80_FR_34465 80 FR 34350 - Amendments to the Commission's Rules Concerning Disruptions to Communications

80 FR 34350 - Amendments to the Commission's Rules Concerning Disruptions to Communications

FEDERAL COMMUNICATIONS COMMISSION

Federal Register Volume 80, Issue 115 (June 16, 2015)

Page Range34350-34362
FR Document2015-14687

In this document, the Commission seeks comment on proposals to improve its rules governing the reporting of disruptions to communications. The proposals contained in this document seek to build on the Commission's decade of experience administering these rules and the associated Network Outage Reporting System (NORS). This experience has provided perspective on aspects of the rules that could be refined so as to improve the quality and utility of the outage reporting data the Commission receives. Improving the reporting that occurs under the Commission's rules will advance the Commission's efforts to monitor the reliability and resiliency of the nation's communications networks, including 911 networks, and to address systemic vulnerabilities and threats to the communications infrastructure.

Federal Register, Volume 80 Issue 115 (Tuesday, June 16, 2015)
[Federal Register Volume 80, Number 115 (Tuesday, June 16, 2015)]
[Proposed Rules]
[Pages 34350-34362]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-14687]


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FEDERAL COMMUNICATIONS COMMISSION

47 CFR Part 4

[PS Docket No. 15-80; FCC 15-39]


Amendments to the Commission's Rules Concerning Disruptions to 
Communications

AGENCY: Federal Communications Commission.

ACTION: Proposed rule.

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SUMMARY: In this document, the Commission seeks comment on proposals to 
improve its rules governing the reporting of disruptions to 
communications. The proposals contained in this document seek to build 
on the Commission's decade of experience administering these rules and 
the associated Network Outage Reporting System (NORS). This experience 
has provided perspective on aspects of the rules that could be refined 
so as to improve the quality and utility of the outage reporting data 
the Commission receives. Improving the reporting that occurs under the 
Commission's rules will advance the Commission's efforts to monitor the 
reliability and resiliency of the nation's communications networks, 
including 911 networks, and to address systemic vulnerabilities and 
threats to the communications infrastructure.

DATES: Submit comments on or before July 16, 2015, and reply comments 
on or before July 31, 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 August 17, 2015.

ADDRESSES: You may submit comments, identified by PS Docket No. 15-80, 
by any of the following methods:
     Federal Communications Commission's Web site: http://fjallfoss.fcc.gov/ecfs2/. Follow the instructions for submitting 
comments.
     People with Disabilities: Contact the FCC to request 
reasonable accommodations (accessible format documents, sign language 
interpreters, CART, etc.) by email: [email protected] or phone: 202-418-
0530 or TTY: 202-418-0432.
    For detailed instructions for submitting comments and additional 
information on the rulemaking process, see the SUPPLEMENTARY 
INFORMATION section of this document. 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 
[email protected] and to Nicholas A. Fraser, Office of Management and Budget, 
via email to [email protected] or via fax at 202-395-5167.

FOR FURTHER INFORMATION CONTACT: Brenda D. Villanueva, Attorney 
Advisor, Public Safety and Homeland Security Bureau, (202) 418-7005 or 
[email protected]. For additional information concerning the 
Paperwork Reduction Act information collection requirements contained 
in this document, send an email to [email protected] or contact Nicole 
On'gele, (202) 418-2991.

SUPPLEMENTARY INFORMATION: This is a summary of the Commission's Notice 
of Proposed Rulemaking in PS Docket No. 15-80, released on March 30, 
2015. The complete text of this document is available for public 
inspection and copying from 8 a.m. to 4:30 p.m. ET Monday through 
Thursday or from 8 a.m. to 11:30 a.m. ET on Fridays in the FCC 
Reference Information Center, 445 12th Street SW., Room CY-A257, 
Washington, DC 20554. In addition, the complete text is available 
online http://www.fcc.gov/document/fcc-adopts-part-4-improvements-item.
    This document contains proposed 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

[[Page 34351]]

collection requirements contained in this document, as required by the 
Paperwork Reduction Act of 1995, Public Law 104-13. Public and agency 
comments are due August 17, 2015. Comments should address: (a) Whether 
the proposed collection of information is necessary for the proper 
performance of the functions of the Commission, including whether the 
information shall have practical utility; (b) the accuracy of the 
Commission's burden estimates; (c) ways to enhance the quality, 
utility, and clarity of the information collected; (d) ways to minimize 
the burden of the collection of information on the respondents, 
including the use of automated collection techniques or other forms of 
information technology; and (e) way to further reduce the information 
collection burden on small business concerns with fewer than 25 
employees. In addition, pursuant to the Small Business Paperwork Relief 
Act of 2002, Public Law 107-198, see 44 U.S.C. 3506(c)(4), we seek 
specific comment on how we might further reduce the information 
collection burden for small business concerns with fewer than 25 
employees.
    To view a copy of this information collection request (ICR) 
submitted to OMB: (1) Go to the Web page http://www.reginfo.gov/public/do/PRAMain, (2) look for the section of the Web page called ``Currently 
Under Review,'' (3) click on the downward-pointing arrow in the 
``Select Agency'' box below the ``Currently Under Review'' heading, (4) 
select ``Federal Communications Commission'' from the list of agencies 
presented in the ``Select Agency'' box, (5) click the ``Submit'' button 
to the right of the ``Select Agency'' box, (6) when the list of FCC 
ICRs currently under review appears, look for the Title of this ICR and 
then click on the ICR Reference Number. A copy of the FCC submission to 
OMB will be displayed.
    OMB Control Number: 3060-0484.
    Title: Section 4.9, Part 4 of the Commission's Rules Concerning 
Disruptions to Communications.
    Form No.: Not applicable.
    Type of Review: Revision of currently approved collection.
    Respondents: Business or other for-profit; not-for-profit 
institutions.
    Number of Respondents and Responses: 1,100 Respondents; 15,783 
Responses.
    Estimated Time per Response: 2-2.5 hours.
    Frequency of Response: On occasion and annual reporting 
requirements, recordkeeping requirement and third party disclosure 
requirement.
    Obligation to Respond: Mandatory.
    Statutory authority for this collection of information is contained 
in 47 U.S.C. 151, 154(i)-(j) & (o), 201(b), 214(d), 218, 251(e)(3), 
301, 303(b), 303(g), 303(r), 307, 309(a), 316, 332, 403, 615a-1, and 
615c.
    Total Annual Burden: 30,548 hours.
    Total Annual Costs: None.
    Privacy Act Impact Assessment: No impact(s).
    Nature and Extent of Confidentiality: Collected information is 
afforded a presumption of confidential treatment under section 4.2 of 
the Commission's rules.
Synopsis of Notice of Proposed Rulemaking
    In this document, the Federal Communications Commission 
(Commission) seeks comment on proposals to update its part 4 outage 
reporting rules. In doing so it seeks to apply a decade of experience 
administering the part 4 rules and the associated Network Outage 
Reporting System, which has improved the Commission's ability to detect 
adverse outage trends and facilitate industry-wide network 
improvements. Our primary goal remains ensuring the reliability and 
resiliency of the Nation's communications system, and in particular 
strengthening the Nation's 911 system.
    In a companion document, a Second Report and Order and Order on 
Reconsideration in ET Docket No. 04-35, the Commission resolves several 
outstanding matters related to its adoption of the part 4 rules in a 
Report and Order in 2004. This includes disposing of seven pending 
Petitions for Reconsideration (Petitions). Some of the issues raised in 
some of these Petitions, as well as in their responsive pleadings, are 
incorporated into proposals considered in this NPRM. The portions of 
these pleadings that present substantive arguments on such issues are 
incorporated into the record of this proceeding.

I. Notice of Proposed Rulemaking

A. Costs and Benefits

    1. We seek comment on the potential costs and benefits associated 
with each proposal considered below. As a general matter, we seek to 
determine the most cost-effective approach for modifying existing 
policies and practices to achieve the goals of our proposed rules. We 
ask that commenters provide specific data and information, such as 
actual or estimated dollar figures, including a description of how the 
data or information was calculated or obtained and any supporting 
documentation. Vague or unsupported assertions regarding costs or 
benefits generally will receive less weight and be less persuasive than 
more specific and supported statements.
    2. Some of the proposals advanced today would likely increase the 
number of reports, and some would likely decrease the number of 
reports. We estimate that, overall, adoption of the proposed rules may 
result in the filing of a total of 339 additional reports industry-wide 
per year, representing a $54,240 cost increase. This net cost increase 
is the sum of a $526,560 in cost increases and $472,320 in cost 
reductions. The projected cost increases are associated with proposed 
requirements for reporting outages that significantly degrade 911 
communications ($1,600); radio access network overload events in 
wireless networks ($67,200); simplex outages that persist forty-eight 
hours or longer ($163,200); and wireless outages in rural areas based 
on geographic impact ($294,560). The cost reductions are associated 
with proposals to raise the threshold for reporting major facility 
outages ($453,600) and to clarify when airport-related outages are 
subject to reporting ($18,720). We project that other proposals 
contained in the NPRM will not have an appreciable cost impact. Given 
the breadth of industry sectors subject to Part 4, we believe this 
estimated total cost impact to be de minimis, and, in any event, 
significantly outweighed by the benefits to the public interest from 
adopting these changes. The modest proposals set forth in this NPRM 
will improve the Commission's ability to fulfill its statutory mission 
and inform policymaking, such as the Commission's efforts to safeguard 
the public safety attributes of networks as critical communications 
transition to Internet Protocol-based platforms. In addition, we expect 
that adoption of the proposed rules will enhance the Commission's 
effective coordination with the Department of Homeland Security (DHS) 
and other federal agencies on matters of national security and 
emergency preparedness, response, and recovery. We seek comment on 
whether, or to what extent, the proposed rule changes below will help 
the Commission achieve these goals.

B. Call Failures

    3. Reporting of Outages That Significantly Degrade Communications 
to PSAP(s). We first seek comment on whether to amend our rules to 
clarify the circumstances under which degradation of communications to 
a PSAP constitutes a reportable outage under section 4.9(e)(1) of our 
rules.

[[Page 34352]]

Some providers may be interpreting this provision narrowly to require 
reporting only when there is a complete, i.e., when a PSAP is rendered 
unable to receive any 911 calls for a long enough period to meet the 
reporting threshold. Under this interpretation, a failure or 
degradation that prevents hundreds or even thousands of 911 calls from 
completing might fail to qualify as a reportable outage if some 911 
calls continued to reach the PSAP throughout the event. We believe that 
such a narrow reading of the provision is not consistent with the 
intent of the Part 4 outage reporting process and that the rule should 
not be left open to this interpretation during an event that 
debilitates 911 service. In adopting Part 4 in 2004, the Commission 
defined a reportable outage to include a significant degradation.
    4. A network malfunction or higher level issue that prevents large 
numbers of 911 calls from completing certainly disrupts service in a 
manner that endangers public safety, irrespective of whether any PSAP 
has suffered a complete loss of ability to receive 911 calls. Moreover, 
requiring reporting under such circumstances would permit systematic 
analysis of the conditions that lead to these degradations and help 
reveal potential solutions. Without the benefits of such reporting, the 
Commission may not have sufficient, timely information to address 
serious incidents of this magnitude.
    5. Accordingly, we propose revising section 4.5(e)(1) to clarify 
that any network malfunction or higher-level issue that significantly 
degrades or prevents 911 calls from being completed constitutes a 
``loss of communications to PSAP(s),'' regardless of whether the PSAP 
is rendered completely unable to receive 911 calls. We seek comment on 
this proposed clarification. How would a provider determine the need to 
report an outage that results only in a partial ``loss of 
communications'' to a PSAP? Should the provider simply calculate user 
minutes potentially affected as it would for a complete loss of 
communications, and then multiply that figure by the percentage of PSAP 
communications capacity that has been ``lost'' to determine whether the 
900,000 user minutes threshold has been reached? Is the percentage of 
lost capacity equivalent to the percentage of trunks serving a PSAP 
that have been disabled, or are there factors (e.g., built-in 
redundancy) that complicate the relationship between these parameters? 
Should a ``loss of communications to PSAP(s)'' be defined to include 
only ``losses'' that exceed a certain magnitude? For instance, should 
we specify that a ``loss of communications'' to a PSAP occurs only when 
at least 80 percent of the trunks serving a PSAP are disabled? As 
another possibility, should we consider establishing a separate 
reporting threshold based on the number of 911 calls that actually fail 
to be completed as the result of an outage? If so, should we set a 
uniform numerical threshold, or should the threshold be relative to the 
number of users a PSAP serves? Should the Commission require reporting 
of any outage of at least thirty minutes' duration that exceeds some 
threshold level of impairment to the communications capabilities of any 
PSAP, irrespective of the number of user minutes potentially affected? 
If so, how should the Commission define such a threshold? Are there 
other metrics and thresholds the Commission should consider that could 
better capture this type of degradation in the ability to complete 911 
calls? What are the potential advantages and disadvantages of any such 
alternatives?
    6. We also seek comment on the costs and benefits of the various 
measures mentioned above. Even assuming that the measures would expand 
reporting obligations, we do not believe that any such measures would 
have a substantial cost impact. Over the previous three years, the 
Commission has been made aware of only a handful of events that appear 
to have produced a ``significant degradation in communications to a 
PSAP(s)'' without resulting in a complete loss of such communications. 
For purposes of estimating reporting costs, we could treat those years 
as a best case scenario and instead posit that as many as ten such 
events a year would be reportable were we to adopt any of the various 
measures considered above. Assuming further that each reportable event 
requires two hours of staff time to report, at eighty dollars per hour, 
we conclude that adoption of any of the considered measures would 
result in a total cost increase of $1,600 per year. The two-hour 
estimate, which we use throughout this document, includes the time 
necessary to file the notification, initial report and final report. 
These estimates were developed in 2004 during the process to obtain 
approval for the information collection associated with the original 
Part 4 rules and were subject to public comment both then and at 
periodic intervals since to renew the collection authorization. We 
believe these estimates remain valid, especially in light of both 
advances in information technology that have permitted providers to 
streamline processes and providers' increasing familiarity with the 
NORS outage reporting process. We seek comment on the foregoing 
analysis, including the assumptions used to arrive at the cost estimate 
and the extent to which these estimates appropriately reflect the costs 
associated with reporting. Interested parties should include 
information regarding whether the submission process (i.e., time to 
fill out the form, review by management and filing) takes two hours. We 
also seek comment as to whether we could achieve our objectives in a 
less costly, less burdensome, or more efficient manner. Finally, we 
clarify that our proposals in this NPRM do not prejudge any issue the 
Commission may take up in another docket or proceeding to address the 
reliability of 911 service.
    7. Call Failures in the Wireless Access Network. We next seek 
comment on the reporting of wireless call failures that result from 
congestion in the access network, a problem often encountered during 
emergencies. In particular, the inability of a radio access network 
(RAN) to support excess demand for radio channels may not constitute a 
reportable ``failure or degradation'' under our current rules, yet 
pervasive call failures undermine the reliability of networks for 
consumers regardless of their cause. Because this appears to be 
predominantly an issue with wireless networks, we propose to amend our 
part 4 rules to require the reporting of systemic wireless call 
failures that result from RAN overloading. In doing so we note that the 
Commission already requires reporting of interexchange carrier (IXC) 
and local exchange carrier (LEC) tandem facility outages of at least 
thirty minutes' duration in which 90,000 or more calls are blocked.
    8. Such failures appear to be most prevalent during and in the 
immediate aftermath of major disasters, when call volume is 
particularly heavy. To provide a more complete understanding of the 
problem, we seek comment on the failure rate of wireless calls. How 
often and under what circumstances do wireless calls fail in RANs? How 
different is that failure rate from the rate experienced during 
ordinary circumstances? How different is that from failure rates in 
wireline networks--including both TDM and IP-based networks--in both 
extraordinary (e.g., during or immediately after a weather event) and 
typical circumstances? How often and with what impact is ``load 
shedding'' applied whereby a provider intentionally decreases network 
functionality to allocate available resources to the most critical 
functions?
    9. We also seek comment on ways to measure the customer impact of 
call failures caused by RAN congestion. The

[[Page 34353]]

most obvious potential metric is percent of calls failed. Is there a 
surrogate metric more readily attainable that can provide the 
Commission with similar information? What are the relative strengths 
and weaknesses of each metric? What would be the appropriate reporting 
threshold? Are there alternative ways of defining the reporting 
threshold that would generate more useful information without imposing 
unreasonable burdens on reporting entities? Are there other indicators 
the Commission could track that would help it better understand the 
network dynamics that prevent a wireless network from effectively 
handling calls once a certain saturation point is reached? Are these 
indicators likely to vary depending on the technology used to provide 
service?
    10. We also seek comment on the costs, burdens and benefits of 
requiring providers to report widespread call failures in wireless 
RANs. To estimate these costs, we first assume that wireless access 
networks and interoffice networks are engineered to achieve comparably 
low rates of call failure (i.e., blocked calls). We base this 
assumption on the fact that the nation's communications networks are 
vastly interdependent, which we believe could encourage the 
implementation of similarly robust parameters across networks, e.g., 
call blocking monitoring and measuring. This leads us to assume that 
these two types of networks have a comparable rate of calls blocked 
and, therefore, would have a comparable number of outage reports. We 
seek comment on these assumptions. As the Commission receives 
approximately 420 reports per year of interoffice facility outages, we 
estimate that adoption of the proposed requirement would result in the 
filing of an additional 420 reports per year. Assuming further that two 
hours of staff time are necessary to file the reports on each outage, 
at eighty dollars per hour, we tentatively conclude that the adoption 
of the requirement would result in an annual increase of $67,200 in 
reporting costs. We also assume that providers are already technically 
capable of tracking call failures at each cell site, and that they do 
so as a matter of practice, and they thus would not incur additional 
costs in tracking reportable outages under the proposed rule. We seek 
comment on this cost estimate, including its underlying assumptions. We 
believe these costs would be outweighed by the concomitant benefits of 
improved Commission awareness of the frequency and impact of RAN-
overload events on wireless customers, and of providing the Commission 
with greater understanding about the overall health of the nation's 
networks and, thereby, the ability to work with industry toward 
improved reliability and situational awareness goals to ultimately 
achieve and sustain more reliable and resilient communications 
networks.
    11. Call Failures in the Non-Wireless Access Network. The 
Commission's rules also do not require reporting on widespread call 
blockages in the non-wireless local access network to the extent such 
events involve no ``failure or degradation'' of the network. We seek 
comment on whether the Commission should impose similar reporting 
requirements on these types of outages. If so, how should such 
requirements be defined, and what costs and benefits would attend their 
adoption? Is there evidence that congestion in the access portion of a 
wireline network causes significant amount of calls to fail?

