadlines                 allow for public outreach and                         most governmental jurisdictions are
                                                for comments in the Notice of Proposed                  education. It also seeks comment on                   small.


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                                                                        Federal Register / Vol. 80, No. 87 / Wednesday, May 6, 2015 / Proposed Rules                                              25985

                                                1. Telecommunications Service Entities                  or fewer employees, and three firms had               total, 3,144 had employment of 999 or
                                                a. Wireless Telecommunications Service                  employment of 1,000 employees or                      fewer, and 44 firms had had
                                                Providers                                               more. Thus, under this category and                   employment of 1,000 employees or
                                                                                                        associated small business size standard,              more. Thus under this category and the
                                                   51. Pursuant to 47 CFR 20.18(a), the                 the majority of firms can be considered               associated small business size standard,
                                                Commission’s 911 service requirements                   small. For the census category of                     the majority of these Competitive LECs,
                                                are only applicable to Commercial                       Cellular and Other Wireless                           CAPs, Shared-Tenant Service Providers,
                                                Mobile Radio Service (CMRS) providers,                  Telecommunications, Census Bureau                     and Other Local Service Providers can
                                                excluding mobile satellite service                      data for 2002 show that there were 1,397              be considered small entities. According
                                                operators, to the extent that they: (1)                 firms in this category that operated for              to Commission data, 1,442 carriers
                                                Offer real-time, two way switched voice                 the entire year. Of this total, 1,378 firms           reported that they were engaged in the
                                                service that is interconnected with the                 had employment of 999 or fewer                        provision of either competitive local
                                                public switched network; and (2) Utilize                employees, and 19 firms had                           exchange services or competitive access
                                                an in-network switching facility that                   employment of 1,000 employees or                      provider services. Of these 1,442
                                                enables the provider to reuse                           more. Thus, under this second category                carriers, an estimated 1,256 have 1,500
                                                frequencies and accomplish seamless                     and size standard, the majority of firms              or fewer employees and 186 have more
                                                hand-offs of subscriber calls. These                    can, again, be considered small.                      than 1,500 employees. In addition, 17
                                                requirements are applicable to entities                    55. Incumbent Local Exchange                       carriers have reported that they are
                                                that offer voice service to consumers by                Carriers (Incumbent LECs). Neither the                Shared-Tenant Service Providers, and
                                                purchasing airtime or capacity at                       Commission nor the SBA has developed                  all 17 are estimated to have 1,500 or
                                                wholesale rates from CMRS licensees.                    a small business size standard                        fewer employees. In addition, 72
                                                   52. Below, for those services subject                specifically for incumbent local
                                                to auctions, we note that, as a general                                                                       carriers have reported that they are
                                                                                                        exchange services. The appropriate size               Other Local Service Providers. Of the
                                                matter, the number of winning bidders                   standard under SBA rules is for the
                                                that qualify as small businesses at the                                                                       72, seventy have 1,500 or fewer
                                                                                                        category Wired Telecommunications                     employees and two have more than
                                                close of an auction does not necessarily                Carriers. Under that size standard, such
                                                represent the number of small                                                                                 1,500 employees. Consequently, the
                                                                                                        a business is small if it has 1,500 or                Commission estimates that most
                                                businesses currently in service. Also,                  fewer employees. Census Bureau data
                                                the Commission does not generally track                                                                       providers of competitive local exchange
                                                                                                        for 2007, which now supersede data                    service, competitive access providers,
                                                subsequent business size unless, in the                 from the 2002 Census, show that there
                                                context of assignments or transfers,                                                                          Shared-Tenant Service Providers, and
                                                                                                        were 3,188 firms in this category that                Other Local Service Providers are small
                                                unjust enrichment issues are implicated.                operated for the entire year. Of this
                                                   53. Wireless Telecommunications                                                                            entities that may be affected by rules
                                                                                                        total, 3,144 had employment of 999 or                 adopted pursuant to the Notice.