C. Major Transport Facility Outages

1. Appropriate Metric and Threshold
    12. The Commission requires reporting of ``failures of 
communications infrastructure components having significant traffic-
carrying capacity.'' Based on our analysis of NORS data, it appears 
that an increasing proportion of the outages reported under the current 
DS3-based standard are minor disruptions unlikely to have a significant 
impact on communications or jeopardize public safety. Accordingly, we 
seek comment on whether upward adjustment of the reporting threshold 
for transport facility outages could reduce reporting burdens while 
preserving the Commission's ability to obtain critical information 
about communications reliability.
    13. In its Petition, Qwest (now CenturyLink) argued that the outage 
reporting threshold should be defined in terms of impact on ``OCn''- 
level circuits (i.e., optical circuits such as OC1 and OC3) rather than 
DS3 circuits. Alternatively, Qwest argues that the Commission should 
require reporting of DS3 outages only on a quarterly basis.
    14. In the years since the part 4 rules were adopted and Qwest 
filed its petition, the industry has come to rely more heavily on 
circuits larger than the DS3, including OCn-level circuits, for 
transport of communications traffic. We thus believe it may be 
appropriate to express the reporting threshold for transport facility 
outages in terms of impact on higher capacity circuits. In particular, 
we propose to define the threshold in terms of ``OC3 minutes'', i.e., 
based on impact on OC3 circuits or other circuits or aggregations of 
circuits that provide equal or greater capacity. We believe that 
expression of the outage threshold in ``OC3 minutes'' may better 
indicate the magnitude of network outages to which the part 4 rules 
were designed to apply. We seek comment on this proposal.
    15. We further seek comment on raising the reporting threshold to 
account for changes in how networks are scaled and designed. The 
current threshold of 1,350 DS3 minutes--which is equivalent to 450 OC3 
minutes--was selected, consistent with our goals of technological 
neutrality, to match the 900,000 user minutes threshold put in place 
for voice-grade services, based on a calculation of 667 voice-grade 
users per DS3. Yet, as communications services transition to more 
advanced technologies, greater capacity often carries the same number 
of users. In the emerging VoIP environment, we believe that 450 voice-
grade equivalent users is a better estimate of the carrying capacity of 
a single DS3, based on our recent estimate that a single VoIP call 
requires 100 kbps of bandwidth. This would mean that, to retain 
equivalency with the 900,000 user minutes threshold, the major 
facilities outage threshold should be adjusted to 2,000 DS3 minutes--or 
667 OC3 minutes. We seek comment on this analysis and on the resultant 
proposal.
    16. We also seek comment on the cost savings that would accrue from 
this proposal. We observe that there were 2,208 major transport 
facility outages reported in 2013 that did not affect OC3-grade or 
equivalent circuits, and an additional 627 that did not exceed 667 OC3 
minutes. We accordingly believe that the proposed changes to the 
reporting requirements for major transport facility outages could 
reduce the number of associated reports filed each year by as many as 
2,835. Assuming that each such report would have required two staff 
hours to complete, at eighty dollars per hour, we conclude that the 
proposed adjustments of the reporting threshold for major facility 
outages would reduce reporting costs by $453,600. We seek comment on 
this cost analysis and its underlying assumptions.
2. Simplex Outage Reporting
    17. A simplex event occurs when circuits that are configured with 
built-in path protection, as when arranged in a protection scheme such 
as a Synchronous Optical Network (SONET) ring, lose one of the paths. 
Under such configurations, when one of the circuits fails, traffic is 
diverted to a back-up circuit or ``protect path,'' and a

[[Page 34354]]

``simplex event'' has occurred. We propose to shorten from five days to 
48 hours the reporting timeframe for this type of event. While above we 
propose to revise the metric for reporting major facility outages from 
DS3-based to OC3-based, we now address the independent concern of the 
appropriate time frame for reporting simplex events on major network 
facilities, regardless of whether measured as DS or OC.
    18. When it adopted the part 4 rules the Commission rejected a 
proposal to exempt ``simplex events'' from the reach of these 
requirements and determined that such events would constitute 
reportable outages. The Commission reasoned that, although such events 
do not immediately result in any loss of communications, they eliminate 
redundancies that prevent major losses of communications from occurring 
and provide valuable insight into the actual resiliency of critical 
networks. The Commission later issued a Partial Stay Order that granted 
a stay of this requirement as to outages that persist for less than 
five days. In issuing this partial stay, the Commission contemplated 
``developing a full record'' on this issue, including on the costs that 
providers would incur in complying with the rule as originally adopted.
    19. Some Petitioners argue that it is overly burdensome to report 
simplex events. In its response to the Petitions, the National 
Association of State Utility Consumer Advocates (NASUCA) argued that 
circuits are ``critical'' for commerce and national defense, including, 
``Federal Reserve, ATM and other bank and commercial transactions, FAA 
flight controls, [and] the Defense Department[,]'' and that simplex 
outages should thus be reported.
    20. Because simplex events are typically scheduled for repair 
during daily maintenance cycles as Petitioners suggest, such outages 
should generally be rectified within twenty-four to forty-eight hours 
in the normal course of business. Neglecting to address simplex outages 
within forty-eight hours of their discovery would thus contravene an 
established industry best practice. Recent years have witnessed an 
increase in the reporting of simplex outages, even under the relaxed, 
five-day standard set forth in the Partial Stay Order, wherein the 
Commission conceded that five days for repair of a simplex outage may 
be tolerable ``[i]n the worst case scenario.'' This suggests that the 
best practice is not being followed.
    21. In light of these observations, we propose improving our 
reporting requirements for simplex events to require reporting of any 
such event not rectified within forty-eight hours of its discovery as a 
reportable outage. We seek comment on the choice of forty-eight hours 
after discovery of a reportable outage as the point at which providers 
must report the outage. Are providers correct in asserting that the 
vast majority of these outages are likely to be repaired within a 
forty-eight-hour window and thus would remain exempt from reporting? 
How common are outages that last longer than forty-eight hours but 
shorter than five days after they are discovered as reportable outages? 
Do the outages that persist longer than five days tend to be 
particularly large in scope or difficult to repair? Is there an 
alternative threshold for the reporting of simplex events that the 
Commission should consider? If so, what is the threshold and what are 
its advantages?
    22. We also seek comment on whether, and to what extent, reducing 
the reporting threshold from five days to forty-eight hours would 
increase costs on providers. We believe that this proposed change would 
create incentives for providers to repair simplex outages in a timelier 
manner, without imposing an undue cost burden. We would expect that 
adoption of this proposal would increase the number of reportable 
events, given that there are likely a number of simplex events that 
exceed the shorter 48 hour threshold proposed in this Notice of 
Proposed Rulemaking, but do not exceed the longer 5-day threshold 
currently in the Commission's rules. We propose a proportional estimate 
that the shortened reporting window threshold would double the number 
of simplex outages subject to reporting, this would amount to an 
increase of approximately 1,250 reports per year. However, the proposed 
change from DS3 to OC3-based reporting for major network transport 
facility outages would reduce the number of simplex-based reports 
because events affecting a small number of DS3s would no longer be 
reportable. Assuming that we reduce the simplex reporting window 
threshold from five days to 48 hours, and adopt OC3 as the metric 
threshold, we estimate these conditions combined will result in an 
estimated 1,020 additional outage reports. (We calculate 1,020 reports 
= 1,250 additional DS3-based reports due to reduction to 48 hours 
threshold - 230 reports only affecting one or two DS3s. We base this 
calculation on the 230 outage reports previously received by the 
Commission in 2013, for events affecting one or two DS3s.) Assuming 
further that two staff hours required to file each report, at eighty 
dollars per hour, this increase in the number of filed reports would 
carry with it an increased cost of $163,200. We believe these costs 
would be outweighed by the concomitant benefits of improved Commission 
awareness of the extent of industry best practices implementation in 
this area, and of providing the Commission's with greater understanding 
about the overall health of the nation's networks and, thereby, the 
ability to work with industry toward improved reliability and 
situational awareness goals to ultimately achieve and sustain more 
reliable and resilient communications networks. We seek comment on this 
analysis and its underlying assumptions.

D. Wireless Outage Reporting Metrics

    23. Reporting Wireless Outages Generally. We have observed over the 
last several years that wireless providers use different methods to 
calculate the number of users ``potentially affected'' by an outage, 
and we seek to find a uniform method of calculating this number that 
can be used by all reporting wireless providers, regardless of 
underlying technology. Wireless service providers in particular are 
directed to calculate this number ``by multiplying the simultaneous 
call capacity of the affected equipment by a concentration ratio of 
8,'' which is based on ``the generic parameters that are routinely used 
in basic telecommunications traffic analysis.'' This measurement of 
call capacity is undertaken at the mobile switching center (MSC), which 
avoids the ``computational difficulties'' of directly measuring outages 
within the more dynamic radiofrequency (RF) portion of the network. 
However, as wireless technologies have continued to evolve, providers 
implementing different technologies have employed various methods of 
measuring the call capacity of their MSCs for purposes of outage 
reporting. Based on our analysis of the data, it appears that this 
variation among providers and technologies has led to inconsistencies 
in reporting that may compromise the Commission's ability to reliably 
detect wireless network outage trends. The lack of a clear and 
consistent process for measuring and reporting wireless outages also 
undermines the technology neutrality that lies at the heart of the part 
4 rules.
    24. In light of these observations, we propose adopting a more 
standardized, technology neutral method for calculating the number of 
users ``potentially affected'' by a wireless network outage. We seek 
comment on two options.

[[Page 34355]]

    25. First, the wireless provider could calculate the total number 
of users potentially affected by an outage by multiplying the number of 
cell sites disabled as part of the outage by the average number of 
users it serves per site, assuming for purposes of the calculation that 
each user is served by a single site and site assignments are 
distributed evenly throughout the provider's network. Alternatively, a 
wireless provider could determine by reference to its Visitor Location 
Register the actual number of users that were being served at each 
affected cell site when the outage commenced. We seek comment on the 
strengths and weaknesses of each of these calculation methods. How 
significantly would adoption of either proposed method affect current 
reporting practices? Are either or both methods preferable to the 
variety of methods used by providers to measure ``simultaneous call 
capacity'' under the existing rule? What are the drawbacks or 
limitations of each proposed method? Are there ways of modifying either 
method to improve its utility? Would adoption of either method unduly 
favor certain network technologies or deployment configurations over 
others? Is either method more technology neutral than the other? We 
also seek comment on the costs and benefits that would attend adoption 
of either calculation method. We do not believe that adoption of either 
proposed calculation would have an appreciable cost impact. We seek 
comment on this assumption.
    26. Finally, we seek comment on whether to adopt a separate and 
additional wireless outage reporting requirement based on the 
geographical scope of an outage, irrespective of the number of users 
potentially affected. We believe that doing so could provide the 
Commission with valuable information on the reliability of wireless 
service in less densely populated areas. As the percentage of calls to 
911 from wireless devices continues to increase, the negative impact to 
the public from large geographic areas losing wireless coverage for 
emergency calls grows in significance. We seek comment on these 
observations. Were the Commission to adopt a geography-based reporting 
requirement for wireless outages, how should it define the threshold? 
Should providers be required to report any outage that disrupts service 
over a specified percentage (e.g., 5 percent) of the provider's 
advertised coverage footprint or some more granular level (e.g., at the 
State, county, or zip code)?
    27. We also seek comment on the costs and benefits that would 
attend adoption of a geography-based reporting threshold. To estimate 
the cost of a potential, new geographic-based reporting threshold, we 
need to estimate the number of additional reports that would be filed 
under such a threshold. We estimate this number as (1) the number of 
additional outage reports that would be generated by geography-based 
reporting (2) minus the number of reports that would be submitted for 
outages that meet the current 900,000 user-minute threshold. For this 
purpose and based on our experience reviewing a decade's worth of 
outage data, we estimate that geography-based reporting would generate 
additional reports in counties where a company has fifteen or fewer 
cell sites. The number of counties with fifteen or fewer cell sites 
represents 2.7 percent of the total number of cell sites nationwide. 
Using as a guide counties with fifteen or fewer cell sites, a 
disruption to communications would be reportable under a geographic 
coverage standard if one or two cell sites in the county are down. We 
next estimate, based on historical NORS data, that each cell site has a 
22.6 percent chance of experiencing an outage within a given year. 
Finally, we adopt CTIA's estimate that 301,779 cell sites were in 
operation nationwide as of the end of 2012. Based on these data, we 
conclude that adoption of a geography-based reporting requirement would 
likely result in the filing of 1,841 additional reports per year. 
Assuming that two staff hours are required to file each report, at 
eighty dollars per hour, we further conclude that the additional 
reporting would carry with it a $294,560 cost burden. We believe these 
costs would be outweighed by the concomitant benefits of improved 
reporting on wireless outages in less-populated areas, and of providing 
the Commission's with greater understanding about the overall health of 
the nation's networks and, thereby, the ability to work with industry 
toward improved reliability and situational awareness goals to 
ultimately achieve and sustain more reliable and resilient 
communications networks. Are there steps the Commission could take to 
reduce the reporting burden associated with such a requirement?
    28. Estimating the Number of ``Potentially Affected'' Wireless 
Users for Outages Affecting a PSAP. A reportable outage affecting a 911 
special facility--or PSAP--occurs, inter alia, whenever: (1) There is a 
loss of communications to a PSAP potentially affecting at least 900,000 
user-minutes; (2) the outage is not at the PSAP; (3) a complete reroute 
is not possible; and (4) the outage lasts 30 minutes or more. In its 
Petition for Reconsideration, Sprint requests clarification of section 
4.9(e)(5), arguing that ``if an outage affects only one of the 
subtending PSAPs, only those customers whose calls would have been 
routed to such PSAP would potentially be affected.'' Sprint requests 
that wireless providers be permitted to divide the capacity of the 
Mobile Switching Center (MSC), as defined in the rule, by the number of 
subtending PSAPs in order to more accurately estimate the number of end 
users potentially affected by an outage affecting a given PSAP. T-
Mobile supported Sprint's proposal.
    29. We propose a slightly modified version of Sprint's proposal. 
Rather than have providers divide capacity equally among subtending 
PSAPs in order to calculate numbers of users potentially affected, we 
propose that capacity be allocated to each PSAP in reasonable 
proportion to its size in terms of number of users served. Thus, while 
Sprint's proposal would divide the capacity of the MSC evenly by the 
number of PSAPs, our proposal would base the allocation on the size of 
the subtending PSAP. We believe that this clarification would limit 
reporting to those significant outages that potentially impact public 
safety and for which the rules are intended. Moreover, this calculation 
method is consistent with what we observe to be the current reporting 
practice. We seek comment on this proposal. We also seek comment on any 
potential new burdens that would result from this clarification. We do 
not believe that adoption of the proposed modification would have an 
appreciable cost impact. We seek comment on this assumption.

E. Special Offices and Facilities

    30. Identifying ``Special Offices and Facilities.'' Part 4 requires 
various classes of communications providers to report outages that 
potentially affect ``special offices and facilities,'' a term defined 
in section 4.5(b) to include ``major military installations, key 
government facilities, nuclear power plants, and [relatively major 
airports].'' It further states that National Communications System 
(NCS) member agencies will determine which of their facilities qualify 
as major military installations or key government facilities. Prior to 
the dissolution of the NCS in 2012, none of its member agencies 
provided any guidance as to which of their facilities should be 
included in these categories. In the wake of NCS's dissolution and the 
establishment of the Executive Committee on National Security and 
Emergency Preparedness

[[Page 34356]]

Communications, we seek alternative means of identifying ``special 
offices and facilities'' for purposes of part 4.
    31. We propose to classify as ``special offices and facilities'' 
those facilities enrolled in or eligible for the Telecommunications 
Service Priority (TSP) program, which prioritizes the restoration and 
provisioning of circuits used by entities with National Security/
Emergency Preparedness (NS/EP) responsibilities and duties. The TSP 
framework for restoring critical circuits comprises five priority 
levels, with levels 1 and 2 reserved for critical national security and 
military communications and the remaining levels dedicated to the 
protection of public safety and health and the continued functioning of 
the economy. TSP-enrolled facilities include military installations; 
federal cabinet-level department and agency headquarters; state 
governors' offices; Federal Reserve Banks; national stock exchanges; 
federal, state, and local law enforcement facilities; hospitals; 
airports; major passenger rail terminals; nuclear power plants; oil 
refineries; and water treatment plants.
    32. We seek comment on this proposal. If the TSP framework is 
suitable for identifying ``special offices and facilities,'' should the 
rule apply only to facilities enrolled in the program? If so, should 
there be a separate, free ``outage reporting only'' category created 
for facilities that are eligible for TSP but not otherwise enrolled? 
Should ``special offices and facilities'' instead be defined to include 
any facility that would be eligible for TSP? If so, how would a 
provider determine which of the facilities it serves are eligible for 
the program? In addition, if TSP eligibility or enrollment is used to 
define ``special offices and facilities'' under part 4, should 
facilities at all priority levels be included or only those at the 
highest levels? Should the rules expressly exempt providers from 
reporting any information about a TSP-enrolled facility that is 
protected under a confidentiality or non-disclosure agreement with a 
TSP participant? Are there ways in which the TSP framework is 
unsuitable as a basis for classifying ``special offices and 
facilities''? For instance, are there critical facilities that would 
fail to qualify as ``special offices and facilities'' under this 
approach? If so, should we consider broadening the scope of the 
definition to include facilities that are guaranteed priority 
restoration under ``TSP-like'' provisions in service-level agreements? 
Are there alternative classification frameworks that would be more 
suitable? We also request comment on the costs and benefits of these 
proposed options. We do not believe that redefining the term ``special 
offices and facilities'' as considered in this NPRM would have an 
appreciable cost impact. We seek comment on this assumption. Which 
means of defining the term ``special offices and facilities'' would 
strike the optimal balance between useful results and minimal costs to 
all parties? We expressly seek comment from our national security 
agencies on the types of communications sector critical infrastructure 
they believe should be included in such reporting.
    33. Section 4.13. Section 4.13 directs special offices and 
facilities to report outages to the NCS, which may then forward the 
reported information to the Commission at its discretion. No such 
reports were ever forwarded to the FCC from the NCS prior to the 
latter's dissolution in 2012. However, the Commission separately 
imposes requirements on communications providers to report outages that 
potentially affect ``special offices and facilities'' as that term is 
defined section 4.5. Accordingly, we propose deleting section 4.13 from 
our rules as redundant with respect to information that providers are 
already required to supply, and obsolete with respect to obligations 
regarding the NCS. We seek comment on this proposal. Would deleting 
this provision have any practical impact on the Commission's ability to 
gather information about critical outages? Should the Commission 
establish a voluntary mechanism for operators of ``special offices and 
facilities'' to share information directly with the Commission about 
outages affecting their facilities? What benefits to network 
reliability and public safety might be realized were such reports filed 
directly with the Commission? Should the Commission encourage or 
require providers to report information regarding outages affecting 
``special offices and facilities'' to member agencies of the former NCS 
or to agencies that have absorbed NCS functions?
    34. Airport Reporting Requirements. Section 4.5(b) defines 
``special offices and facilities'' to include all airports listed as 
``current primary (PR), commercial service (CM), and reliever (RL) 
airports in the Federal Aviation Administration's (FAA) National Plan 
of Integrated Airports Systems (NPIAS).'' In its Petition, Sprint asks 
the Commission to clarify that outages that ``potentially affect'' such 
airports (and are thereby reportable under various subsections of 
section 4.9 of the rules) are classified as such only to the extent 
they have a potential impact on critical communications. Such an 
interpretation is consistent with language proposed but not adopted in 
the Part 4 rulemaking proceeding, under which an outage potentially 
affecting an airport would have been defined as one that: (i) Disrupts 
50 percent or more of the air traffic control links or other FAA 
communications links to any airport; (ii) has caused an Air Route 
Traffic Control Center (ARTCC) or airport to lose its radar; (iii) has 
caused a loss of both primary and backup facilities at any ARTCC or 
airport; or (iv) has affected an ARTCC or airport that is deemed 
important by the FAA as indicated by FAA inquiry to the provider's 
management personnel.
    35. We propose clarifying the circumstances under which providers 
must report outages potentially affecting airport communications. In 
doing so, we first observe that most of the reports filed in this 
category have concerned outages not significant enough to pose a 
substantial threat to public safety, particularly at smaller regional 
airports. In light of this observation, we seek comment on amending the 
definition of ``special offices and facilities'' to exclude all 
airports other than those designated ``primary commercial service'' 
airports in the NPIAS. This category includes the nation's most heavily 
trafficked airports, where even minor degradations in critical 
communications can pose grave threats to public safety and national 
security. To what extent would this proposed restriction of the scope 
of section 4.5(b) affect current reporting practice? Would it put the 
Commission at risk of failing to learn of serious outages?
    36. We next seek comment on clarifying the types of communications 
that must be jeopardized for an outage to be held to ``potentially 
affect'' an airport. As an initial matter, we find compelling Sprint's 
argument that only outages relating to critical communications should 
be included. The definition of an outage potentially affecting an 
airport proposed in the original Part 4 rulemaking proceeding (and 
discussed above) would exclude communications such as these not 
directly related the role of airports as critical transportation 
infrastructure. Should the Commission adopt this proposed definition? 
Are there circumstances this definition fails to cover under which an 
outage should be held to ``potentially affect'' an airport? Should the 
definition include all communications outages that could impact the 
safety and security of the airport, passengers, crew, or staff? On the 
other hand, should the Commission