                                                Carriers (except Satellite). Since 2007,                fewer, and 44 firms had had
                                                the Census Bureau has placed wireless                   employment of 1000 or more. According                    57. Broadband Personal
                                                firms within this new, broad, economic                  to Commission data, 1,307 carriers                    Communications Service. The
                                                census category. Prior to that time, such               reported that they were incumbent local               broadband personal communications
                                                firms were within the now-superseded                    exchange service providers. Of these                  services (PCS) spectrum is divided into
                                                categories of ‘‘Paging’’ and ‘‘Cellular and             1,307 carriers, an estimated 1,006 have               six frequency blocks designated A
                                                Other Wireless Telecommunications.’’                    1,500 or fewer employees and 301 have                 through F, and the Commission has held
                                                Under the present and prior categories,                 more than 1,500 employees.                            auctions for each block. The
                                                the SBA has deemed a wireless business                  Consequently, the Commission                          Commission initially defined a ‘‘small
                                                to be small if it has 1,500 or fewer                    estimates that most providers of local                business’’ for C– and F–Block licenses
                                                employees. For the category of Wireless                 exchange service are small entities that              as an entity that has average gross
                                                Telecommunications Carriers (except                     may be affected by the rules and                      revenues of $40 million or less in the
                                                Satellite), Census data for 2007, which                 policies proposed in the Notice. Thus                 three previous calendar years. For F–
                                                supersede data contained in the 2002                    under this category and the associated                Block licenses, an additional small
                                                Census, show that there were 1,383                      small business size standard, the                     business size standard for ‘‘very small
                                                firms that operated that year. Of those                 majority of these incumbent local                     business’’ was added and is defined as
                                                1,383, 1,368 had fewer than 100                         exchange service providers can be                     an entity that, together with its affiliates,
                                                employees, and 15 firms had more than                   considered small.                                     has average gross revenues of not more
                                                100 employees. Thus under this                             56. A Competitive Local Exchange                   than $15 million for the preceding three
                                                category and the associated small                       Carriers (Competitive LECs),                          calendar years. These small business
                                                business size standard, the majority of                 Competitive Access Providers (CAPs),                  size standards, in the context of
                                                firms can be considered small.                          Shared-Tenant Service Providers, and                  broadband PCS auctions, have been
                                                   54. Wireless Service Providers. The                  Other Local Service Providers. Neither                approved by the SBA. No small
                                                SBA has developed a small business                      the Commission nor the SBA has                        businesses within the SBA-approved
                                                size standard for wireless firms within                 developed a small business size                       small business size standards bid
                                                the two broad economic census                           standard specifically for these service               successfully for licenses in Blocks A
                                                categories of ‘‘Paging’’ and ‘‘Cellular and             providers. The appropriate size standard              and B. There were 90 winning bidders
                                                Other Wireless Telecommunications.’’                    under SBA rules is for the category                   that claimed small business status in the
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                                                Under both categories, the SBA deems                    Wired Telecommunications Carriers.                    first two C–Block auctions. A total of 93
                                                a wireless business to be small if it has               Under that size standard, such a                      bidders that claimed small business
                                                1,500 or fewer employees. For the                       business is small if it has 1,500 or fewer            status won approximately 40 percent of
                                                census category of Paging, Census                       employees. Census Bureau data for                     the 1,479 licenses in the first auction for
                                                Bureau data for 2002 show that there                    2007, which now supersede data from                   the D, E, and F Blocks. On April 15,
                                                were 807 firms in this category that                    the 2002 Census, show that there were                 1999, the Commission completed the
                                                operated for the entire year. Of this                   3,188 firms in this category that                     reauction of 347 C–, D–, E–, and F–
                                                total, 804 firms had employment of 999                  operated for the entire year. Of this                 Block licenses in Auction No. 22. Of the


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                                                25986                   Federal Register / Vol. 80, No. 87 / Wednesday, May 6, 2015 / Proposed Rules

                                                57 winning bidders in that auction, 48                  revenues of no more than $15 million in               1915–1920 MHz, 1995–2000 MHz, 2020–
                                                claimed small business status and won                   each of the three previous calendar                   2025 MHz and 2175–2180 MHz bands
                                                277 licenses.                                           years. The Commission awards ‘‘very                   (AWS–2); 2155–2175 MHz band (AWS–
                                                   58. On January 26, 2001, the                         small entity’’ bidding credits to firms               3)). For the AWS–1 bands, the
                                                Commission completed the auction of                     that had revenues of no more than $3                  Commission has defined a ‘‘small
                                                422 C and F Block Broadband PCS                         million in each of the three previous                 business’’ as an entity with average
                                                licenses in Auction No. 35. Of the 35                   calendar years. The SBA has approved                  annual gross revenues for the preceding
                                                winning bidders in that auction, 29                     these small business size standards for               three years not exceeding $40 million,
                                                claimed small business status.                          the 900 MHz Service. The Commission                   and a ‘‘very small business’’ as an entity
                                                Subsequent events concerning Auction                    has held auctions for geographic area                 with average annual gross revenues for
                                                35, including judicial and agency                       licenses in the 800 MHz and 900 MHz                   the preceding three years not exceeding
                                                determinations, resulted in a total of 163              bands. The 900 MHz SMR was                            $15 million. In 2006, the Commission
                                                C and F Block licenses being available                  completed in 1996. Sixty bidders                      conducted its first auction of AWS–1
                                                for grant. On February 15, 2005, the                    claiming that they qualified as small                 licenses. In that initial AWS–1 auction,
                                                Commission completed an auction of                      businesses under the $15 million size                 31 winning bidders identified
                                                242 C–, D–, E–, and F–Block licenses in                 standard won 263 geographic area                      themselves as very small businesses.
                                                Auction No. 58. Of the 24 winning                       licenses in the 900 MHz SMR band. The                 Twenty-six of the winning bidders
                                                bidders in that auction, 16 claimed                     800 MHz SMR auction for the upper 200                 identified themselves as small
                                                small business status and won 156                       channels was conducted in 1997. Ten                   businesses. In a subsequent 2008
                                                licenses. On May 21, 2007, the                          bidders claiming that they qualified as               auction, the Commission offered 35
                                                Commission completed an auction of 33                   small businesses under the $15 million                AWS–1 licenses. Four winning bidders
                                                licenses in the A, C, and F Blocks in                   size standard won 38 geographic area                  identified themselves as very small
                                                Auction No. 71. Of the 12 winning                       licenses for the upper 200 channels in                businesses, and three of the winning
                                                bidders in that auction, five claimed                   the 800 MHz SMR band. A second                        bidders identified themselves as a small
                                                small business status and won 18                        auction for the 800 MHz band was                      business. For AWS–2 and AWS–3,
                                                licenses. On August 20, 2008, the                       conducted in 2002 and included 23 BEA                 although we do not know for certain
                                                Commission completed the auction of                     licenses. One bidder claiming small                   which entities are likely to apply for
                                                20 C–, D–, E–, and F–Block Broadband                    business status won five licenses.                    these frequencies, we note that the
                                                PCS licenses in Auction No. 78. Of the                     61. The auction of the 1,050 800 MHz               AWS–1 bands are comparable to those
                                                eight winning bidders for Broadband                     SMR geographic area licenses for the                  used for cellular service and personal
                                                PCS licenses in that auction, six claimed               General Category channels was                         communications service. The
                                                small business status and won 14                        conducted in 2000. Eleven bidders won                 Commission has not yet adopted size
                                                licenses.                                               108 geographic area licenses for the                  standards for the AWS–2 or AWS–3
                                                   59. Narrowband Personal                              General Category channels in the 800                  bands but has proposed to treat both
                                                Communications Services. To date, two                   MHz SMR band qualified as small                       AWS–2 and AWS–3 similarly to
                                                auctions of narrowband personal                         businesses under the $15 million size                 broadband PCS service and AWS–1
                                                communications services (PCS) licenses                  standard. In an auction completed in                  service due to the comparable capital
                                                have been conducted. For purposes of                    2000, a total of 2,800 Economic Area                  requirements and other factors, such as
                                                the two auctions that have already been                 licenses in the lower 80 channels of the              issues involved in relocating
                                                held, ‘‘small businesses’’ were entities                800 MHz SMR service were awarded. Of                  incumbents and developing markets,
                                                with average gross revenues for the prior               the 22 winning bidders, 19 claimed                    technologies, and services.
                                                three calendar years of $40 million or                  ‘‘small business’’ status and won 129                    64. Rural Radiotelephone Service. The
                                                less. Through these auctions, the                       licenses. Thus, combining all three                   Commission has not adopted a size
                                                Commission has awarded a total of 41                    auctions, 40 winning bidders for                      standard for small businesses specific to
                                                licenses, out of which 11 were obtained                 geographic licenses in the 800 MHz                    the Rural Radiotelephone Service. A
                                                by small businesses. To ensure                          SMR band claimed status as small                      significant subset of the Rural
                                                meaningful participation of small                       business.                                             Radiotelephone Service is the Basic
                                                business entities in future auctions, the                  62. In addition, there are numerous                Exchange Telephone Radio System
                                                Commission has adopted a two-tiered                     incumbent site-by-site SMR licensees                  (‘‘BETRS’’). In the present context, we
                                                small business size standard in the                     and licensees with extended                           will use the SBA’s small business size
                                                Narrowband PCS Second Report and                        implementation authorizations in the                  standard applicable to Wireless
                                                Order. A ‘‘small business’’ is an entity                800 and 900 MHz bands. We do not                      Telecommunications Carriers (except
                                                that, together with affiliates and                      know how many firms provide 800 MHz                   Satellite), i.e., an entity employing no
                                                controlling interests, has average gross                or 900 MHz geographic area SMR                        more than 1,500 persons. There are
                                                revenues for the three preceding years of               pursuant to extended implementation                   approximately 1,000 licensees in the
                                                not more than $40 million. A ‘‘very                     authorizations, nor how many of these                 Rural Radiotelephone Service, and the
                                                small business’’ is an entity that,                     providers have annual revenues of no                  Commission estimates that there are
                                                together with affiliates and controlling                more than $15 million. One firm has                   1,000 or fewer small entity licensees in
                                                interests, has average gross revenues for               over $15 million in revenues. In                      the Rural Radiotelephone Service that
                                                the three preceding years of not more                   addition, we do not know how many of                  may be affected by the rules and
                                                than $15 million. The SBA has                           these firms have 1500 or fewer                        policies adopted herein.