[[Page 34357]]

declare that outages potentially affecting airports include only those 
that affect FAA communications links? Are there are other ways of 
delineating this category of outages that we should consider? We also 
seek comment on the costs and benefits of clarifying the scope of 
outages that ``potentially affect'' airports as discussed above. In 
2013, the Commission received 117 reports of airport-related outages 
that do not appear to have implicated critical communications and thus 
would likely not be reportable under any clarification of the rules 
considered above. We thus estimate that such a clarification would 
reduce the number of reports filed annually by 117. Assuming that each 
report requires two staff hours to complete, at $80 per hour, this 
reduction in the number of reports filed would represent a cost savings 
of $18,720. We seek comment on this analysis.
    37. Finally, we seek comment on the relationship between the 
general definition of ``special offices and facilities'' in part 4 and 
the special provisions for airports. Were the Commission to classify 
``special offices and facilities'' using the familiar TSP framework, 
under which airports are eligible facilities, could it eliminate as 
redundant its separate requirements to report outages affecting 
airports? Would doing so make the rules clearer and more efficient, or 
would it create the risk of critical airport outages going unreported? 
Should the Commission instead broaden the scope of the airport-based 
reporting rules to include other modes of public transportation or even 
wider to other critical infrastructure, perhaps based on the ``critical 
infrastructure sectors'' identified by DHS? Does the TSP framework 
already adequately encompass such infrastructure for purposes of part 4 
reporting? Do answers to any of these questions depend on whether 
``special offices and facilities'' are defined to include all TSP-
eligible facilities or only those facilities enrolled in the program?
    38. Reporting Obligations of Satellite and Terrestrial Wireless 
Service Providers. The part 4 rules applicable to satellite and 
terrestrial wireless providers exempt these classes of providers from 
reporting outages potentially affecting airports. In carving out these 
exemptions, the Commission explained that ``the critical communications 
infrastructure serving airports is landline based.'' In separate 
Petitions, CTIA, Cingular Wireless, and Sprint each argue that wireless 
providers should be similarly exempt from reporting outages pertaining 
to all other ``special offices and facilities.'' CTIA argues in support 
of its petition that ``the rationale for excluding wireless carriers 
from outage reporting for airports applies with equal force to all 
special offices and facilities.'' That is, ``[j]ust as with airports, 
wireless providers do not generally assign dedicated access lines to 
specific end users, and therefore do not have dedicated access lines 
for the critical portions of any of the special offices and 
facilities.'' The Commission notes, however, the continued growth in 
the use of wireless networks, including in and around facilities that 
may qualify as ``special offices and facilities'' under the current 
rules or under various proposals we are considering.
    39. As we consider changes to the outage reporting rules that 
pertain to ``special offices and facilities,'' we seek comment on how 
such rules should apply to satellite and terrestrial wireless 
providers. Does airport communications infrastructure remain ``landline 
based,'' and are other facilities the Commission might classify as 
``special offices and facilities'' served by a similar infrastructure? 
If so, should the Commission exempt wireless providers from any 
requirement to report outages potentially affecting ``special offices 
and facilities,'' as Petitioners request? Should we grant a similarly 
broad exemption to satellite providers? On the other hand, should the 
rules specify that a wireless or satellite provider must report outages 
potentially affecting any ``special offices [or] facilities'' to which 
it has assigned dedicated access lines? Are there other service 
arrangements that should give rise to an obligation to report wireless 
or satellite outages potentially affecting ``special offices [or] 
facilities''? More generally, are there other circumstances where 
reporting from wireless or satellite providers on outages potentially 
affecting a special office or facility might provide the Commission 
with valuable information it would not receive otherwise? We also seek 
comment on the costs and benefits that would attend adoption of any 
rules in this area. We observe that wireless and satellite providers 
have historically filed few, if any, reports pertaining to outages 
affecting special offices and facilities. We thus estimate any further 
relaxation of their obligations to report such outages would not have 
an appreciable cost impact. We seek comment on this analysis.

F. Part 4 Information Sharing

    40. Sharing of NORS Data With State Public Utility Commissions. 
Section 4.2 provides that reports filed in NORS are presumed 
confidential and thus withheld from routine public inspection. The 
Commission routinely shares NORS reports with the Office of Emergency 
Communication at DHS, which may ``provide information from those 
reports to such other governmental authorities as it may deem to be 
appropriate,'' but the Commission does not share NORS information 
directly with state governments. In the absence of routine access to 
NORS data, many states independently require communications providers 
to file network outage reports with their public utility commissions or 
similar agencies. The content of such reporting overlaps to a great 
extent with the information providers must report to the Commission 
under part 4.
    41. In 2009, the California Public Utility Commission filed a 
petition (CPUC Petition) in which it requests that the Commission amend 
its rules to permit state agencies to directly access the NORS 
database. CPUC also informally requests that the Commission grant it 
password-protected access to those portions of the NORS database that 
contain data relating to communications outages in the State of 
California. CPUC argues that reliable access to network outage data is 
``necessary to perform its traditional role of protecting public health 
and safety through monitoring of communications network 
functionality.'' Direct access to NORS, CPUC further argues, is the 
most effective means of obtaining such information. CPUC cites as 
precedent for its requested access to NORS the Commission's Numbering 
Resource Optimization proceeding, in which the Commission divulged 
confidential telephone numbering data to States on the condition that 
they have adequate protections in place to shield the information from 
public inspection.
    42. Granting states access to NORS data on a confidential basis 
could advance compelling state interests in protecting public health 
and safety in an efficient manner. We further observe that none of the 
commenters on CPUC's petition made the case that such sharing would be 
unworkable in practice or would undermine the core purposes of NORS. 
Accordingly, we propose granting states read-only access to those 
portions of the NORS database that pertain to communications outages in 
their respective states. In advancing this proposal, we reaffirm our 
view that NORS data should be presumed confidential and shielded from 
public inspection. We thus propose that, in order to receive direct 
access to NORS, a state must certify that it will keep the data 
confidential and that it has in place confidentiality protections at 
least equivalent to those set forth in the

[[Page 34358]]

federal Freedom of Information Act (FOIA). We seek comment on defining 
the term ``State'' for purposes of this proposal to include the 
District of Columbia, U.S. territories and possessions, and Tribal 
nations. We also find that rulemaking is the appropriate vehicle for 
deciding this issue, and thus hold in abeyance CPUC's informal request 
for access to California-specific NORS data, pending the completion of 
this rulemaking.
    43. We seek comment on the foregoing proposal. How can the FCC 
ensure that the data is shared with officials most in need of the 
information while maintaining confidentiality and assurances that the 
information will be properly safeguarded? Should personnel charged with 
obtaining the information be required to have security training? Should 
the identity of these individuals be supplied to the FCC? Should states 
be required to report or be penalized for breaches of the 
confidentiality of information obtained from NORS? Should a provider be 
permitted to audit a state's handling of its outage data? Should states 
be granted access to NORS data only on the condition that such access 
replace any separate outage reporting required under state law? Should 
NORS allow the placement of caveats with respect to the sharing of any 
data elements?
    44. We also seek comment on limitations on states' use of NORS 
data. When outage information is provided to state public officials or 
state public utility commissions, should the state be required to 
notify the FCC and service providers if the state seeks to share the 
data with parties outside its direct employ? Should states' use of NORS 
data be restricted to activities relating to its ``traditional role of 
protecting public health and safety?'' If so, what activities does this 
role encompass, and how should the Commission enforce any such 
limitation on states' use of the data? We seek comment on exactly what 
information should be shared with state officials. Should states be 
granted access to the notification, initial report and final reports? 
Should providers' outage coordinators' contact information be redacted 
before the information is shared with the states? Finally, we seek 
comment on the costs and benefits of sharing state specific NORS outage 
data with state entities. We believe that the proposed sharing of NORS 
data with states would not have an appreciable cost impact. We seek 
comment on this assumption. What is the best way to balance security 
and convenience with the costs and benefits to all involved parties?
    45. Federal Agency Requests to Access NORS. The Commission also has 
received occasional requests from agencies other than DHS for access to 
NORS data. Thus far, we have provided the information only to DHS, 
which may share relevant information with other federal agencies at its 
discretion. However, we recognize the validity of requests from other 
federal partners to have their own direct access to the NORS database 
when these requests are made for national security reasons. 
Accordingly, we propose entertaining requests from other federal 
agencies for access to NORS data, and acting upon such requests on a 
case-by-case basis. We seek comment on this proposed approach to 
handling such requests. Should there be limitations on DHS access or 
access by other federal agencies? Under what circumstances should this 
information be shared? Should the entities seeking NORS data specify 
how they intend to use the information, and if, or with whom, they 
intend to share it? Should they be required to demonstrate that 
sufficient safeguards are in place to ensure that the information be 
seen only by necessary parties? Should such sharing be undertaken in 
accordance with the procedures established under section 0.442 of the 
Commission's rules for the sharing of presumptively confidential 
information with other federal agencies?
    46. Information Sharing with the National Coordinating Center for 
Communications (NCC). We next seek comment on the sharing of 
information collected under part 4 with the NCC. Would access to outage 
data collected in NORS contribute to the NCC's mission? Under what 
terms, if any, should such access be provided? Should the Commission 
instead continue to leave to the discretion of individual providers 
what network outage information they choose to share with the NCC? 
Would the Commission's provision of Part 4 information to the NCC 
discourage industry participation in that program? Is there a subset of 
data collected under Part 4 that the Commission could share with the 
NCC while upholding the confidentiality presumption established for 
Part 4? Would the sharing of network outage data in aggregate or 
generalized form be useful to the NCC? Finally, we assume that such 
information sharing would not have any appreciable cost impact. We seek 
comment on this assumption.

II. Procedural Matters

A. Regulatory Flexibility Act

    47. As required by the Regulatory Flexibility Act of 1980 (RFA), 
the Commission has prepared an Initial Regulatory Flexibility Analysis 
(IRFA) for this NPRM, of the possible significant economic impact on 
small entities of the proposals addressed in this document. The IRFA is 
set forth as Appendix D. Written public comments are requested on the 
IRFA. Comments must be identified as responses to the IRFA and must be 
filed by the deadlines for comments indicated on the first page of this 
NPRM. The Commission's Consumer and Governmental Affairs Bureau, 
Reference Information Center, will send a copy of this NPRM, including 
the IRFA, to the Chief Counsel for Advocacy of the Small Business 
Administration (SBA).

B. Paperwork Reduction Act of 1995

    48. The NPRM in 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 the 
Paperwork Reduction Act of 1995, Public Law 104-13. In addition, 
pursuant to the Small Business Paperwork Relief Act of 2002, Public Law 
107-198, see 44 U.S.C. 3506(c)(4), we seek specific comment on how we 
might further reduce the information collection burden for small 
business concerns with fewer than 25 employees.

C. Ex Parte Rules

    49. The proceeding this NPRM initiates shall be treated as a 
``permit-but-disclose'' proceeding 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,

[[Page 34359]]

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.

D. Comment Filing Procedures

    50. 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 on or before the dates indicated on the first page of this 
document. Comments should be filed in PS Docket No. 15-80. 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).
     Electronic Filers: Comments may be filed electronically 
using the Internet by accessing the ECFS: http://fjallfoss.fcc.gov/ecfs2/.
     Paper Filers: Parties who 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.
     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.
    People with Disabilities: To request materials in accessible 
formats for people with disabilities (braille, large print, electronic 
files, audio format), send an email to [email protected] or call the 
Consumer & Governmental Affairs Bureau at 202-418-0530 (voice), 202-
418-0432 (tty).

III. Ordering Clauses

    51. Accordingly it is ordered that, pursuant to the authority 
contained in sections 1, 4(i), 4(j), 4(o), 201(b), 214(d), 218, 
251(e)(3), 301, 303(b), 303(g), 303(r), 307, 309(a), 309(j), 316, 332, 
403, 615a-1, and 615c of the Communications Act of 1934, as amended, 47 
U.S.C. 151, 154(i)-(j) & (o), 201(b), 214(d), 218, 251(e)(3), 301, 
303(b), 303(g), 303(r), 307, 309(a), 309(j), 316, 332, 403, 615a-1, and 
615c, this Notice of Proposed Rulemaking, Second Report and Order and 
Order on Reconsideration in ET Docket 04-35 and PS Docket 15-80 is 
adopted, effective thirty (30) days after the date of publication in 
the Federal Register.
    52. It is further ordered that the Commission's Consumer and 
Governmental Affairs Bureau, Reference Information Center, shall send a 
copy of the Notice of Proposed Rule Making, including the Initial 
Regulatory Flexibility Analysis and the Final Regulatory Certification, 
to the Chief Counsel for Advocacy of the U.S. Small Business 
Administration.

IV. Initial Regulatory Flexibility Analysis

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

    53. The NPRM seeks comment and information on a variety of issues 
related to the Commission's Part 4 outage reporting rules, including 
proposals to:
     Clarify the requirement to report outages that 
significantly degrade communications to Public Safety Answering Points 
(PSAPs);
     Adopt requirements to report widespread call failures that 
result from radio access network (RAN) congestion;
     Replace the current threshold (based on ``DS3 minutes'') 
for reporting major network outages with a threshold based on optical 
(i.e., OC-3) transmission rates;
     Require reporting of DS3 Simplex outages that persist for 
less than five days but for more than forty-eight hours;
     Adopt a common, technologically neutral method for 
calculating the number of wireless users ``potentially affected'' by an 
outage;
     Clarify the reporting metric for estimating the number of 
``potentially affected'' wireless users for outages that affect Public 
Switched Answering Points (PSAPs);
     Update the requirements that mandate reporting of outages 
that affect airports and other ``special offices and facilities''; and
     Grant NORS access to state government agencies upon 
request and certification that the state has measures in place to 
protect the data from public disclosure.
    54. The Commission traditionally has addressed reliability issues 
by working with communications service providers to develop and promote 
best practices that address vulnerabilities in the communications 
network, and by measuring the effectiveness of best practices through 
outage reporting. Under the Commission's current rules, the outage 
reporting process has been effective in improving the reliability, 
resiliency and security of communications services. Commission staff 
collaborates with individual providers and industry bodies to review 
outage results and address troublesome areas, and these efforts have 
resulted in dramatic reductions in outages. The aim of updating the 
outage reporting rules is to further improve the reliability, 
resiliency and security of communications services.

B. Legal Basis

    55. The legal basis for the rules proposed in the NPRM are 
contained in sections 1, 2, 4(i)-(k), 4(o), 218, 219, 230, 256, 301, 
302(a), 303(f), 303(g), 303(j), 303(r), 403, 621(b)(3), and 621(d) of 
the Communications Act of 1934, 47 U.S.C. 151, 152, 154(i)-(k), 154(o), 
218, 219, 230, 256, 301, 302a(a), 303(f), 303(g), 303(j), 303(r), 403, 
621(b)(3), and 621(d), and section 1704 of the Omnibus Consolidated and 
Emergency Supplemental Appropriations Act of 1998, 44 U.S.C. 3504.