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                                                approved these small business size                      employees. We assume, for purposes of                    65. Wireless Communications
                                                standards.                                              this analysis, that all of the remaining              Services. This service can be used for
                                                   60. Specialized Mobile Radio. The                    existing extended implementation                      fixed, mobile, radiolocation, and digital
                                                Commission awards ‘‘small entity’’                      authorizations are held by small                      audio broadcasting satellite uses in the
                                                bidding credits in auctions for                         entities, as that small business size                 2305–2320 MHz and 2345–2360 MHz
                                                Specialized Mobile Radio (SMR)                          standard is approved by the SBA.                      bands. The Commission defined ‘‘small
                                                geographic area licenses in the 800 MHz                    63. AWS Services (1710–1755 MHz                    business’’ for the wireless
                                                and 900 MHz bands to firms that had                     and 2110–2155 MHz bands (AWS–1);                      communications services (WCS) auction


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                                                                        Federal Register / Vol. 80, No. 87 / Wednesday, May 6, 2015 / Proposed Rules                                            25987

                                                as an entity with average gross revenues                million for the preceding three years.                of these bidders were small businesses
                                                of $40 million for each of the three                    The SBA has approved these small size                 that won a total of 26 licenses. A second
                                                preceding years, and a ‘‘very small                     standards. Auctions of Phase II licenses              auction of 700 MHz Guard Band
                                                business’’ as an entity with average                    commenced on and closed in 1998. In                   licenses commenced and closed in
                                                gross revenues of $15 million for each                  the first auction, 908 licenses were                  2001. All eight of the licenses auctioned
                                                of the three preceding years. The SBA                   auctioned in three different-sized                    were sold to three bidders. One of these
                                                has approved these definitions. The                     geographic areas: three nationwide                    bidders was a small business that won
                                                Commission auctioned geographic area                    licenses, 30 Regional Economic Area                   a total of two licenses.
                                                licenses in the WCS service. In the                     Group (EAG) Licenses, and 875                            69. Upper 700 MHz Band Licenses. In
                                                auction, which commenced on April 15,                   Economic Area (EA) Licenses. Of the                   the 700 MHz Second Report and Order,
                                                1997 and closed on April 25, 1997, there                908 licenses auctioned, 693 were sold.                the Commission revised its rules
                                                were seven bidders that won 31 licenses                 Thirty-nine small businesses won 373                  regarding Upper 700 MHz licenses. On
                                                that qualified as very small business                   licenses in the first 220 MHz auction. A              January 24, 2008, the Commission
                                                entities, and one bidder that won one                   second auction included 225 licenses:                 commenced Auction 73 in which
                                                license that qualified as a small business              216 EA licenses and 9 EAG licenses.                   several licenses in the Upper 700 MHz
                                                entity.                                                 Fourteen companies claiming small                     band were available for licensing: 12
                                                   66. 220 MHz Radio Service—Phase I                    business status won 158 licenses. A                   Regional Economic Area Grouping
                                                Licensees. The 220 MHz service has                      third auction included four licenses: 2               licenses in the C Block, and one
                                                both Phase I and Phase II licenses. Phase               BEA licenses and 2 EAG licenses in the                nationwide license in the D Block. The
                                                I licensing was conducted by lotteries in               220 MHz Service. No small or very                     auction concluded on March 18, 2008,
                                                1992 and 1993. There are approximately                  small business won any of these                       with 3 winning bidders claiming very
                                                1,515 such non-nationwide licensees                     licenses. In 2007, the Commission                     small business status (those with
                                                and four nationwide licensees currently                 conducted a fourth auction of the 220                 attributable average annual gross
                                                authorized to operate in the 220 MHz                    MHz licenses. Bidding credits were                    revenues that do not exceed $15 million
                                                band. The Commission has not                            offered to small businesses. A bidder                 for the preceding three years) and
                                                developed a small business size                         with attributed average annual gross                  winning five licenses.
                                                standard for small entities specifically                revenues that exceeded $3 million and                    70. Lower 700 MHz Band Licenses.
                                                applicable to such incumbent 220 MHz                    did not exceed $15 million for the                    The Commission previously adopted
                                                Phase I licensees. To estimate the                      preceding three years (‘‘small business’’)            criteria for defining three groups of
                                                number of such licensees that are small                 received a 25 percent discount on its                 small businesses for purposes of
                                                businesses, the Commission applies the                  winning bid. A bidder with attributed                 determining their eligibility for special
                                                small business size standard under the                                                                        provisions such as bidding credits. The
                                                                                                        average annual gross revenues that did
                                                SBA rules applicable. The SBA has                                                                             Commission defined a ‘‘small business’’
                                                                                                        not exceed $3 million for the preceding
                                                deemed a wireless business to be small                                                                        as an entity that, together with its
                                                                                                        three years received a 35 percent
                                                if it has 1,500 or fewer employees. For                                                                       affiliates and controlling principals, has
                                                                                                        discount on its winning bid (‘‘very small
                                                this service, the SBA uses the category                                                                       average gross revenues not exceeding
                                                                                                        business’’). Auction 72, which offered
                                                of Wireless Telecommunications                                                                                $40 million for the preceding three
                                                                                                        94 Phase II 220 MHz Service licenses,
                                                Carriers (except Satellite). Census data                                                                      years. A ‘‘very small business’’ is
                                                                                                        concluded in 2007. In this auction, five
                                                for 2007, which supersede data                                                                                defined as an entity that, together with
                                                                                                        winning bidders won a total of 76
                                                contained in the 2002 Census, show that                                                                       its affiliates and controlling principals,
                                                                                                        licenses. Two winning bidders
                                                there were 1,383 firms that operated that                                                                     has average gross revenues that are not
                                                                                                        identified themselves as very small                   more than $15 million for the preceding
                                                year. Of those 1,383, 1,368 had fewer
                                                                                                        businesses won 56 of the 76 licenses.                 three years. Additionally, the lower 700
                                                than 100 employees, and 15 firms had
                                                                                                        One of the winning bidders that                       MHz Service had a third category of
                                                more than 100 employees. Thus under
                                                                                                        identified themselves as a small                      small business status for Metropolitan/
                                                this category and the associated small
                                                                                                        business won 5 of the 76 licenses won.                Rural Service Area (MSA/RSA)
                                                business size standard, the majority of
                                                firms can be considered small.                             68. 700 MHz Guard Band Licenses. In                licenses—‘‘entrepreneur’’—which is
                                                   67. 220 MHz Radio Service—Phase II                   the 700 MHz Guard Band Order, the                     defined as an entity that, together with
                                                Licensees. The 220 MHz service has                      Commission adopted size standards for                 its affiliates and controlling principals,
                                                both Phase I and Phase II licenses. The                 ‘‘small businesses’’ and ‘‘very small                 has average gross revenues that are not
                                                Phase II 220 MHz service is a new                       businesses’’ for purposes of determining              more than $3 million for the preceding
                                                service, and is subject to spectrum                     their eligibility for special provisions              three years. The SBA approved these
                                                auctions. In the 220 MHz Third Report                   such as bidding credits and installment               small size standards. An auction of 740
                                                and Order, the Commission adopted a                     payments. A small business in this                    licenses (one license in each of the 734
                                                small business size standard for                        service is an entity that, together with              MSAs/RSAs and one license in each of
                                                defining ‘‘small’’ and ‘‘very small’’                   its affiliates and controlling principals,            the six Economic Area Groupings
                                                businesses for purposes of determining                  has average gross revenues not                        (EAGs)) was conducted in 2002. Of the
                                                their eligibility for special provisions                exceeding $40 million for the preceding               740 licenses available for auction, 484
                                                such as bidding credits and installment                 three years. Additionally, a ‘‘very small             licenses were won by 102 winning
                                                payments. This small business standard                  business’’ is an entity that, together with           bidders. Seventy-two of the winning
                                                indicates that a ‘‘small business’’ is an               its affiliates and controlling principals,            bidders claimed small business, very
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                                                entity that, together with its affiliates               has average gross revenues that are not               small business or entrepreneur status
                                                and controlling principals, has average                 more than $15 million for the preceding               and won licenses. A second auction
                                                gross revenues not exceeding $15                        three years. SBA approval of these                    commenced on May 28, 2003, closed on
                                                million for the preceding three years. A                definitions is not required. In 2000, the             June 13, 2003, and included 256
                                                ‘‘very small business’’ is defined as an                Commission conducted an auction of 52                 licenses. Seventeen winning bidders
                                                entity that, together with its affiliates               Major Economic Area (‘‘MEA’’) licenses.               claimed small or very small business
                                                and controlling principals, has average                 Of the 104 licenses auctioned, 96                     status, and nine winning bidders
                                                gross revenues that do not exceed $3                    licenses were sold to nine bidders. Five              claimed entrepreneur status. In 2005,


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                                                25988                   Federal Register / Vol. 80, No. 87 / Wednesday, May 6, 2015 / Proposed Rules

                                                the Commission completed an auction                     size standard of $15 million or less in               receiving antennas, cable television
                                                of 5 licenses in the Lower 700 MHz                      average annual receipts, under SBA                    equipment, GPS equipment, pagers,
                                                band. All three winning bidders claimed                 rules. The second has a size standard of              cellular phones, mobile
                                                small business status.                                  $25 million or less in annual receipts.               communications equipment, and radio
                                                   71. In 2007, the Commission                             75. The category of Satellite                      and television studio and broadcasting
                                                reexamined its rules governing the 700                  Telecommunications ‘‘comprises                        equipment.’’ The SBA has developed a
                                                MHz band in the 700 MHz Second                          establishments primarily engaged in                   small business size standard for Radio
                                                Report and Order. An auction of A, B                    providing telecommunications services                 and Television Broadcasting and
                                                and E block 700 MHz licenses was held                   to other establishments in the                        Wireless Communications Equipment
                                                in 2008. Twenty winning bidders                         telecommunications and broadcasting                   Manufacturing which is: all such firms
                                                claimed small business status (those                    industries by forwarding and receiving                having 750 or fewer employees.