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

    56. 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, if adopted. The RFA generally 
defines the term ``small entity'' as having the same meaning as

[[Page 34360]]

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 
SBA.
1. Wireline Providers
    57. 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, which are establishments primarily engaged 
in operating or providing access to transmission facilities and 
infrastructure that they own or lease for the transmission of voice, 
data, text, sound, and video using wired telecommunications networks. 
Under that size standard, such a business is small if it has 1,500 or 
fewer employees. Census Bureau data for 2007, 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 
incumbent local exchange service providers can be considered small.
    58. The Commission has included small incumbent LECs in this 
present RFA analysis. As noted above, a ``small business'' under the 
RFA is one that, inter alia, meets the pertinent small business size 
standard (e.g., a telephone communications business having 1,500 or 
fewer employees), and ``is not dominant in its field of operation.'' 
The SBA's Office of Advocacy contends that, for RFA purposes, small 
incumbent LECs are not dominant in their field of operation because any 
such dominance is not ``national'' in scope. The Commission has 
therefore included small incumbent LECs in this RFA analysis, although 
the Commission emphasizes that this RFA action has no effect on 
Commission analyses and determinations in other, non-RFA contexts.
    59. Interexchange Carriers. Neither the Commission nor the SBA has 
developed a small business size standard specifically for providers of 
interexchange services. The appropriate size standard under SBA rules 
is for the category Wired Telecommunications Carriers, which are 
establishments primarily engaged in operating or providing access to 
transmission facilities and infrastructure that they own or lease for 
the transmission of voice, data, text, sound, and video using wired 
telecommunications networks. Under that size standard, such a business 
is small if it has 1,500 or fewer employees. Census Bureau data for 
2007 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 employment of 1,000 employees or more. Thus, 
under this category and the associated small business size standard, 
the Commission estimates that the majority of interexchange carriers 
are small entities that may be affected by our proposed action.
2. Wireless Providers--Fixed and Mobile
    60. Wireless Telecommunications Carriers (except Satellite). Since 
2007, the Census Bureau has placed wireless firms within this new, 
broad, economic census category. This category is composed of 
establishments that operate and maintain switching and transmission 
facilities to provide communications via the airwaves. As holders of 
spectrum licenses, these establishments use the licensed spectrum to 
provide services, such as cellular phone services, paging services, 
wireless Internet access, and wireless video services. 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. Similarly, according to Commission data, 413 
carriers reported that they were engaged in the provision of wireless 
telephony, including cellular service, Personal Communications Service 
(PCS), and Specialized Mobile Radio (SMR) Telephony services. Of these, 
an estimated 261 have 1,500 or fewer employees and 152 have more than 
1,500 employees. Consequently, the Commission estimates that 
approximately half or more of these firms can be considered small. 
Thus, using available data, we estimate that the majority of wireless 
firms can be considered small.
3. Satellite Service Providers
    61. Satellite Telecommunications Providers. Two economic census 
categories address the satellite industry. The first category, 
Satellite Telecommunications, has a small business size standard of $15 
million or less in average annual receipts, under SBA rules. The second 
category is ``All Telecommunications Providers,'' which is discussed in 
a separate section.
    62. 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.
4. Cable Service Providers
    63. Cable Companies and Systems. The Commission has developed its 
own small business size standards for the purpose of cable rate 
regulation. Under the Commission's rules, a ``small cable company'' is 
one serving a total of 400,000 or fewer subscribers over one or more 
cable systems. Industry data indicate that all but ten cable operators 
nationwide are small under this size standard. In addition, under the 
Commission's rules, a ``small system'' is a cable system serving 15,000 
or fewer subscribers. Industry data indicate that, of the 6,101 systems 
nationwide, 4,410 systems have less than 10,000 subscribers, and an 
additional 258 systems have between 10,000-19,999 subscribers. Thus, 
under this standard, most cable systems are small.
    64. Cable System Operators. The Communications Act of 1934, as 
amended, also contains a size standard for small cable system 
operators, which is ``a cable operator that, directly or through an 
affiliate, serves in the aggregate fewer than 1 percent of all 
subscribers in the United States and is not affiliated with any entity 
or entities whose gross annual revenues in the aggregate exceed 
$250,000,000.'' The Commission has determined that an

[[Page 34361]]

operator serving fewer than 677,000 subscribers shall be deemed a small 
operator, if its annual revenues, when combined with the total annual 
revenues of all its affiliates, do not exceed $250 million in the 
aggregate. Industry data indicate that, of 1,076 cable operators 
nationwide, all but ten are small under this size standard. We note 
that the Commission neither requests nor collects information on 
whether cable system operators are affiliated with entities whose gross 
annual revenues exceed $250 million, and therefore we are unable to 
estimate more accurately the number of cable system operators that 
would qualify as small under this size standard.
5. All Other Telecommunications
    65. The 2007 NAICS defines ``All Other Telecommunications'' as 
follows: ``This U.S. industry 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.'' 
This category has a size standard of $25 million or less in annual 
receipts.\1\ Census Bureau data for 2007 show that there were a total 
of 2,383 firms that operated for the entire year.\2\ Of this total, 
2,305 firms had annual receipts of under $10 million and 41 firms had 
annual receipts of $10 million to $24,999,999.\3\ Consequently, we 
estimate that the majority of All Other Telecommunications firms are 
small entities that might be affected by our action.
---------------------------------------------------------------------------

    \1\ Id.
    \2\ EC0751SSSZ4, Information: Subject Series--Establishment and 
Firm Size: Receipts Size of Firms for the United States: 2007 
Economic Census, U.S. Census Bureau, http://factfinder.census.gov/faces/tableservices/jsf/pates/productive.xhtml?pid=ECN_2007_US_51SSSZ4&prodType=table (last 
visited Mar. 27, 2015).
    \3\ Id. The remaining 14 firms had annual receipts of $25 
million or more. Id.
---------------------------------------------------------------------------

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

    66. The rules proposed in the NPRM would require telecommunications 
providers to report those outages that meet specified NORS Notice and 
Reports reporting threshold criteria, largely determined by the number 
of end users potentially affected by the outage and the duration of the 
outage. In the Commission's experience administering NORS, small 
companies only rarely experience outages that meet the NORS Notice and 
Reports reporting threshold criteria. Accordingly, while some of the 
rule revisions proposed in the NPRM would likely decrease the number of 
outages reported annually, while others may lead to increases, we would 
expect these impacts to be less pronounced for smaller entities. But 
notwithstanding any revisions we propose to the Part 4 reporting 
requirements, we expect that telecommunications providers to continue 
to track, investigate, and correct all of their service disruptions as 
an ordinary part of conducting their business operations and 
maintenance- even for service disruptions far too small to trigger a 
requirement to report. Telecommunications providers through internal 
network operation center personnel already file Notifications and 
Reports, typically an online form less than three pages in length based 
on data routinely collected and monitored by this same personnel. The 
form is designed to allow small entities to input information without 
the need for specialized professional, although the telecommunication 
providers may choose to hire consultants or engineers to conduct 
technical aspects, or an attorney to review compliance with applicable 
rules. Therefore, we believe the only burden associated with the 
reporting requirements contained here will be the time required to 
complete any additional Notifications and Reports following the 
proposed changes. In this IRFA, we therefore seek comment on the types 
of burdens telecommunications providers will face in complying with the 
proposed requirements. Entities, especially small businesses and small 
entities, more generally, are encouraged to comment and quantify the 
costs and benefits of the proposed reporting requirements.

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

    67. The RFA requires an agency to describe any significant 
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, standards; and (4) an 
exemption from coverage of the rule, or any part thereof, for small 
entities.
    68. The proposed reporting requirements are minimally necessary to 
assure that we receive adequate information to perform our statutory 
responsibilities with respect to the reliability of telecommunications 
and their infrastructures. Also, we believe that the magnitude of the 
outages needed to trigger the reporting requirements are sufficiently 
high as to make it unlikely that small businesses would be impacted 
significantly by the proposed rules, and will, in fact, in many 
instances find their burden decreased by the newly proposed reporting 
thresholds. The Commission considered other possible proposals and now 
seeks comment on the proposed reporting thresholds and the analysis 
presented.

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

    69. None.

List of Subjects in 47 CFR Part 4

    Airports, Communications common carriers, Communications equipment, 
Disruptions to communications, Network outages, Reporting and 
recordkeeping requirements, Telecommunications.

Federal Communications Commission.
Marlene H. Dortch,
Secretary.

Proposed Rules

    For the reasons discussed in the preamble, the Federal 
Communications Commission proposes to amend 47 CFR part 4 as follows:

PART 4--DISRUPTIONS TO COMMUNICATIONS

0
1. The authority citation for part 4 is revised to read as follows:

    Authority: Sec. 5, 48 Stat. 1068, as amended; 47 U.S.C. 154, 
155, 201, 251, 307, 316.

0
2. Section 4.2 is revised to read as follows:


Sec.  4.2  Availability of reports filed under this part.

    Reports filed under this part will be presumed to be confidential. 
A State government may file a request with the Public Safety and 
Homeland Security Bureau for read-only access to information filed 
under this part

[[Page 34362]]

concerning outages that occur within the State. The Public Safety and 
Homeland Security may grant the request upon certification that the 
State will maintain the confidentiality of the information and that it 
has in place confidentiality protections equivalent to those of the 
Freedom of Information Act to protect the information from public 
inspection. Public access to reports filed under this part may be 
sought only pursuant to the procedures set forth in 47 CFR 0.461. 
Notice of any requests for inspection of outage reports will be 
provided pursuant to 47 CFR 0.461(d)(3).
0
3. Section 4.5 is amended by revising paragraph (e)(1) to read as 
follows:


Sec.  4.5  Definitions of outage, special offices and facilities, and 
911 special facilities.

* * * * *
    (e) * * *
    (1) There is a partial or complete loss of communications to 
PSAP(s) potentially affecting at least 900,000 user-minutes and: The 
failure is neither at the PSAP(s) nor on the premises of the PSAP(s); 
no reroute for all end users was available; and the outage lasts at 
lasts 30 minutes or more; or
* * * * *
0
4. Section 4.7 is amended by revising paragraph (d) to read as follows:


Sec.  4.7  Definitions of metrics used to determine the general outage-
reporting threshold criteria.

* * * * *
    (d) OC3 minutes are defined as the mathematical result of 
multiplying the duration of an outage, expressed in minutes, by the 
number of previously operating OC3 circuits or their equivalents that 
were affected by the outage.
* * * * *


Sec.  4.9  [Amended]

0
5. Section 4.9 is amended by removing the term ``DS3'' and adding, in 
its place, the term ``OC3'' in paragraphs (a)(2), (a)(4), (b), (e)(3), 
(e)(5), (f)(2), and (f)(4), and removing the number ``1,350'' and 
adding, in its place, the number ``667'' in paragraphs (a)(2), (b), 
(e)(3), and (f)(2).


Sec.  4.13  [Removed]

0
6. Section 4.13 is removed.

[FR Doc. 2015-14687 Filed 6-15-15; 8:45 am]
 BILLING CODE 6712-01-P



                                                      34350                    Federal Register / Vol. 80, No. 115 / Tuesday, June 16, 2015 / Proposed Rules

                                                      views. The agency also invites                            3. Accessing the Government Printing                 Act proposed information collection
                                                      comments relating to the economic,                      Office’s Web page at http://                           requirements must be submitted by the
                                                      environmental, energy, or federalism                    www.gpo.gov/fdsys/.                                    public, Office of Management and
                                                      impacts that might result from adopting                   Copies may also be obtained by                       Budget (OMB), and other interested
                                                      the proposals in this document. The                     sending a request to the Federal                       parties on or before August 17, 2015.
                                                      most helpful comments reference a                       Aviation Administration, Office of                     ADDRESSES: You may submit comments,
                                                      specific portion of the proposal, explain               Rulemaking, ARM–1, 800 Independence                    identified by PS Docket No. 15–80, by
                                                      the reason for any recommended                          Ave. SW., Washington, DC 20591, or by                  any of the following methods:
                                                      change, and include supporting data. To                 calling 202–267–9677. Commenters                          • Federal Communications
                                                      ensure the docket does not contain                      must identify the docket or notice                     Commission’s Web site: http://
                                                      duplicate comments, commenters                          number of this rulemaking.                             fjallfoss.fcc.gov/ecfs2/. Follow the
                                                      should send only one copy of written                      All documents the FAA considered in                  instructions for submitting comments.
                                                      comments, or if comments are filed                      developing this ANPRM, including                          • People with Disabilities: Contact the
                                                      electronically, commenters should                       economic analyses and technical                        FCC to request reasonable
                                                      submit only one time.                                   reports, may be accessed from the                      accommodations (accessible format
                                                         The FAA will file in the docket all                  Internet through the Federal                           documents, sign language interpreters,
                                                      comments it receives, as well as a report               eRulemaking Portal referenced in item                  CART, etc.) by email: FCC504@fcc.gov
                                                      summarizing each substantive public                     (1) above.                                             or phone: 202–418–0530 or TTY: 202–
                                                      contact with FAA personnel concerning                     Issued under authority provided by 49                418–0432.
                                                      this ANPRM. Before acting on this                       U.S.C. 106(f), 40103, and 44701(a)(5)(a) in               For detailed instructions for
                                                      ANPRM, the FAA will consider all                        Washington, DC, on June 10, 2015.                      submitting comments and additional
                                                      comments it receives on or before the                   Jodi S. McCarthy,                                      information on the rulemaking process,
                                                      closing date for comments. The FAA                      Director, Airspace Services.                           see the SUPPLEMENTARY INFORMATION
                                                      will consider comments filed after the                  [FR Doc. 2015–14818 Filed 6–15–15; 8:45 am]
                                                                                                                                                                     section of this document. In addition to
                                                      comment period has closed if it is                                                                             filing comments with the Secretary, a
                                                                                                              BILLING CODE 4910–13–P
                                                      possible to do so without incurring                                                                            copy of any comments on the
                                                      expense or delay. The agency may                                                                               Paperwork Reduction Act information
                                                      change the direction of this rulemaking                                                                        collection requirements contained
                                                                                                              FEDERAL COMMUNICATIONS                                 herein should be submitted to the
                                                      in light of the comments it receives.
                                                                                                              COMMISSION                                             Federal Communications Commission
                                                         Proprietary or Confidential Business
                                                      Information: Do not file proprietary or                 47 CFR Part 4                                          via email to PRA@fcc.gov and to
                                                      confidential business information in the                                                                       Nicholas A. Fraser, Office of
                                                      docket. Such information must be sent                   [PS Docket No. 15–80; FCC 15–39]                       Management and Budget, via email to
                                                      or delivered directly to the person                                                                            Nicholas_A._Fraser@omb.eop.gov or via
                                                                                                              Amendments to the Commission’s                         fax at 202–395–5167.
                                                      identified in the FOR FURTHER
                                                                                                              Rules Concerning Disruptions to
                                                      INFORMATION CONTACT section of this                                                                            FOR FURTHER INFORMATION CONTACT:
                                                                                                              Communications
                                                      document, and marked as proprietary or                                                                         Brenda D. Villanueva, Attorney Advisor,
                                                      confidential. If submitting information                 AGENCY:  Federal Communications                        Public Safety and Homeland Security
                                                      on a disk or CD–ROM, mark the outside                   Commission.                                            Bureau, (202) 418–7005 or
                                                      of the disk or CD–ROM, and identify                     ACTION: Proposed rule.                                 brenda.villanueva@fcc.gov. For
                                                      electronically within the disk or CD–                                                                          additional information concerning the
                                                      ROM the specific information that is                    SUMMARY:    In this document, the                      Paperwork Reduction Act information
                                                      proprietary or confidential.                            Commission seeks comment on                            collection requirements contained in
                                                         Under 14 CFR 11.35(b), if the FAA is                 proposals to improve its rules governing               this document, send an email to PRA@
                                                      aware of proprietary information filed                  the reporting of disruptions to                        fcc.gov or contact Nicole On’gele, (202)
                                                      with a comment, the agency does not                     communications. The proposals                          418–2991.
                                                      place it in the docket. It is held in a                 contained in this document seek to                     SUPPLEMENTARY INFORMATION: This is a
                                                      separate file to which the public does                  build on the Commission’s decade of                    summary of the Commission’s Notice of
                                                      not have access, and the FAA places a                   experience administering these rules                   Proposed Rulemaking in PS Docket No.
                                                      note in the docket that it has received                 and the associated Network Outage                      15–80, released on March 30, 2015. The
                                                      it. If the FAA receives a request to                    Reporting System (NORS). This                          complete text of this document is
                                                      examine or copy this information, it                    experience has provided perspective on                 available for public inspection and
                                                      treats it as any other request under the                aspects of the rules that could be refined             copying from 8 a.m. to 4:30 p.m. ET
                                                      Freedom of Information Act (5 U.S.C.                    so as to improve the quality and utility               Monday through Thursday or from 8
                                                      552). The FAA processes such a request                  of the outage reporting data the                       a.m. to 11:30 a.m. ET on Fridays in the
                                                      under Department of Transportation                      Commission receives. Improving the                     FCC Reference Information Center, 445
                                                      procedures found in 49 CFR part 7.                      reporting that occurs under the                        12th Street SW., Room CY–A257,
                                                                                                              Commission’s rules will advance the                    Washington, DC 20554. In addition, the
                                                      B. Availability of Rulemaking                           Commission’s efforts to monitor the                    complete text is available online
asabaliauskas on DSK5VPTVN1PROD with PROPOSALS




                                                      Documents                                               reliability and resiliency of the nation’s             http://www.fcc.gov/document/fcc-
                                                        Electronic copies of rulemaking                       communications networks, including                     adopts-part-4-improvements-item.
                                                      documents may be obtained from the                      911 networks, and to address systemic                     This document contains proposed
                                                      Internet by—                                            vulnerabilities and threats to the                     information collection requirements.
                                                        1. Searching the Federal eRulemaking                  communications infrastructure.                         The Commission, as part of its
                                                      Portal (http://www.regulations.gov);                    DATES: Submit comments on or before                    continuing effort to reduce paperwork
                                                        2. Visiting the FAA’s Regulations and                 July 16, 2015, and reply comments on                   burdens, invites the general public and
                                                      Policies Web page at http://                            or before July 31, 2015. Written                       the Office of Management and Budget
                                                      www.faa.gov/regulations_policies or                     comments on the Paperwork Reduction                    (OMB) to comment on the information


                                                 VerDate Sep<11>2014   16:44 Jun 15, 2015   Jkt 235001   PO 00000   Frm 00026   Fmt 4702   Sfmt 4702   E:\FR\FM\16JNP1.SGM   16JNP1


                                                                               Federal Register / Vol. 80, No. 115 / Tuesday, June 16, 2015 / Proposed Rules                                             34351