                                                with attributable average annual gross                  communications signals via a system of                According to Census Bureau data for
                                                revenues that exceed $15 million and do                 satellites or reselling satellite                     2007, there were a total of 939
                                                not exceed $40 million for the preceding                telecommunications.’’ Census Bureau                   establishments in this category that
                                                three years). Thirty three winning                      data for 2007 show that 512 Satellite                 operated for part or all of the entire year.
                                                bidders claimed very small business                     Telecommunications firms that operated                Of this total, 784 had less than 500
                                                status (those with attributable average                 for that entire year. Of this total, 464              employees and 155 had more than 100
                                                annual gross revenues that do not                       firms had annual receipts of under $10                employees. Thus, under this size
                                                exceed $15 million for the preceding                    million, and 18 firms had receipts of                 standard, the majority of firms can be
                                                three years).                                           $10 million to $24,999,999.                           considered small.
                                                   72. Offshore Radiotelephone Service.                 Consequently, the Commission                             78. Semiconductor and Related
                                                This service operates on several UHF                    estimates that the majority of Satellite              Device Manufacturing. These
                                                television broadcast channels that are                  Telecommunications firms are small                    establishments manufacture computer
                                                not used for television broadcasting in                 entities that might be affected by our                storage devices that allow the storage
                                                the coastal areas of states bordering the               action.                                               and retrieval of data from a phase
                                                Gulf of Mexico. There are presently                        76. The second category, i.e. ‘‘All                change, magnetic, optical, or magnetic/
                                                approximately 55 licensees in this                      Other Telecommunications,’’ comprises                 optical media. The SBA has developed
                                                service. The Commission is unable to                    ‘‘establishments primarily engaged in                 a small business size standard for this
                                                estimate at this time the number of                     providing specialized                                 category of manufacturing; that size
                                                licensees that would qualify as small                   telecommunications services, such as                  standard is 500 or fewer employees
                                                under the SBA’s small business size                     satellite tracking, communications                    storage and retrieval of data from a
                                                standard for the category of Wireless                   telemetry, and radar station operation.               phase change, magnetic, optical, or
                                                Telecommunications Carriers (except                     This industry also includes                           magnetic/optical media. According to
                                                Satellite). Under that standard. Under                  establishments primarily engaged in                   data from the 2007 U.S. Census, in 2007,
                                                that SBA small business size standard,                  providing satellite terminal stations and             there were 954 establishments engaged
                                                a business is small if it has 1,500 or                  associated facilities connected with one              in this business. Of these, 545 had from
                                                fewer employees. Census data for 2007,                  or more terrestrial systems and capable               1 to 19 employees; 219 had from 20 to
                                                which supersede data contained in the                   of transmitting telecommunications to,                99 employees; and 190 had 100 or more
                                                2002 Census, show that there were                       and receiving telecommunications from,                employees. Based on this data, the
                                                1,383 firms that operated that year. Of                 satellite systems. Establishments                     Commission concludes that the majority
                                                those 1,383, 1,368 had fewer than 100                   providing Internet services or Voice                  of the businesses engaged in this
                                                employees, and 15 firms had more than                   over Internet Protocol (VoIP) services                industry are small.
                                                100 employees. Thus under this                          via client-supplied telecommunications
                                                category and the associated small                       connections are also included in this                 D. Description of Projected Reporting,
                                                business size standard, the majority of                 industry.’’ For this category, Census                 Recordkeeping, and Other Compliance
                                                firms can be considered small.                          Bureau data for 2007 show that there                  Requirements for Small Entities
                                                   73. Wireless Telephony. Wireless                     were a total of 2,383 firms that operated               79. The Notice of Proposed
                                                telephony includes cellular, personal                   for the entire year. Of this total, 2,346             Rulemaking does not propose any
                                                communications services, and                            firms had annual receipts of under $25                recordkeeping or reporting
                                                specialized mobile radio telephony                      million and 37 firms had annual                       requirements.
                                                carriers. As noted, the SBA has                         receipts of $25 million to $49,999,999.