                                                      collection requirements contained in                      Statutory authority for this collection              documentation. Vague or unsupported
                                                      this document, as required by the                       of information is contained in 47 U.S.C.               assertions regarding costs or benefits
                                                      Paperwork Reduction Act of 1995,                        151, 154(i)–(j) & (o), 201(b), 214(d), 218,            generally will receive less weight and be
                                                      Public Law 104–13. Public and agency                    251(e)(3), 301, 303(b), 303(g), 303(r),                less persuasive than more specific and
                                                      comments are due August 17, 2015.                       307, 309(a), 316, 332, 403, 615a–1, and                supported statements.
                                                      Comments should address: (a) Whether                    615c.                                                    2. Some of the proposals advanced
                                                      the proposed collection of information                    Total Annual Burden: 30,548 hours.                   today would likely increase the number
                                                      is necessary for the proper performance                   Total Annual Costs: None.                            of reports, and some would likely
                                                      of the functions of the Commission,                       Privacy Act Impact Assessment: No                    decrease the number of reports. We
                                                      including whether the information shall                 impact(s).                                             estimate that, overall, adoption of the
                                                      have practical utility; (b) the accuracy of               Nature and Extent of Confidentiality:                proposed rules may result in the filing
                                                      the Commission’s burden estimates; (c)                  Collected information is afforded a                    of a total of 339 additional reports
                                                      ways to enhance the quality, utility, and               presumption of confidential treatment                  industry-wide per year, representing a
                                                      clarity of the information collected; (d)               under section 4.2 of the Commission’s                  $54,240 cost increase. This net cost
                                                      ways to minimize the burden of the                      rules.                                                 increase is the sum of a $526,560 in cost
                                                      collection of information on the                                                                               increases and $472,320 in cost
                                                                                                              Synopsis of Notice of Proposed                         reductions. The projected cost increases
                                                      respondents, including the use of                       Rulemaking
                                                      automated collection techniques or                                                                             are associated with proposed
                                                      other forms of information technology;                     In this document, the Federal                       requirements for reporting outages that
                                                      and (e) way to further reduce the                       Communications Commission                              significantly degrade 911
                                                      information collection burden on small                  (Commission) seeks comment on                          communications ($1,600); radio access
                                                      business concerns with fewer than 25                    proposals to update its part 4 outage                  network overload events in wireless
                                                      employees. In addition, pursuant to the                 reporting rules. In doing so it seeks to               networks ($67,200); simplex outages
                                                      Small Business Paperwork Relief Act of                  apply a decade of experience                           that persist forty-eight hours or longer
                                                      2002, Public Law 107–198, see 44 U.S.C.                 administering the part 4 rules and the                 ($163,200); and wireless outages in rural
                                                      3506(c)(4), we seek specific comment on                 associated Network Outage Reporting                    areas based on geographic impact
                                                      how we might further reduce the                         System, which has improved the                         ($294,560). The cost reductions are
                                                      information collection burden for small                 Commission’s ability to detect adverse                 associated with proposals to raise the
                                                      business concerns with fewer than 25                    outage trends and facilitate industry-                 threshold for reporting major facility
                                                      employees.                                              wide network improvements. Our                         outages ($453,600) and to clarify when
                                                         To view a copy of this information                   primary goal remains ensuring the                      airport-related outages are subject to
                                                      collection request (ICR) submitted to                   reliability and resiliency of the Nation’s             reporting ($18,720). We project that
                                                      OMB: (1) Go to the Web page http://                     communications system, and in                          other proposals contained in the NPRM
                                                      www.reginfo.gov/public/do/PRAMain,                      particular strengthening the Nation’s                  will not have an appreciable cost
                                                      (2) look for the section of the Web page                911 system.                                            impact. Given the breadth of industry
                                                                                                                 In a companion document, a Second                   sectors subject to Part 4, we believe this
                                                      called ‘‘Currently Under Review,’’ (3)
                                                                                                              Report and Order and Order on                          estimated total cost impact to be de
                                                      click on the downward-pointing arrow
                                                                                                              Reconsideration in ET Docket No. 04–                   minimis, and, in any event, significantly
                                                      in the ‘‘Select Agency’’ box below the
                                                                                                              35, the Commission resolves several                    outweighed by the benefits to the public
                                                      ‘‘Currently Under Review’’ heading, (4)
                                                                                                              outstanding matters related to its                     interest from adopting these changes.
                                                      select ‘‘Federal Communications
                                                                                                              adoption of the part 4 rules in a Report               The modest proposals set forth in this
                                                      Commission’’ from the list of agencies
                                                                                                              and Order in 2004. This includes                       NPRM will improve the Commission’s
                                                      presented in the ‘‘Select Agency’’ box,
                                                                                                              disposing of seven pending Petitions for               ability to fulfill its statutory mission and
                                                      (5) click the ‘‘Submit’’ button to the
                                                                                                              Reconsideration (Petitions). Some of the               inform policymaking, such as the
                                                      right of the ‘‘Select Agency’’ box, (6)
                                                                                                              issues raised in some of these Petitions,              Commission’s efforts to safeguard the
                                                      when the list of FCC ICRs currently
                                                                                                              as well as in their responsive pleadings,              public safety attributes of networks as
                                                      under review appears, look for the Title                                                                       critical communications transition to
                                                      of this ICR and then click on the ICR                   are incorporated into proposals
                                                                                                              considered in this NPRM. The portions                  Internet Protocol-based platforms. In
                                                      Reference Number. A copy of the FCC                                                                            addition, we expect that adoption of the
                                                      submission to OMB will be displayed.                    of these pleadings that present
                                                                                                              substantive arguments on such issues                   proposed rules will enhance the
                                                         OMB Control Number: 3060–0484.                                                                              Commission’s effective coordination
                                                         Title: Section 4.9, Part 4 of the                    are incorporated into the record of this
                                                                                                              proceeding.                                            with the Department of Homeland
                                                      Commission’s Rules Concerning                                                                                  Security (DHS) and other federal
                                                      Disruptions to Communications.                          I. Notice of Proposed Rulemaking                       agencies on matters of national security
                                                         Form No.: Not applicable.                                                                                   and emergency preparedness, response,
                                                         Type of Review: Revision of currently                A. Costs and Benefits
                                                                                                                                                                     and recovery. We seek comment on
                                                      approved collection.                                      1. We seek comment on the potential                  whether, or to what extent, the proposed
                                                         Respondents: Business or other for-                  costs and benefits associated with each                rule changes below will help the
                                                      profit; not-for-profit institutions.                    proposal considered below. As a general                Commission achieve these goals.
                                                         Number of Respondents and                            matter, we seek to determine the most
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                                                      Responses: 1,100 Respondents; 15,783                    cost-effective approach for modifying                  B. Call Failures
                                                      Responses.                                              existing policies and practices to                       3. Reporting of Outages That
                                                         Estimated Time per Response: 2–2.5                   achieve the goals of our proposed rules.               Significantly Degrade Communications
                                                      hours.                                                  We ask that commenters provide                         to PSAP(s). We first seek comment on
                                                         Frequency of Response: On occasion                   specific data and information, such as                 whether to amend our rules to clarify
                                                      and annual reporting requirements,                      actual or estimated dollar figures,                    the circumstances under which
                                                      recordkeeping requirement and third                     including a description of how the data                degradation of communications to a
                                                      party disclosure requirement.                           or information was calculated or                       PSAP constitutes a reportable outage
                                                         Obligation to Respond: Mandatory.                    obtained and any supporting                            under section 4.9(e)(1) of our rules.


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                                                      34352                    Federal Register / Vol. 80, No. 115 / Tuesday, June 16, 2015 / Proposed Rules

                                                      Some providers may be interpreting this                 specify that a ‘‘loss of communications’’              seek comment on the foregoing analysis,
                                                      provision narrowly to require reporting                 to a PSAP occurs only when at least 80                 including the assumptions used to
                                                      only when there is a complete, i.e.,                    percent of the trunks serving a PSAP are               arrive at the cost estimate and the extent
                                                      when a PSAP is rendered unable to                       disabled? As another possibility, should               to which these estimates appropriately
                                                      receive any 911 calls for a long enough                 we consider establishing a separate                    reflect the costs associated with
                                                      period to meet the reporting threshold.                 reporting threshold based on the                       reporting. Interested parties should
                                                      Under this interpretation, a failure or                 number of 911 calls that actually fail to              include information regarding whether
                                                      degradation that prevents hundreds or                   be completed as the result of an outage?               the submission process (i.e., time to fill
                                                      even thousands of 911 calls from                        If so, should we set a uniform numerical               out the form, review by management
                                                      completing might fail to qualify as a                   threshold, or should the threshold be                  and filing) takes two hours. We also
                                                      reportable outage if some 911 calls                     relative to the number of users a PSAP                 seek comment as to whether we could
                                                      continued to reach the PSAP throughout                  serves? Should the Commission require                  achieve our objectives in a less costly,
                                                      the event. We believe that such a narrow                reporting of any outage of at least thirty             less burdensome, or more efficient
                                                      reading of the provision is not                         minutes’ duration that exceeds some                    manner. Finally, we clarify that our
                                                      consistent with the intent of the Part 4                threshold level of impairment to the                   proposals in this NPRM do not prejudge
                                                      outage reporting process and that the                   communications capabilities of any                     any issue the Commission may take up
                                                      rule should not be left open to this                    PSAP, irrespective of the number of user               in another docket or proceeding to
                                                      interpretation during an event that                     minutes potentially affected? If so, how               address the reliability of 911 service.
                                                      debilitates 911 service. In adopting Part               should the Commission define such a                       7. Call Failures in the Wireless Access
                                                      4 in 2004, the Commission defined a                     threshold? Are there other metrics and                 Network. We next seek comment on the
                                                      reportable outage to include a                          thresholds the Commission should                       reporting of wireless call failures that
                                                      significant degradation.                                consider that could better capture this                result from congestion in the access
                                                         4. A network malfunction or higher                   type of degradation in the ability to                  network, a problem often encountered
                                                      level issue that prevents large numbers                 complete 911 calls? What are the                       during emergencies. In particular, the
                                                      of 911 calls from completing certainly                  potential advantages and disadvantages                 inability of a radio access network
                                                      disrupts service in a manner that                       of any such alternatives?                              (RAN) to support excess demand for
                                                      endangers public safety, irrespective of                                                                       radio channels may not constitute a
                                                                                                                 6. We also seek comment on the costs
                                                      whether any PSAP has suffered a                                                                                reportable ‘‘failure or degradation’’
                                                                                                              and benefits of the various measures                   under our current rules, yet pervasive
                                                      complete loss of ability to receive 911
                                                      calls. Moreover, requiring reporting                    mentioned above. Even assuming that                    call failures undermine the reliability of
                                                      under such circumstances would permit                   the measures would expand reporting                    networks for consumers regardless of
                                                      systematic analysis of the conditions                   obligations, we do not believe that any                their cause. Because this appears to be
                                                      that lead to these degradations and help                such measures would have a substantial                 predominantly an issue with wireless
                                                      reveal potential solutions. Without the                 cost impact. Over the previous three                   networks, we propose to amend our part
                                                      benefits of such reporting, the                         years, the Commission has been made                    4 rules to require the reporting of
                                                      Commission may not have sufficient,                     aware of only a handful of events that                 systemic wireless call failures that result
                                                      timely information to address serious                   appear to have produced a ‘‘significant                from RAN overloading. In doing so we
                                                      incidents of this magnitude.                            degradation in communications to a                     note that the Commission already
                                                         5. Accordingly, we propose revising                  PSAP(s)’’ without resulting in a                       requires reporting of interexchange
                                                      section 4.5(e)(1) to clarify that any                   complete loss of such communications.                  carrier (IXC) and local exchange carrier
                                                      network malfunction or higher-level                     For purposes of estimating reporting                   (LEC) tandem facility outages of at least
                                                      issue that significantly degrades or                    costs, we could treat those years as a                 thirty minutes’ duration in which
                                                      prevents 911 calls from being completed                 best case scenario and instead posit that              90,000 or more calls are blocked.
                                                      constitutes a ‘‘loss of communications to               as many as ten such events a year would                   8. Such failures appear to be most
                                                      PSAP(s),’’ regardless of whether the                    be reportable were we to adopt any of                  prevalent during and in the immediate
                                                      PSAP is rendered completely unable to                   the various measures considered above.                 aftermath of major disasters, when call
                                                      receive 911 calls. We seek comment on                   Assuming further that each reportable                  volume is particularly heavy. To
                                                      this proposed clarification. How would                  event requires two hours of staff time to              provide a more complete understanding
                                                      a provider determine the need to report                 report, at eighty dollars per hour, we                 of the problem, we seek comment on the
                                                      an outage that results only in a partial                conclude that adoption of any of the                   failure rate of wireless calls. How often
                                                      ‘‘loss of communications’’ to a PSAP?                   considered measures would result in a                  and under what circumstances do
                                                      Should the provider simply calculate                    total cost increase of $1,600 per year.                wireless calls fail in RANs? How
                                                      user minutes potentially affected as it                 The two-hour estimate, which we use                    different is that failure rate from the rate
                                                      would for a complete loss of                            throughout this document, includes the                 experienced during ordinary
                                                      communications, and then multiply that                  time necessary to file the notification,               circumstances? How different is that
                                                      figure by the percentage of PSAP                        initial report and final report. These                 from failure rates in wireline
                                                      communications capacity that has been                   estimates were developed in 2004                       networks—including both TDM and IP-
                                                      ‘‘lost’’ to determine whether the 900,000               during the process to obtain approval                  based networks—in both extraordinary
                                                      user minutes threshold has been                         for the information collection associated              (e.g., during or immediately after a
                                                      reached? Is the percentage of lost                      with the original Part 4 rules and were                weather event) and typical
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                                                      capacity equivalent to the percentage of                subject to public comment both then                    circumstances? How often and with
                                                      trunks serving a PSAP that have been                    and at periodic intervals since to renew               what impact is ‘‘load shedding’’ applied
                                                      disabled, or are there factors (e.g., built-            the collection authorization. We believe               whereby a provider intentionally
                                                      in redundancy) that complicate the                      these estimates remain valid, especially               decreases network functionality to
                                                      relationship between these parameters?                  in light of both advances in information               allocate available resources to the most
                                                      Should a ‘‘loss of communications to                    technology that have permitted                         critical functions?
                                                      PSAP(s)’’ be defined to include only                    providers to streamline processes and                     9. We also seek comment on ways to
                                                      ‘‘losses’’ that exceed a certain                        providers’ increasing familiarity with                 measure the customer impact of call
                                                      magnitude? For instance, should we                      the NORS outage reporting process. We                  failures caused by RAN congestion. The


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                                                                               Federal Register / Vol. 80, No. 115 / Tuesday, June 16, 2015 / Proposed Rules                                           34353

                                                      most obvious potential metric is percent                and of providing the Commission with                   other circuits or aggregations of circuits
                                                      of calls failed. Is there a surrogate metric            greater understanding about the overall                that provide equal or greater capacity.
                                                      more readily attainable that can provide                health of the nation’s networks and,                   We believe that expression of the outage
                                                      the Commission with similar                             thereby, the ability to work with                      threshold in ‘‘OC3 minutes’’ may better
                                                      information? What are the relative                      industry toward improved reliability                   indicate the magnitude of network
                                                      strengths and weaknesses of each                        and situational awareness goals to                     outages to which the part 4 rules were
                                                      metric? What would be the appropriate                   ultimately achieve and sustain more                    designed to apply. We seek comment on
                                                      reporting threshold? Are there                          reliable and resilient communications                  this proposal.
                                                      alternative ways of defining the                        networks.                                                 15. We further seek comment on
                                                      reporting threshold that would generate                    11. Call Failures in the Non-Wireless               raising the reporting threshold to
                                                      more useful information without                         Access Network. The Commission’s                       account for changes in how networks
                                                      imposing unreasonable burdens on                        rules also do not require reporting on                 are scaled and designed. The current
                                                      reporting entities? Are there other                     widespread call blockages in the non-                  threshold of 1,350 DS3 minutes—which
                                                      indicators the Commission could track                   wireless local access network to the                   is equivalent to 450 OC3 minutes—was
                                                      that would help it better understand the                extent such events involve no ‘‘failure                selected, consistent with our goals of
                                                      network dynamics that prevent a                         or degradation’’ of the network. We seek               technological neutrality, to match the
                                                      wireless network from effectively                       comment on whether the Commission                      900,000 user minutes threshold put in
                                                      handling calls once a certain saturation                should impose similar reporting                        place for voice-grade services, based on
                                                      point is reached? Are these indicators                  requirements on these types of outages.                a calculation of 667 voice-grade users
                                                      likely to vary depending on the                         If so, how should such requirements be                 per DS3. Yet, as communications
                                                      technology used to provide service?                     defined, and what costs and benefits                   services transition to more advanced
                                                                                                              would attend their adoption? Is there                  technologies, greater capacity often
                                                         10. We also seek comment on the
                                                                                                              evidence that congestion in the access                 carries the same number of users. In the
                                                      costs, burdens and benefits of requiring
                                                                                                              portion of a wireline network causes                   emerging VoIP environment, we believe
                                                      providers to report widespread call
                                                                                                              significant amount of calls to fail?                   that 450 voice-grade equivalent users is
                                                      failures in wireless RANs. To estimate
                                                                                                                                                                     a better estimate of the carrying capacity
                                                      these costs, we first assume that                       C. Major Transport Facility Outages                    of a single DS3, based on our recent
                                                      wireless access networks and interoffice
                                                                                                              1. Appropriate Metric and Threshold                    estimate that a single VoIP call requires
                                                      networks are engineered to achieve                                                                             100 kbps of bandwidth. This would
                                                      comparably low rates of call failure (i.e.,                12. The Commission requires                         mean that, to retain equivalency with
                                                      blocked calls). We base this assumption                 reporting of ‘‘failures of                             the 900,000 user minutes threshold, the
                                                      on the fact that the nation’s                           communications infrastructure                          major facilities outage threshold should
                                                      communications networks are vastly                      components having significant traffic-                 be adjusted to 2,000 DS3 minutes—or
                                                      interdependent, which we believe could                  carrying capacity.’’ Based on our                      667 OC3 minutes. We seek comment on
                                                      encourage the implementation of                         analysis of NORS data, it appears that                 this analysis and on the resultant
                                                      similarly robust parameters across                      an increasing proportion of the outages                proposal.
                                                      networks, e.g., call blocking monitoring                reported under the current DS3-based                      16. We also seek comment on the cost
                                                      and measuring. This leads us to assume                  standard are minor disruptions unlikely                savings that would accrue from this
                                                      that these two types of networks have a                 to have a significant impact on                        proposal. We observe that there were
                                                      comparable rate of calls blocked and,                   communications or jeopardize public                    2,208 major transport facility outages
                                                      therefore, would have a comparable                      safety. Accordingly, we seek comment                   reported in 2013 that did not affect OC3-
                                                      number of outage reports. We seek                       on whether upward adjustment of the                    grade or equivalent circuits, and an
                                                      comment on these assumptions. As the                    reporting threshold for transport facility             additional 627 that did not exceed 667
                                                      Commission receives approximately 420                   outages could reduce reporting burdens                 OC3 minutes. We accordingly believe
                                                      reports per year of interoffice facility                while preserving the Commission’s                      that the proposed changes to the
                                                      outages, we estimate that adoption of                   ability to obtain critical information                 reporting requirements for major
                                                      the proposed requirement would result                   about communications reliability.                      transport facility outages could reduce
                                                      in the filing of an additional 420 reports                 13. In its Petition, Qwest (now                     the number of associated reports filed
                                                      per year. Assuming further that two                     CenturyLink) argued that the outage                    each year by as many as 2,835.
                                                      hours of staff time are necessary to file               reporting threshold should be defined in               Assuming that each such report would
                                                      the reports on each outage, at eighty                   terms of impact on ‘‘OCn’’- level circuits             have required two staff hours to
                                                      dollars per hour, we tentatively                        (i.e., optical circuits such as OC1 and                complete, at eighty dollars per hour, we
                                                      conclude that the adoption of the                       OC3) rather than DS3 circuits.                         conclude that the proposed adjustments
                                                      requirement would result in an annual                   Alternatively, Qwest argues that the                   of the reporting threshold for major
                                                      increase of $67,200 in reporting costs.                 Commission should require reporting of                 facility outages would reduce reporting
                                                      We also assume that providers are                       DS3 outages only on a quarterly basis.                 costs by $453,600. We seek comment on
                                                      already technically capable of tracking                    14. In the years since the part 4 rules             this cost analysis and its underlying
                                                      call failures at each cell site, and that               were adopted and Qwest filed its                       assumptions.
                                                      they do so as a matter of practice, and                 petition, the industry has come to rely
                                                      they thus would not incur additional                    more heavily on circuits larger than the               2. Simplex Outage Reporting
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                                                      costs in tracking reportable outages                    DS3, including OCn-level circuits, for                    17. A simplex event occurs when
                                                      under the proposed rule. We seek                        transport of communications traffic. We                circuits that are configured with built-in
                                                      comment on this cost estimate,                          thus believe it may be appropriate to                  path protection, as when arranged in a
                                                      including its underlying assumptions.                   express the reporting threshold for                    protection scheme such as a
                                                      We believe these costs would be                         transport facility outages in terms of                 Synchronous Optical Network (SONET)
                                                      outweighed by the concomitant benefits                  impact on higher capacity circuits. In                 ring, lose one of the paths. Under such
                                                      of improved Commission awareness of                     particular, we propose to define the                   configurations, when one of the circuits
                                                      the frequency and impact of RAN-                        threshold in terms of ‘‘OC3 minutes’’,                 fails, traffic is diverted to a back-up
                                                      overload events on wireless customers,                  i.e., based on impact on OC3 circuits or               circuit or ‘‘protect path,’’ and a