                                                developed a small business size                                                                               E. Steps Taken To Minimize Significant
                                                                                                        Consequently, the Commission
                                                standard for Wireless                                                                                         Economic Impact on Small Entities, and
                                                                                                        estimates that the majority of All Other
                                                Telecommunications Carriers (except                                                                           Significant Alternatives Considered
                                                                                                        Telecommunications firms are small
                                                Satellite). Under the SBA small business                entities that might be affected by our                  80. The RFA requires an agency to
                                                size standard, a business is small if it                action.                                               describe any significant, specifically
                                                has 1,500 or fewer employees.                                                                                 small business alternatives that it has
                                                According to Trends in Telephone                        b. Equipment Manufacturers                            considered in reaching its proposed
                                                Service data, 413 carriers reported that                   77. Radio and Television                           approach, which may include the
                                                they were engaged in wireless                           Broadcasting and Wireless                             following four alternatives (among
                                                telephony. Of these, an estimated 261                   Communications Equipment                              others): (1) The establishment of
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                                                have 1,500 or fewer employees and 152                   Manufacturing. The Census Bureau                      differing compliance or reporting
                                                have more than 1,500 employees.                         defines this category as follows: ‘‘This              requirements or timetables that take into
                                                Therefore, more than half of these                      industry comprises establishments                     account the resources available to small
                                                entities can be considered small.                       primarily engaged in manufacturing                    entities; (2) the clarification,
                                                   74. Satellite Telecommunications                     radio and television broadcast and                    consolidation, or simplification of
                                                Providers. Two economic census                          wireless communications equipment.                    compliance or reporting requirements
                                                categories address the satellite industry.              Examples of products made by these                    under the rule for small entities; (3) the
                                                The first category has a small business                 establishments are: transmitting and                  use of performance, rather than design,


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                                                                        Federal Register / Vol. 80, No. 87 / Wednesday, May 6, 2015 / Proposed Rules                                             25989

                                                standards; and (4) and exemption from                   Safety Answering Point, or, where no                  documents, sign language interpreters,
                                                coverage of the rule, or any part thereof,              Public Safety Answering Point has been                CART, etc.) by email: FCC504@fcc.gov
                                                for small entities.                                     designated, to a designated statewide                 or phone: 202–418–0530 or TTY: 202–
                                                   81. The Notice of Proposed                           default answering point or appropriate                418–0432.
                                                Rulemaking proposes sunsetting the NSI                  local emergency authority pursuant to                    For detailed instructions for
                                                rule after a six-month transition period,               § 64.3001 of this chapter, provided that              submitting comments and additional
                                                as well as seeking comment on a variety                 ‘‘all wireless 911 calls’’ is defined as              information on the rulemaking process,
                                                of possible alternatives to addressing the              ‘‘any call initiated by a wireless user               see the SUPPLEMENTARY INFORMATION
                                                issue of fraudulent calls from NSI                      dialing 911 on a phone using a                        section of this document.
                                                handsets. Because sunsetting the NSI                    compliant radio frequency protocol of                 FOR FURTHER INFORMATION CONTACT:
                                                rule will remove certain call-forwarding                the serving carrier.’’ After [insert date             Alexis Johns, Wireline Competition
                                                obligations on small entities, it is likely             six months from the effective date of the             Bureau, Competition Policy Division,
                                                the method that would impose the least                  Order], the requirements of this section              (202) 418–1580, or send an email to
                                                costs on these small entities.                          will no longer apply to calls from non-               alexis.johns@fcc.gov.
                                                F. Federal Rules That May Duplicate,                    service-initialized handsets as defined               SUPPLEMENTARY INFORMATION: This is a
                                                Overlap, or Conflict With the Proposed                  in paragraph (o)(3)(i) of this section.               summary of the Commission’s Notice of
                                                Rules                                                   *      *    *      *    *                             Proposed Rulemaking in WC Docket No.
                                                                                                           (o) * * *                                          15–33, adopted February 2, 2015 and
                                                  82. None.
                                                                                                           (4) Sunset. The requirements of this               released February 6, 2015. The full text
                                                VI. Ordering Clause                                     paragraph shall cease to be effective                 of this document is available for public
                                                  83. The Federal Communications                        [insert date six months from the                      inspection during regular business
                                                Commission ADOPTS, pursuant to                          effective date of the Order].                         hours in the FCC Reference Information
                                                Sections 1, 4(i), 4(j), 303(r) and 332 of               *      *    *      *    *                             Center, Portals II, 445 12th Street SW.,
                                                the Communications Act of 1934, 47                      [FR Doc. 2015–10472 Filed 5–5–15; 8:45 am]            Room CY–A257, Washington, DC 20554.
                                                U.S.C. 151, 154(i), 154(j), 303(r), 332,                BILLING CODE 6712–01–P                                The document may also be purchased
                                                this Notice of Proposed Rulemaking.                                                                           from the Commission’s duplicating
                                                  84. It is further ORDERED that the                                                                          contractor, Best Copy and Printing, Inc.,
                                                Commission’s Consumer and                               FEDERAL COMMUNICATIONS                                445 12th Street SW., Room CY–B402,
                                                Governmental Affairs Bureau, Reference                  COMMISSION                                            Washington, DC 20554, telephone (800)
                                                Information Center, SHALL SEND a                                                                              378–3160 or (202) 863–2893, facsimile
                                                copy of this Notice of Proposed                         47 CFR Parts 36, 42, 54, 63, and 64                   (202) 863–2898, or via the Internet at
                                                Rulemaking, including the Initial                       [WC Docket No. 15–33; FCC 15–13]                      http://www.bcpiweb.com. It is available
                                                Regulatory Flexibility Analysis, to the                                                                       on the Commission’s Web site at
                                                Chief Counsel for Advocacy of the Small                 Modernizing Common Carrier Rules                      http://www.fcc.gov.