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                                                      34354                    Federal Register / Vol. 80, No. 115 / Tuesday, June 16, 2015 / Proposed Rules

                                                      ‘‘simplex event’’ has occurred. We                      rectified within forty-eight hours of its              hour, this increase in the number of
                                                      propose to shorten from five days to 48                 discovery as a reportable outage. We                   filed reports would carry with it an
                                                      hours the reporting timeframe for this                  seek comment on the choice of forty-                   increased cost of $163,200. We believe
                                                      type of event. While above we propose                   eight hours after discovery of a                       these costs would be outweighed by the
                                                      to revise the metric for reporting major                reportable outage as the point at which                concomitant benefits of improved
                                                      facility outages from DS3-based to OC3-                 providers must report the outage. Are                  Commission awareness of the extent of
                                                      based, we now address the independent                   providers correct in asserting that the                industry best practices implementation
                                                      concern of the appropriate time frame                   vast majority of these outages are likely              in this area, and of providing the
                                                      for reporting simplex events on major                   to be repaired within a forty-eight-hour               Commission’s with greater
                                                      network facilities, regardless of whether               window and thus would remain exempt                    understanding about the overall health
                                                      measured as DS or OC.                                   from reporting? How common are                         of the nation’s networks and, thereby,
                                                         18. When it adopted the part 4 rules                 outages that last longer than forty-eight              the ability to work with industry toward
                                                      the Commission rejected a proposal to                   hours but shorter than five days after                 improved reliability and situational
                                                      exempt ‘‘simplex events’’ from the reach                they are discovered as reportable                      awareness goals to ultimately achieve
                                                      of these requirements and determined                    outages? Do the outages that persist                   and sustain more reliable and resilient
                                                      that such events would constitute                       longer than five days tend to be                       communications networks. We seek
                                                      reportable outages. The Commission                      particularly large in scope or difficult to            comment on this analysis and its
                                                      reasoned that, although such events do                  repair? Is there an alternative threshold              underlying assumptions.
                                                      not immediately result in any loss of                   for the reporting of simplex events that
                                                      communications, they eliminate                                                                                 D. Wireless Outage Reporting Metrics
                                                                                                              the Commission should consider? If so,
                                                      redundancies that prevent major losses                  what is the threshold and what are its                    23. Reporting Wireless Outages
                                                      of communications from occurring and                    advantages?                                            Generally. We have observed over the
                                                      provide valuable insight into the actual                                                                       last several years that wireless providers
                                                                                                                 22. We also seek comment on
                                                      resiliency of critical networks. The                                                                           use different methods to calculate the
                                                                                                              whether, and to what extent, reducing
                                                      Commission later issued a Partial Stay                                                                         number of users ‘‘potentially affected’’
                                                                                                              the reporting threshold from five days to
                                                      Order that granted a stay of this                                                                              by an outage, and we seek to find a
                                                                                                              forty-eight hours would increase costs
                                                      requirement as to outages that persist for                                                                     uniform method of calculating this
                                                                                                              on providers. We believe that this
                                                      less than five days. In issuing this                                                                           number that can be used by all reporting
                                                                                                              proposed change would create
                                                      partial stay, the Commission                                                                                   wireless providers, regardless of
                                                      contemplated ‘‘developing a full record’’               incentives for providers to repair
                                                                                                              simplex outages in a timelier manner,                  underlying technology. Wireless service
                                                      on this issue, including on the costs that                                                                     providers in particular are directed to
                                                      providers would incur in complying                      without imposing an undue cost
                                                                                                              burden. We would expect that adoption                  calculate this number ‘‘by multiplying
                                                      with the rule as originally adopted.                                                                           the simultaneous call capacity of the
                                                         19. Some Petitioners argue that it is                of this proposal would increase the
                                                                                                              number of reportable events, given that                affected equipment by a concentration
                                                      overly burdensome to report simplex
                                                                                                              there are likely a number of simplex                   ratio of 8,’’ which is based on ‘‘the
                                                      events. In its response to the Petitions,
                                                                                                              events that exceed the shorter 48 hour                 generic parameters that are routinely
                                                      the National Association of State Utility
                                                                                                              threshold proposed in this Notice of                   used in basic telecommunications traffic
                                                      Consumer Advocates (NASUCA) argued
                                                      that circuits are ‘‘critical’’ for commerce             Proposed Rulemaking, but do not                        analysis.’’ This measurement of call
                                                      and national defense, including,                        exceed the longer 5-day threshold                      capacity is undertaken at the mobile
                                                      ‘‘Federal Reserve, ATM and other bank                   currently in the Commission’s rules. We                switching center (MSC), which avoids
                                                      and commercial transactions, FAA flight                 propose a proportional estimate that the               the ‘‘computational difficulties’’ of
                                                      controls, [and] the Defense                             shortened reporting window threshold                   directly measuring outages within the
                                                      Department[,]’’ and that simplex outages                would double the number of simplex                     more dynamic radiofrequency (RF)
                                                      should thus be reported.                                outages subject to reporting, this would               portion of the network. However, as
                                                         20. Because simplex events are                       amount to an increase of approximately                 wireless technologies have continued to
                                                      typically scheduled for repair during                   1,250 reports per year. However, the                   evolve, providers implementing
                                                      daily maintenance cycles as Petitioners                 proposed change from DS3 to OC3-                       different technologies have employed
                                                      suggest, such outages should generally                  based reporting for major network                      various methods of measuring the call
                                                      be rectified within twenty-four to forty-               transport facility outages would reduce                capacity of their MSCs for purposes of
                                                      eight hours in the normal course of                     the number of simplex-based reports                    outage reporting. Based on our analysis
                                                      business. Neglecting to address simplex                 because events affecting a small number                of the data, it appears that this variation
                                                      outages within forty-eight hours of their               of DS3s would no longer be reportable.                 among providers and technologies has
                                                      discovery would thus contravene an                      Assuming that we reduce the simplex                    led to inconsistencies in reporting that
                                                      established industry best practice.                     reporting window threshold from five                   may compromise the Commission’s
                                                      Recent years have witnessed an increase                 days to 48 hours, and adopt OC3 as the                 ability to reliably detect wireless
                                                      in the reporting of simplex outages,                    metric threshold, we estimate these                    network outage trends. The lack of a
                                                      even under the relaxed, five-day                        conditions combined will result in an                  clear and consistent process for
                                                      standard set forth in the Partial Stay                  estimated 1,020 additional outage                      measuring and reporting wireless
                                                      Order, wherein the Commission                           reports. (We calculate 1,020 reports =                 outages also undermines the technology
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                                                      conceded that five days for repair of a                 1,250 additional DS3-based reports due                 neutrality that lies at the heart of the
                                                      simplex outage may be tolerable ‘‘[i]n                  to reduction to 48 hours threshold ¥                   part 4 rules.
                                                      the worst case scenario.’’ This suggests                230 reports only affecting one or two                     24. In light of these observations, we
                                                      that the best practice is not being                     DS3s. We base this calculation on the                  propose adopting a more standardized,
                                                      followed.                                               230 outage reports previously received                 technology neutral method for
                                                         21. In light of these observations, we               by the Commission in 2013, for events                  calculating the number of users
                                                      propose improving our reporting                         affecting one or two DS3s.) Assuming                   ‘‘potentially affected’’ by a wireless
                                                      requirements for simplex events to                      further that two staff hours required to               network outage. We seek comment on
                                                      require reporting of any such event not                 file each report, at eighty dollars per                two options.


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                                                                               Federal Register / Vol. 80, No. 115 / Tuesday, June 16, 2015 / Proposed Rules                                             34355

                                                         25. First, the wireless provider could               threshold. To estimate the cost of a                   its Petition for Reconsideration, Sprint
                                                      calculate the total number of users                     potential, new geographic–based                        requests clarification of section 4.9(e)(5),
                                                      potentially affected by an outage by                    reporting threshold, we need to estimate               arguing that ‘‘if an outage affects only
                                                      multiplying the number of cell sites                    the number of additional reports that                  one of the subtending PSAPs, only those
                                                      disabled as part of the outage by the                   would be filed under such a threshold.                 customers whose calls would have been
                                                      average number of users it serves per                   We estimate this number as (1) the                     routed to such PSAP would potentially
                                                      site, assuming for purposes of the                      number of additional outage reports that               be affected.’’ Sprint requests that
                                                      calculation that each user is served by                 would be generated by geography-based                  wireless providers be permitted to
                                                      a single site and site assignments are                  reporting (2) minus the number of                      divide the capacity of the Mobile
                                                      distributed evenly throughout the                       reports that would be submitted for                    Switching Center (MSC), as defined in
                                                      provider’s network. Alternatively, a                    outages that meet the current 900,000                  the rule, by the number of subtending
                                                      wireless provider could determine by                    user-minute threshold. For this purpose                PSAPs in order to more accurately
                                                      reference to its Visitor Location Register              and based on our experience reviewing                  estimate the number of end users
                                                      the actual number of users that were                    a decade’s worth of outage data, we                    potentially affected by an outage
                                                      being served at each affected cell site                 estimate that geography-based reporting                affecting a given PSAP. T-Mobile
                                                      when the outage commenced. We seek                      would generate additional reports in                   supported Sprint’s proposal.
                                                      comment on the strengths and                            counties where a company has fifteen or                   29. We propose a slightly modified
                                                      weaknesses of each of these calculation                 fewer cell sites. The number of counties               version of Sprint’s proposal. Rather than
                                                      methods. How significantly would                        with fifteen or fewer cell sites represents            have providers divide capacity equally
                                                      adoption of either proposed method                      2.7 percent of the total number of cell                among subtending PSAPs in order to
                                                      affect current reporting practices? Are                 sites nationwide. Using as a guide                     calculate numbers of users potentially
                                                      either or both methods preferable to the                counties with fifteen or fewer cell sites,             affected, we propose that capacity be
                                                      variety of methods used by providers to                 a disruption to communications would                   allocated to each PSAP in reasonable
                                                      measure ‘‘simultaneous call capacity’’                  be reportable under a geographic                       proportion to its size in terms of number
                                                      under the existing rule? What are the                   coverage standard if one or two cell sites             of users served. Thus, while Sprint’s
                                                      drawbacks or limitations of each                        in the county are down. We next                        proposal would divide the capacity of
                                                      proposed method? Are there ways of                      estimate, based on historical NORS data,               the MSC evenly by the number of
                                                      modifying either method to improve its                  that each cell site has a 22.6 percent                 PSAPs, our proposal would base the
                                                      utility? Would adoption of either                       chance of experiencing an outage within                allocation on the size of the subtending
                                                      method unduly favor certain network                     a given year. Finally, we adopt CTIA’s                 PSAP. We believe that this clarification
                                                      technologies or deployment                              estimate that 301,779 cell sites were in               would limit reporting to those
                                                      configurations over others? Is either                   operation nationwide as of the end of                  significant outages that potentially
                                                      method more technology neutral than                     2012. Based on these data, we conclude                 impact public safety and for which the
                                                      the other? We also seek comment on the                  that adoption of a geography-based                     rules are intended. Moreover, this
                                                      costs and benefits that would attend                    reporting requirement would likely                     calculation method is consistent with
                                                      adoption of either calculation method.                  result in the filing of 1,841 additional               what we observe to be the current
                                                      We do not believe that adoption of                      reports per year. Assuming that two staff              reporting practice. We seek comment on
                                                      either proposed calculation would have                  hours are required to file each report, at             this proposal. We also seek comment on
                                                      an appreciable cost impact. We seek                                                                            any potential new burdens that would
                                                                                                              eighty dollars per hour, we further
                                                      comment on this assumption.                                                                                    result from this clarification. We do not
                                                                                                              conclude that the additional reporting
                                                         26. Finally, we seek comment on                                                                             believe that adoption of the proposed
                                                                                                              would carry with it a $294,560 cost
                                                      whether to adopt a separate and                                                                                modification would have an appreciable
                                                                                                              burden. We believe these costs would be
                                                      additional wireless outage reporting                                                                           cost impact. We seek comment on this
                                                                                                              outweighed by the concomitant benefits
                                                      requirement based on the geographical                                                                          assumption.
                                                                                                              of improved reporting on wireless
                                                      scope of an outage, irrespective of the
                                                                                                              outages in less-populated areas, and of                E. Special Offices and Facilities
                                                      number of users potentially affected. We
                                                                                                              providing the Commission’s with                           30. Identifying ‘‘Special Offices and
                                                      believe that doing so could provide the
                                                                                                              greater understanding about the overall                Facilities.’’ Part 4 requires various
                                                      Commission with valuable information
                                                                                                              health of the nation’s networks and,                   classes of communications providers to
                                                      on the reliability of wireless service in
                                                      less densely populated areas. As the                    thereby, the ability to work with                      report outages that potentially affect
                                                      percentage of calls to 911 from wireless                industry toward improved reliability                   ‘‘special offices and facilities,’’ a term
                                                      devices continues to increase, the                      and situational awareness goals to                     defined in section 4.5(b) to include
                                                      negative impact to the public from large                ultimately achieve and sustain more                    ‘‘major military installations, key
                                                      geographic areas losing wireless                        reliable and resilient communications                  government facilities, nuclear power
                                                      coverage for emergency calls grows in                   networks. Are there steps the                          plants, and [relatively major airports].’’
                                                      significance. We seek comment on these                  Commission could take to reduce the                    It further states that National
                                                      observations. Were the Commission to                    reporting burden associated with such a                Communications System (NCS) member
                                                      adopt a geography-based reporting                       requirement?                                           agencies will determine which of their
                                                      requirement for wireless outages, how                      28. Estimating the Number of                        facilities qualify as major military
                                                      should it define the threshold? Should                  ‘‘Potentially Affected’’ Wireless Users                installations or key government
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                                                      providers be required to report any                     for Outages Affecting a PSAP. A                        facilities. Prior to the dissolution of the
                                                      outage that disrupts service over a                     reportable outage affecting a 911 special              NCS in 2012, none of its member
                                                      specified percentage (e.g., 5 percent) of               facility—or PSAP—occurs, inter alia,                   agencies provided any guidance as to
                                                      the provider’s advertised coverage                      whenever: (1) There is a loss of                       which of their facilities should be
                                                      footprint or some more granular level                   communications to a PSAP potentially                   included in these categories. In the
                                                      (e.g., at the State, county, or zip code)?              affecting at least 900,000 user-minutes;               wake of NCS’s dissolution and the
                                                         27. We also seek comment on the                      (2) the outage is not at the PSAP; (3) a               establishment of the Executive
                                                      costs and benefits that would attend                    complete reroute is not possible; and (4)              Committee on National Security and
                                                      adoption of a geography-based reporting                 the outage lasts 30 minutes or more. In                Emergency Preparedness


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                                                      34356                    Federal Register / Vol. 80, No. 115 / Tuesday, June 16, 2015 / Proposed Rules

                                                      Communications, we seek alternative                     benefits of these proposed options. We                 they have a potential impact on critical
                                                      means of identifying ‘‘special offices                  do not believe that redefining the term                communications. Such an interpretation
                                                      and facilities’’ for purposes of part 4.                ‘‘special offices and facilities’’ as                  is consistent with language proposed
                                                         31. We propose to classify as ‘‘special              considered in this NPRM would have an                  but not adopted in the Part 4 rulemaking
                                                      offices and facilities’’ those facilities               appreciable cost impact. We seek                       proceeding, under which an outage
                                                      enrolled in or eligible for the                         comment on this assumption. Which                      potentially affecting an airport would
                                                      Telecommunications Service Priority                     means of defining the term ‘‘special                   have been defined as one that: (i)
                                                      (TSP) program, which prioritizes the                    offices and facilities’’ would strike the              Disrupts 50 percent or more of the air
                                                      restoration and provisioning of circuits                optimal balance between useful results                 traffic control links or other FAA
                                                      used by entities with National Security/                and minimal costs to all parties? We                   communications links to any airport; (ii)
                                                      Emergency Preparedness (NS/EP)                          expressly seek comment from our                        has caused an Air Route Traffic Control
                                                      responsibilities and duties. The TSP                    national security agencies on the types                Center (ARTCC) or airport to lose its
                                                      framework for restoring critical circuits               of communications sector critical                      radar; (iii) has caused a loss of both
                                                      comprises five priority levels, with                    infrastructure they believe should be                  primary and backup facilities at any
                                                      levels 1 and 2 reserved for critical                    included in such reporting.                            ARTCC or airport; or (iv) has affected an
                                                      national security and military                             33. Section 4.13. Section 4.13 directs              ARTCC or airport that is deemed
                                                      communications and the remaining                        special offices and facilities to report               important by the FAA as indicated by
                                                      levels dedicated to the protection of                   outages to the NCS, which may then                     FAA inquiry to the provider’s
                                                      public safety and health and the                        forward the reported information to the                management personnel.
                                                      continued functioning of the economy.                   Commission at its discretion. No such                     35. We propose clarifying the
                                                      TSP-enrolled facilities include military                reports were ever forwarded to the FCC                 circumstances under which providers
                                                      installations; federal cabinet-level                    from the NCS prior to the latter’s                     must report outages potentially affecting
                                                      department and agency headquarters;                     dissolution in 2012. However, the                      airport communications. In doing so, we
                                                      state governors’ offices; Federal Reserve               Commission separately imposes                          first observe that most of the reports
                                                      Banks; national stock exchanges;                        requirements on communications                         filed in this category have concerned
                                                      federal, state, and local law enforcement               providers to report outages that                       outages not significant enough to pose a
                                                      facilities; hospitals; airports; major                  potentially affect ‘‘special offices and               substantial threat to public safety,
                                                      passenger rail terminals; nuclear power                 facilities’’ as that term is defined section           particularly at smaller regional airports.
                                                      plants; oil refineries; and water                       4.5. Accordingly, we propose deleting                  In light of this observation, we seek
                                                      treatment plants.                                       section 4.13 from our rules as redundant               comment on amending the definition of
                                                         32. We seek comment on this                          with respect to information that                       ‘‘special offices and facilities’’ to
                                                      proposal. If the TSP framework is                       providers are already required to                      exclude all airports other than those
                                                      suitable for identifying ‘‘special offices              supply, and obsolete with respect to                   designated ‘‘primary commercial
                                                      and facilities,’’ should the rule apply                 obligations regarding the NCS. We seek                 service’’ airports in the NPIAS. This
                                                      only to facilities enrolled in the                      comment on this proposal. Would                        category includes the nation’s most
                                                      program? If so, should there be a                       deleting this provision have any                       heavily trafficked airports, where even
                                                      separate, free ‘‘outage reporting only’’                practical impact on the Commission’s                   minor degradations in critical
                                                      category created for facilities that are                ability to gather information about                    communications can pose grave threats
                                                      eligible for TSP but not otherwise                      critical outages? Should the                           to public safety and national security.
                                                      enrolled? Should ‘‘special offices and                  Commission establish a voluntary                       To what extent would this proposed
                                                      facilities’’ instead be defined to include              mechanism for operators of ‘‘special                   restriction of the scope of section 4.5(b)
                                                      any facility that would be eligible for                 offices and facilities’’ to share                      affect current reporting practice? Would
                                                      TSP? If so, how would a provider                        information directly with the                          it put the Commission at risk of failing
                                                      determine which of the facilities it                    Commission about outages affecting                     to learn of serious outages?
                                                      serves are eligible for the program? In                 their facilities? What benefits to network                36. We next seek comment on
                                                      addition, if TSP eligibility or enrollment              reliability and public safety might be                 clarifying the types of communications
                                                      is used to define ‘‘special offices and                 realized were such reports filed directly              that must be jeopardized for an outage
                                                      facilities’’ under part 4, should facilities            with the Commission? Should the                        to be held to ‘‘potentially affect’’ an
                                                      at all priority levels be included or only              Commission encourage or require                        airport. As an initial matter, we find
                                                      those at the highest levels? Should the                 providers to report information                        compelling Sprint’s argument that only
                                                      rules expressly exempt providers from                   regarding outages affecting ‘‘special                  outages relating to critical
                                                      reporting any information about a TSP-                  offices and facilities’’ to member                     communications should be included.
                                                      enrolled facility that is protected under               agencies of the former NCS or to                       The definition of an outage potentially
                                                      a confidentiality or non-disclosure                     agencies that have absorbed NCS                        affecting an airport proposed in the
                                                      agreement with a TSP participant? Are                   functions?                                             original Part 4 rulemaking proceeding
                                                      there ways in which the TSP framework                      34. Airport Reporting Requirements.                 (and discussed above) would exclude
                                                      is unsuitable as a basis for classifying                Section 4.5(b) defines ‘‘special offices               communications such as these not
                                                      ‘‘special offices and facilities’’? For                 and facilities’’ to include all airports               directly related the role of airports as
                                                      instance, are there critical facilities that            listed as ‘‘current primary (PR),                      critical transportation infrastructure.
                                                      would fail to qualify as ‘‘special offices              commercial service (CM), and reliever                  Should the Commission adopt this
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                                                      and facilities’’ under this approach? If                (RL) airports in the Federal Aviation                  proposed definition? Are there
                                                      so, should we consider broadening the                   Administration’s (FAA) National Plan of                circumstances this definition fails to
                                                      scope of the definition to include                      Integrated Airports Systems (NPIAS).’’                 cover under which an outage should be
                                                      facilities that are guaranteed priority                 In its Petition, Sprint asks the                       held to ‘‘potentially affect’’ an airport?
                                                      restoration under ‘‘TSP-like’’ provisions               Commission to clarify that outages that                Should the definition include all
                                                      in service-level agreements? Are there                  ‘‘potentially affect’’ such airports (and              communications outages that could
                                                      alternative classification frameworks                   are thereby reportable under various                   impact the safety and security of the
                                                      that would be more suitable? We also                    subsections of section 4.9 of the rules)               airport, passengers, crew, or staff? On
                                                      request comment on the costs and                        are classified as such only to the extent              the other hand, should the Commission


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                                                                               Federal Register / Vol. 80, No. 115 / Tuesday, June 16, 2015 / Proposed Rules                                            34357

                                                      declare that outages potentially affecting              CTIA argues in support of its petition                 inspection. The Commission routinely
                                                      airports include only those that affect                 that ‘‘the rationale for excluding                     shares NORS reports with the Office of
                                                      FAA communications links? Are there                     wireless carriers from outage reporting                Emergency Communication at DHS,
                                                      are other ways of delineating this                      for airports applies with equal force to               which may ‘‘provide information from
                                                      category of outages that we should                      all special offices and facilities.’’ That             those reports to such other
                                                      consider? We also seek comment on the                   is, ‘‘[j]ust as with airports, wireless                governmental authorities as it may deem
                                                      costs and benefits of clarifying the scope              providers do not generally assign                      to be appropriate,’’ but the Commission
                                                      of outages that ‘‘potentially affect’’                  dedicated access lines to specific end                 does not share NORS information
                                                      airports as discussed above. In 2013, the               users, and therefore do not have                       directly with state governments. In the
                                                      Commission received 117 reports of                      dedicated access lines for the critical                absence of routine access to NORS data,
                                                      airport-related outages that do not                     portions of any of the special offices and             many states independently require
                                                      appear to have implicated critical                      facilities.’’ The Commission notes,                    communications providers to file
                                                      communications and thus would likely                    however, the continued growth in the                   network outage reports with their public
                                                      not be reportable under any clarification               use of wireless networks, including in                 utility commissions or similar agencies.
                                                      of the rules considered above. We thus                  and around facilities that may qualify as              The content of such reporting overlaps
                                                      estimate that such a clarification would                ‘‘special offices and facilities’’ under the           to a great extent with the information
                                                      reduce the number of reports filed                      current rules or under various proposals               providers must report to the
                                                      annually by 117. Assuming that each                     we are considering.                                    Commission under part 4.
                                                      report requires two staff hours to                         39. As we consider changes to the                      41. In 2009, the California Public
                                                      complete, at $80 per hour, this                         outage reporting rules that pertain to                 Utility Commission filed a petition
                                                      reduction in the number of reports filed                ‘‘special offices and facilities,’’ we seek            (CPUC Petition) in which it requests
                                                      would represent a cost savings of                       comment on how such rules should                       that the Commission amend its rules to
                                                      $18,720. We seek comment on this                        apply to satellite and terrestrial wireless            permit state agencies to directly access
                                                      analysis.                                               providers. Does airport communications                 the NORS database. CPUC also
                                                         37. Finally, we seek comment on the                  infrastructure remain ‘‘landline based,’’              informally requests that the Commission
                                                      relationship between the general                        and are other facilities the Commission                grant it password-protected access to
                                                      definition of ‘‘special offices and                     might classify as ‘‘special offices and                those portions of the NORS database
                                                      facilities’’ in part 4 and the special                  facilities’’ served by a similar                       that contain data relating to
                                                      provisions for airports. Were the                       infrastructure? If so, should the                      communications outages in the State of
                                                      Commission to classify ‘‘special offices                Commission exempt wireless providers                   California. CPUC argues that reliable
                                                      and facilities’’ using the familiar TSP                 from any requirement to report outages                 access to network outage data is
                                                      framework, under which airports are                     potentially affecting ‘‘special offices and            ‘‘necessary to perform its traditional role
                                                      eligible facilities, could it eliminate as              facilities,’’ as Petitioners request?                  of protecting public health and safety
                                                      redundant its separate requirements to                  Should we grant a similarly broad                      through monitoring of communications
                                                      report outages affecting airports? Would                exemption to satellite providers? On the               network functionality.’’ Direct access to
                                                      doing so make the rules clearer and                     other hand, should the rules specify that              NORS, CPUC further argues, is the most
                                                      more efficient, or would it create the                  a wireless or satellite provider must                  effective means of obtaining such
                                                      risk of critical airport outages going                  report outages potentially affecting any               information. CPUC cites as precedent
                                                      unreported? Should the Commission                       ‘‘special offices [or] facilities’’ to which           for its requested access to NORS the
                                                      instead broaden the scope of the airport-               it has assigned dedicated access lines?                Commission’s Numbering Resource
                                                      based reporting rules to include other                  Are there other service arrangements                   Optimization proceeding, in which the
                                                      modes of public transportation or even                  that should give rise to an obligation to              Commission divulged confidential
                                                      wider to other critical infrastructure,                 report wireless or satellite outages                   telephone numbering data to States on
                                                      perhaps based on the ‘‘critical                         potentially affecting ‘‘special offices [or]           the condition that they have adequate
                                                      infrastructure sectors’’ identified by                  facilities’’? More generally, are there                protections in place to shield the
                                                      DHS? Does the TSP framework already                     other circumstances where reporting                    information from public inspection.
                                                      adequately encompass such                               from wireless or satellite providers on                   42. Granting states access to NORS
                                                      infrastructure for purposes of part 4                   outages potentially affecting a special                data on a confidential basis could
                                                      reporting? Do answers to any of these                   office or facility might provide the                   advance compelling state interests in
                                                      questions depend on whether ‘‘special                   Commission with valuable information                   protecting public health and safety in an
                                                      offices and facilities’’ are defined to                 it would not receive otherwise? We also                efficient manner. We further observe
                                                      include all TSP-eligible facilities or only             seek comment on the costs and benefits                 that none of the commenters on CPUC’s
                                                      those facilities enrolled in the program?               that would attend adoption of any rules                petition made the case that such sharing
                                                         38. Reporting Obligations of Satellite               in this area. We observe that wireless                 would be unworkable in practice or
                                                      and Terrestrial Wireless Service                        and satellite providers have historically              would undermine the core purposes of
                                                      Providers. The part 4 rules applicable to               filed few, if any, reports pertaining to               NORS. Accordingly, we propose
                                                      satellite and terrestrial wireless                      outages affecting special offices and                  granting states read-only access to those
                                                      providers exempt these classes of                       facilities. We thus estimate any further               portions of the NORS database that
                                                      providers from reporting outages                        relaxation of their obligations to report              pertain to communications outages in
                                                      potentially affecting airports. In carving              such outages would not have an                         their respective states. In advancing this
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                                                      out these exemptions, the Commission                    appreciable cost impact. We seek                       proposal, we reaffirm our view that
                                                      explained that ‘‘the critical                           comment on this analysis.                              NORS data should be presumed
                                                      communications infrastructure serving                                                                          confidential and shielded from public
                                                      airports is landline based.’’ In separate               F. Part 4 Information Sharing                          inspection. We thus propose that, in
                                                      Petitions, CTIA, Cingular Wireless, and                   40. Sharing of NORS Data With State                  order to receive direct access to NORS,
                                                      Sprint each argue that wireless                         Public Utility Commissions. Section 4.2                a state must certify that it will keep the
                                                      providers should be similarly exempt                    provides that reports filed in NORS are                data confidential and that it has in place
                                                      from reporting outages pertaining to all                presumed confidential and thus                         confidentiality protections at least
                                                      other ‘‘special offices and facilities.’’               withheld from routine public                           equivalent to those set forth in the


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                                                      34358                    Federal Register / Vol. 80, No. 115 / Tuesday, June 16, 2015 / Proposed Rules

                                                      federal Freedom of Information Act                         45. Federal Agency Requests to                      Commission has prepared an Initial
                                                      (FOIA). We seek comment on defining                     Access NORS. The Commission also has                   Regulatory Flexibility Analysis (IRFA)
                                                      the term ‘‘State’’ for purposes of this                 received occasional requests from                      for this NPRM, of the possible
                                                      proposal to include the District of                     agencies other than DHS for access to                  significant economic impact on small
                                                      Columbia, U.S. territories and                          NORS data. Thus far, we have provided                  entities of the proposals addressed in
                                                      possessions, and Tribal nations. We also                the information only to DHS, which                     this document. The IRFA is set forth as
                                                      find that rulemaking is the appropriate                 may share relevant information with                    Appendix D. Written public comments
                                                      vehicle for deciding this issue, and thus               other federal agencies at its discretion.              are requested on the IRFA. Comments
                                                      hold in abeyance CPUC’s informal                        However, we recognize the validity of                  must be identified as responses to the
                                                      request for access to California-specific               requests from other federal partners to                IRFA and must be filed by the deadlines
                                                      NORS data, pending the completion of                    have their own direct access to the                    for comments indicated on the first page
                                                      this rulemaking.                                        NORS database when these requests are                  of this NPRM. The Commission’s
                                                         43. We seek comment on the                           made for national security reasons.                    Consumer and Governmental Affairs
                                                      foregoing proposal. How can the FCC                     Accordingly, we propose entertaining                   Bureau, Reference Information Center,
                                                      ensure that the data is shared with                     requests from other federal agencies for               will send a copy of this NPRM,
                                                      officials most in need of the information               access to NORS data, and acting upon                   including the IRFA, to the Chief
                                                      while maintaining confidentiality and                   such requests on a case-by-case basis.                 Counsel for Advocacy of the Small
                                                      assurances that the information will be                 We seek comment on this proposed                       Business Administration (SBA).
                                                      properly safeguarded? Should personnel                  approach to handling such requests.                    B. Paperwork Reduction Act of 1995
                                                      charged with obtaining the information                  Should there be limitations on DHS
                                                                                                              access or access by other federal                         48. The NPRM in this document
                                                      be required to have security training?
                                                                                                              agencies? Under what circumstances                     contains proposed new information
                                                      Should the identity of these individuals
                                                                                                              should this information be shared?                     collection requirements. The
                                                      be supplied to the FCC? Should states
                                                                                                              Should the entities seeking NORS data                  Commission, as part of its continuing
                                                      be required to report or be penalized for
                                                                                                              specify how they intend to use the                     effort to reduce paperwork burdens,
                                                      breaches of the confidentiality of
                                                                                                              information, and if, or with whom, they                invites the general public and the Office
                                                      information obtained from NORS?
                                                                                                              intend to share it? Should they be                     of Management and Budget (OMB) to
                                                      Should a provider be permitted to audit                                                                        comment on the information collection
                                                      a state’s handling of its outage data?                  required to demonstrate that sufficient
                                                                                                                                                                     requirements contained in this
                                                      Should states be granted access to NORS                 safeguards are in place to ensure that
                                                                                                                                                                     document, as required by the Paperwork
                                                      data only on the condition that such                    the information be seen only by
                                                                                                                                                                     Reduction Act of 1995, Public Law 104–
                                                      access replace any separate outage                      necessary parties? Should such sharing
                                                                                                                                                                     13. In addition, pursuant to the Small
                                                      reporting required under state law?                     be undertaken in accordance with the
                                                                                                                                                                     Business Paperwork Relief Act of 2002,
                                                      Should NORS allow the placement of                      procedures established under section
                                                                                                                                                                     Public Law 107–198, see 44 U.S.C.
                                                      caveats with respect to the sharing of                  0.442 of the Commission’s rules for the
                                                                                                                                                                     3506(c)(4), we seek specific comment on
                                                      any data elements?                                      sharing of presumptively confidential
                                                                                                                                                                     how we might further reduce the
                                                         44. We also seek comment on                          information with other federal agencies?
                                                                                                                                                                     information collection burden for small
                                                      limitations on states’ use of NORS data.                   46. Information Sharing with the
                                                                                                                                                                     business concerns with fewer than 25
                                                      When outage information is provided to                  National Coordinating Center for
                                                                                                                                                                     employees.
                                                      state public officials or state public                  Communications (NCC). We next seek
                                                      utility commissions, should the state be                comment on the sharing of information                  C. Ex Parte Rules
                                                      required to notify the FCC and service                  collected under part 4 with the NCC.                      49. The proceeding this NPRM
                                                      providers if the state seeks to share the               Would access to outage data collected in               initiates shall be treated as a ‘‘permit-
                                                      data with parties outside its direct                    NORS contribute to the NCC’s mission?                  but-disclose’’ proceeding in accordance
                                                      employ? Should states’ use of NORS                      Under what terms, if any, should such                  with the Commission’s ex parte rules.
                                                      data be restricted to activities relating to            access be provided? Should the                         Persons making ex parte presentations
                                                      its ‘‘traditional role of protecting public             Commission instead continue to leave to                must file a copy of any written
                                                      health and safety?’’ If so, what activities             the discretion of individual providers                 presentation or a memorandum
                                                      does this role encompass, and how                       what network outage information they                   summarizing any oral presentation
                                                      should the Commission enforce any                       choose to share with the NCC? Would                    within two business days after the
                                                      such limitation on states’ use of the                   the Commission’s provision of Part 4                   presentation (unless a different deadline
                                                      data? We seek comment on exactly what                   information to the NCC discourage                      applicable to the Sunshine period
                                                      information should be shared with state                 industry participation in that program?                applies). Persons making oral ex parte
                                                      officials. Should states be granted access              Is there a subset of data collected under              presentations are reminded that
                                                      to the notification, initial report and                 Part 4 that the Commission could share                 memoranda summarizing the
                                                      final reports? Should providers’ outage                 with the NCC while upholding the                       presentation must (1) list all persons
                                                      coordinators’ contact information be                    confidentiality presumption established                attending or otherwise participating in
                                                      redacted before the information is                      for Part 4? Would the sharing of network               the meeting at which the ex parte
                                                      shared with the states? Finally, we seek                outage data in aggregate or generalized                presentation was made, and (2)
                                                      comment on the costs and benefits of                    form be useful to the NCC? Finally, we                 summarize all data presented and
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                                                      sharing state specific NORS outage data                 assume that such information sharing                   arguments made during the
                                                      with state entities. We believe that the                would not have any appreciable cost                    presentation. If the presentation
                                                      proposed sharing of NORS data with                      impact. We seek comment on this                        consisted in whole or in part of the
                                                      states would not have an appreciable                    assumption.                                            presentation of data or arguments
                                                      cost impact. We seek comment on this                    II. Procedural Matters                                 already reflected in the presenter’s
                                                      assumption. What is the best way to                                                                            written comments, memoranda or other
                                                      balance security and convenience with                   A. Regulatory Flexibility Act                          filings in the proceeding, the presenter
                                                      the costs and benefits to all involved                    47. As required by the Regulatory                    may provide citations to such data or
                                                      parties?                                                Flexibility Act of 1980 (RFA), the                     arguments in his or her prior comments,