                                                Business Administration.                                AGENCY: Federal Communications                        I. Introduction
                                                List of Subjects in 47 CFR Part 20                      Commission.                                             1. This Notice of Proposed
                                                  Communications common carriers,                       ACTION: Notice of proposed rulemaking.                Rulemaking (NPRM) seeks to update our
                                                Communications equipment.                                                                                     rules to better reflect current
                                                                                                        SUMMARY:    In this document, the Federal             requirements and technology by
                                                Federal Communications Commission.                      Communications Commission                             removing outmoded regulations from
                                                Marlene H. Dortch,                                      (Commission) initiates a rulemaking                   the Code of Federal Regulations (CFR).
                                                Secretary.                                              that seeks to update the Commission’s                 The NPRM proposes to update the CFR
                                                                                                        rules to better reflect current                       by (1) eliminating certain rules from
                                                Proposed Rules
                                                                                                        requirements and technology by                        which the Commission has forborn, and
                                                  For the reasons discussed in the                      removing outmoded regulations from
                                                preamble, the Federal Communications                                                                          (2) eliminating references to telegraph
                                                                                                        the CFR. The Commission proposes to                   service in certain rules.
                                                Commission proposes to amend 47 part                    update the CFR by eliminating certain
                                                20 as follows:                                                                                                   2. The NPRM follows two orders
                                                                                                        rules from which the Commission has                   adopted in 2013 that granted
                                                                                                        forborn and eliminating references to                 forbearance from 126 legacy wireline
                                                PART 20—COMMERCIAL MOBILE                               telegraph service in certain rules. The
                                                RADIO SERVICES                                                                                                regulations, and the Process Reform
                                                                                                        Commission would clarify regulatory                   Report, a Commission staff report that
                                                ■ 1. The authority citation for part 20                 requirements, and modernize our rules                 suggested eliminating or streamlining
                                                continues to read:                                      to better reflect the state of the current            wireline rules that are unnecessary as a
                                                                                                        telecommunications market.                            result of marketplace or technology
                                                  Authority: 47 U.S.C. 151, 152(a), 154(i),
                                                157, 160, 201, 214, 222, 251(e), 301, 302, 303,         DATES: Submit comments on or before                   changes. In this NPRM, we propose to
                                                303(b), 303(r), 307, 307(a), 309, 309(j)(3), 316,       June 5, 2015. Submit reply comments on                address Recommendations 5.37 and
                                                316(a), 332, 615, 615a, 615b, 615c.                     or before June 22, 2015.                              5.38 of the Process Reform Report.
                                                ■ 2. Section 20.18 is amended by                        ADDRESSES: You may submit comments,                      3. We propose to eliminate several
                                                revising paragraph (b) and adding                       identified by WC Docket No. 15–33 by                  rules from which the Commission has
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                                                paragraph (o)(4), to read as follows:                   any of the following methods:                         granted unconditional forbearance for
                                                                                                           • Federal Communications                           all carriers. These are: (1) Section
                                                § 20.18   911 Service.                                  Commission’s Web site: http://                        64.804(c)–(g), which governs a carrier’s
                                                *     *     *     *     *                               fjallfoss.fcc.gov/ecfs2/. Follow the                  recordkeeping and other obligations
                                                  (b) Basic 911 Service. CMRS providers                 instructions for submitting comments.                 when it extends to federal candidates
                                                subject to this section must transmit all                  • People with Disabilities: Contact                unsecured credit for communications
                                                wireless 911 calls without respect to                   the FCC to request reasonable                         service; (2) sections 42.4, 42.5, and 42.7,
                                                their call validation process to a Public               accommodations (accessible format                     which require carriers to preserve


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Document Created: 2015-12-16 07:41:26
Document Modified: 2015-12-16 07:41:26
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesSubmit comments on or before June 5, 2015 and reply comments by July 6, 2015. Written comments on the Paperwork Reduction Act proposed information collection requirements must be submitted by the public, Office of Management and Budget (OMB), and other interested parties on or before July 6, 2015.
ContactMichael E. Connelly, Attorney Advisor, Public Safety and Homeland Security Bureau, (202) 418-0132 or [email protected] For additional information concerning the Paperwork Reduction Act information collection requirements contained in this document, contact Nicole Ongele, (202) 418-2991, or send an email to [email protected]
FR Citation80 FR 25977 
CFR AssociatedCommunications Common Carriers and Communications Equipment

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