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                                                                               Federal Register / Vol. 80, No. 115 / Tuesday, June 16, 2015 / Proposed Rules                                            34359

                                                      memoranda, or other filings (specifying                   • Commercial overnight mail (other                      • Require reporting of DS3 Simplex
                                                      the relevant page and/or paragraph                      than U.S. Postal Service Express Mail                  outages that persist for less than five
                                                      numbers where such data or arguments                    and Priority Mail) must be sent to 9300                days but for more than forty-eight hours;
                                                      can be found) in lieu of summarizing                    East Hampton Drive, Capitol Heights,                      • Adopt a common, technologically
                                                      them in the memorandum. Documents                       MD 20743.                                              neutral method for calculating the
                                                      shown or given to Commission staff                        • U.S. Postal Service first-class,                   number of wireless users ‘‘potentially
                                                      during ex parte meetings are deemed to                  Express, and Priority mail must be                     affected’’ by an outage;
                                                      be written ex parte presentations and                   addressed to 445 12th Street SW.,                         • Clarify the reporting metric for
                                                      must be filed consistent with rule                      Washington DC 20554.                                   estimating the number of ‘‘potentially
                                                      1.1206(b). In proceedings governed by                     People with Disabilities: To request                 affected’’ wireless users for outages that
                                                      rule 1.49(f) or for which the                           materials in accessible formats for                    affect Public Switched Answering
                                                      Commission has made available a                         people with disabilities (braille, large               Points (PSAPs);
                                                      method of electronic filing, written ex                 print, electronic files, audio format),                   • Update the requirements that
                                                      parte presentations and memoranda                       send an email to fcc504@fcc.gov or call                mandate reporting of outages that affect
                                                      summarizing oral ex parte                               the Consumer & Governmental Affairs                    airports and other ‘‘special offices and
                                                      presentations, and all attachments                      Bureau at 202–418–0530 (voice), 202–                   facilities’’; and
                                                      thereto, must be filed through the                      418–0432 (tty).                                           • Grant NORS access to state
                                                      electronic comment filing system                                                                               government agencies upon request and
                                                      available for that proceeding, and must                 III. Ordering Clauses                                  certification that the state has measures
                                                      be filed in their native format (e.g., .doc,               51. Accordingly it is ordered that,                 in place to protect the data from public
                                                      .xml, .ppt, searchable .pdf). Participants              pursuant to the authority contained in                 disclosure.
                                                      in this proceeding should familiarize                   sections 1, 4(i), 4(j), 4(o), 201(b), 214(d),             54. The Commission traditionally has
                                                      themselves with the Commission’s ex                     218, 251(e)(3), 301, 303(b), 303(g),                   addressed reliability issues by working
                                                      parte rules.                                            303(r), 307, 309(a), 309(j), 316, 332, 403,            with communications service providers
                                                                                                              615a–1, and 615c of the                                to develop and promote best practices
                                                      D. Comment Filing Procedures                                                                                   that address vulnerabilities in the
                                                                                                              Communications Act of 1934, as
                                                         50. Pursuant to sections 1.415 and                   amended, 47 U.S.C. 151, 154(i)–(j) & (o),              communications network, and by
                                                      1.419 of the Commission’s rules, 47 CFR                 201(b), 214(d), 218, 251(e)(3), 301,                   measuring the effectiveness of best
                                                      1.415, 1.419, interested parties may file               303(b), 303(g), 303(r), 307, 309(a), 309(j),           practices through outage reporting.
                                                      comments and reply comments on or                       316, 332, 403, 615a–1, and 615c, this                  Under the Commission’s current rules,
                                                      before the dates indicated on the first                 Notice of Proposed Rulemaking, Second                  the outage reporting process has been
                                                      page of this document. Comments                         Report and Order and Order on                          effective in improving the reliability,
                                                      should be filed in PS Docket No. 15–80.                 Reconsideration in ET Docket 04–35                     resiliency and security of
                                                      Comments may be filed using the                         and PS Docket 15–80 is adopted,                        communications services. Commission
                                                      Commission’s Electronic Comment                         effective thirty (30) days after the date              staff collaborates with individual
                                                      Filing System (ECFS). See Electronic                    of publication in the Federal Register.                providers and industry bodies to review
                                                      Filing of Documents in Rulemaking                          52. It is further ordered that the                  outage results and address troublesome
                                                      Proceedings, 63 FR 24121 (1998).                        Commission’s Consumer and                              areas, and these efforts have resulted in
                                                         • Electronic Filers: Comments may be                 Governmental Affairs Bureau, Reference                 dramatic reductions in outages. The aim
                                                      filed electronically using the Internet by              Information Center, shall send a copy of               of updating the outage reporting rules is
                                                      accessing the ECFS: http://                             the Notice of Proposed Rule Making,                    to further improve the reliability,
                                                      fjallfoss.fcc.gov/ecfs2/.                               including the Initial Regulatory                       resiliency and security of
                                                         • Paper Filers: Parties who choose to                                                                       communications services.
                                                                                                              Flexibility Analysis and the Final
                                                      file by paper must file an original and
                                                                                                              Regulatory Certification, to the Chief                 B. Legal Basis
                                                      one copy of each filing. If more than one
                                                                                                              Counsel for Advocacy of the U.S. Small
                                                      docket or rulemaking number appears in                                                                           55. The legal basis for the rules
                                                                                                              Business Administration.
                                                      the caption of this proceeding, filers                                                                         proposed in the NPRM are contained in
                                                      must submit two additional copies for                   IV. Initial Regulatory Flexibility                     sections 1, 2, 4(i)–(k), 4(o), 218, 219,
                                                      each additional docket or rulemaking                    Analysis                                               230, 256, 301, 302(a), 303(f), 303(g),
                                                      number.                                                                                                        303(j), 303(r), 403, 621(b)(3), and 621(d)
                                                         Filings can be sent by hand or                       A. Need for, and Objectives of, the
                                                                                                              Proposed Rules                                         of the Communications Act of 1934, 47
                                                      messenger delivery, by commercial                                                                              U.S.C. 151, 152, 154(i)–(k), 154(o), 218,
                                                      overnight courier, or by first-class or                    53. The NPRM seeks comment and                      219, 230, 256, 301, 302a(a), 303(f),
                                                      overnight U.S. Postal Service mail. All                 information on a variety of issues                     303(g), 303(j), 303(r), 403, 621(b)(3), and
                                                      filings must be addressed to the                        related to the Commission’s Part 4                     621(d), and section 1704 of the Omnibus
                                                      Commission’s Secretary, Office of the                   outage reporting rules, including                      Consolidated and Emergency
                                                      Secretary, Federal Communications                       proposals to:                                          Supplemental Appropriations Act of
                                                      Commission.                                                • Clarify the requirement to report                 1998, 44 U.S.C. 3504.
                                                         • All hand-delivered or messenger-                   outages that significantly degrade
                                                      delivered paper filings for the                         communications to Public Safety                        C. Description and Estimate of the
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                                                      Commission’s Secretary must be                          Answering Points (PSAPs);                              Number of Small Entities to Which
                                                      delivered to FCC Headquarters at 445                       • Adopt requirements to report                      Rules Will Apply
                                                      12th St. SW., Room TW–A325,                             widespread call failures that result from                56. The RFA directs agencies to
                                                      Washington, DC 20554. The filing hours                  radio access network (RAN) congestion;                 provide a description of, and, where
                                                      are 8:00 a.m. to 7:00 p.m. All hand                        • Replace the current threshold                     feasible, an estimate of, the number of
                                                      deliveries must be held together with                   (based on ‘‘DS3 minutes’’) for reporting               small entities that may be affected by
                                                      rubber bands or fasteners. Any                          major network outages with a threshold                 the proposed rules, if adopted. The RFA
                                                      envelopes and boxes must be disposed                    based on optical (i.e., OC–3)                          generally defines the term ‘‘small
                                                      of before entering the building.                        transmission rates;                                    entity’’ as having the same meaning as


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                                                      34360                    Federal Register / Vol. 80, No. 115 / Tuesday, June 16, 2015 / Proposed Rules

                                                      the terms ‘‘small business,’’ ‘‘small                   Carriers, which are establishments                     the majority of wireless firms can be
                                                      organization,’’ and ‘‘small governmental                primarily engaged in operating or                      considered small.
                                                      jurisdiction.’’ In addition, the term                   providing access to transmission
                                                                                                                                                                     3. Satellite Service Providers
                                                      ‘‘small business’’ has the same meaning                 facilities and infrastructure that they
                                                      as the term ‘‘small business concern’’                  own or lease for the transmission of                      61. Satellite Telecommunications
                                                      under the Small Business Act. A small                   voice, data, text, sound, and video using              Providers. Two economic census
                                                      business concern is one which: (1) Is                   wired telecommunications networks.                     categories address the satellite industry.
                                                      independently owned and operated; (2)                   Under that size standard, such a                       The first category, Satellite
                                                      is not dominant in its field of operation;              business is small if it has 1,500 or fewer             Telecommunications, has a small
                                                      and (3) satisfies any additional criteria               employees. Census Bureau data for 2007                 business size standard of $15 million or
                                                      established by the SBA.                                 show that there were 3,188 firms in this               less in average annual receipts, under
                                                                                                              category that operated for the entire                  SBA rules. The second category is ‘‘All
                                                      1. Wireline Providers                                                                                          Telecommunications Providers,’’ which
                                                                                                              year. Of this total, 3,144 had
                                                         57. Incumbent Local Exchange                         employment of 999 or fewer, and 44                     is discussed in a separate section.
                                                      Carriers (Incumbent LECs). Neither the                  firms had employment of 1,000                             62. The category of Satellite
                                                      Commission nor the SBA has developed                    employees or more. Thus, under this                    Telecommunications ‘‘comprises
                                                      a small business size standard                          category and the associated small                      establishments primarily engaged in
                                                      specifically for incumbent local                        business size standard, the Commission                 providing telecommunications services
                                                      exchange services. The appropriate size                 estimates that the majority of                         to other establishments in the
                                                      standard under SBA rules is for the                     interexchange carriers are small entities              telecommunications and broadcasting
                                                      category Wired Telecommunications                       that may be affected by our proposed                   industries by forwarding and receiving
                                                      Carriers, which are establishments                                                                             communications signals via a system of
                                                                                                              action.
                                                      primarily engaged in operating or                                                                              satellites or reselling satellite
                                                      providing access to transmission                        2. Wireless Providers—Fixed and                        telecommunications.’’ Census Bureau
                                                      facilities and infrastructure that they                 Mobile                                                 data for 2007 show that 512 Satellite
                                                      own or lease for the transmission of                                                                           Telecommunications firms that operated
                                                      voice, data, text, sound, and video using                  60. Wireless Telecommunications                     for that entire year. Of this total, 464
                                                      wired telecommunications networks.                      Carriers (except Satellite). Since 2007,               firms had annual receipts of under $10
                                                      Under that size standard, such a                        the Census Bureau has placed wireless                  million, and 18 firms had receipts of
                                                      business is small if it has 1,500 or fewer              firms within this new, broad, economic                 $10 million to $24,999,999.
                                                      employees. Census Bureau data for                       census category. This category is                      Consequently, the Commission
                                                      2007, show that there were 3,188 firms                  composed of establishments that operate                estimates that the majority of Satellite
                                                      in this category that operated for the                  and maintain switching and                             Telecommunications firms are small
                                                      entire year. Of this total, 3,144 had                   transmission facilities to provide                     entities that might be affected by our
                                                      employment of 999 or fewer, and 44                      communications via the airwaves. As                    action.
                                                      firms had had employment of 1,000                       holders of spectrum licenses, these
                                                                                                              establishments use the licensed                        4. Cable Service Providers
                                                      employees or more. Thus under this
                                                      category and the associated small                       spectrum to provide services, such as                     63. Cable Companies and Systems.
                                                      business size standard, the majority of                 cellular phone services, paging services,              The Commission has developed its own
                                                      these incumbent local exchange service                  wireless Internet access, and wireless                 small business size standards for the
                                                      providers can be considered small.                      video services. The SBA has deemed a                   purpose of cable rate regulation. Under
                                                         58. The Commission has included                      wireless business to be small if it has                the Commission’s rules, a ‘‘small cable
                                                      small incumbent LECs in this present                    1,500 or fewer employees. For the                      company’’ is one serving a total of
                                                      RFA analysis. As noted above, a ‘‘small                 category of Wireless                                   400,000 or fewer subscribers over one or
                                                      business’’ under the RFA is one that,                   Telecommunications Carriers (except                    more cable systems. Industry data
                                                      inter alia, meets the pertinent small                   Satellite), Census data for 2007, which                indicate that all but ten cable operators
                                                      business size standard (e.g., a telephone               supersede data contained in the 2002                   nationwide are small under this size
                                                      communications business having 1,500                    Census, show that there were 1,383                     standard. In addition, under the
                                                      or fewer employees), and ‘‘is not                       firms that operated that year. Of those                Commission’s rules, a ‘‘small system’’ is
                                                      dominant in its field of operation.’’ The               1,383, 1,368 had fewer than 100                        a cable system serving 15,000 or fewer
                                                      SBA’s Office of Advocacy contends that,                 employees, and 15 firms had more than                  subscribers. Industry data indicate that,
                                                      for RFA purposes, small incumbent                       100 employees. Thus under this                         of the 6,101 systems nationwide, 4,410
                                                      LECs are not dominant in their field of                 category and the associated small                      systems have less than 10,000
                                                      operation because any such dominance                    business size standard, the majority of                subscribers, and an additional 258
                                                      is not ‘‘national’’ in scope. The                       firms can be considered small.                         systems have between 10,000–19,999
                                                      Commission has therefore included                       Similarly, according to Commission                     subscribers. Thus, under this standard,
                                                      small incumbent LECs in this RFA                        data, 413 carriers reported that they                  most cable systems are small.
                                                      analysis, although the Commission                       were engaged in the provision of                          64. Cable System Operators. The
                                                      emphasizes that this RFA action has no                  wireless telephony, including cellular                 Communications Act of 1934, as
                                                      effect on Commission analyses and                       service, Personal Communications                       amended, also contains a size standard
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                                                      determinations in other, non-RFA                        Service (PCS), and Specialized Mobile                  for small cable system operators, which
                                                      contexts.                                               Radio (SMR) Telephony services. Of                     is ‘‘a cable operator that, directly or
                                                         59. Interexchange Carriers. Neither                  these, an estimated 261 have 1,500 or                  through an affiliate, serves in the
                                                      the Commission nor the SBA has                          fewer employees and 152 have more                      aggregate fewer than 1 percent of all
                                                      developed a small business size                         than 1,500 employees. Consequently,                    subscribers in the United States and is
                                                      standard specifically for providers of                  the Commission estimates that                          not affiliated with any entity or entities
                                                      interexchange services. The appropriate                 approximately half or more of these                    whose gross annual revenues in the
                                                      size standard under SBA rules is for the                firms can be considered small. Thus,                   aggregate exceed $250,000,000.’’ The
                                                      category Wired Telecommunications                       using available data, we estimate that                 Commission has determined that an


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                                                                               Federal Register / Vol. 80, No. 115 / Tuesday, June 16, 2015 / Proposed Rules                                               34361

                                                      operator serving fewer than 677,000                     meet specified NORS Notice and                         consolidation, or simplification of
                                                      subscribers shall be deemed a small                     Reports reporting threshold criteria,                  compliance or reporting requirements
                                                      operator, if its annual revenues, when                  largely determined by the number of                    under the rule for small entities; (3) the
                                                      combined with the total annual                          end users potentially affected by the                  use of performance, rather than design,
                                                      revenues of all its affiliates, do not                  outage and the duration of the outage.                 standards; and (4) an exemption from
                                                      exceed $250 million in the aggregate.                   In the Commission’s experience                         coverage of the rule, or any part thereof,
                                                      Industry data indicate that, of 1,076                   administering NORS, small companies                    for small entities.
                                                      cable operators nationwide, all but ten                 only rarely experience outages that meet                 68. The proposed reporting
                                                      are small under this size standard. We                  the NORS Notice and Reports reporting                  requirements are minimally necessary to
                                                      note that the Commission neither                        threshold criteria. Accordingly, while                 assure that we receive adequate
                                                      requests nor collects information on                    some of the rule revisions proposed in                 information to perform our statutory
                                                      whether cable system operators are                      the NPRM would likely decrease the                     responsibilities with respect to the
                                                      affiliated with entities whose gross                    number of outages reported annually,                   reliability of telecommunications and
                                                      annual revenues exceed $250 million,                    while others may lead to increases, we                 their infrastructures. Also, we believe
                                                      and therefore we are unable to estimate                 would expect these impacts to be less                  that the magnitude of the outages
                                                      more accurately the number of cable                     pronounced for smaller entities. But                   needed to trigger the reporting
                                                      system operators that would qualify as                  notwithstanding any revisions we                       requirements are sufficiently high as to
                                                      small under this size standard.                         propose to the Part 4 reporting                        make it unlikely that small businesses
                                                                                                              requirements, we expect that                           would be impacted significantly by the
                                                      5. All Other Telecommunications
                                                                                                              telecommunications providers to                        proposed rules, and will, in fact, in
                                                         65. The 2007 NAICS defines ‘‘All                     continue to track, investigate, and                    many instances find their burden
                                                      Other Telecommunications’’ as follows:                  correct all of their service disruptions as            decreased by the newly proposed
                                                      ‘‘This U.S. industry comprises                          an ordinary part of conducting their                   reporting thresholds. The Commission
                                                      establishments primarily engaged in                     business operations and maintenance-                   considered other possible proposals and
                                                      providing specialized                                   even for service disruptions far too                   now seeks comment on the proposed
                                                      telecommunications services, such as                    small to trigger a requirement to report.              reporting thresholds and the analysis
                                                      satellite tracking, communications                      Telecommunications providers through                   presented.
                                                      telemetry, and radar station operation.                 internal network operation center
                                                      This industry also includes                             personnel already file Notifications and               F. Federal Rules That May Duplicate,
                                                      establishments primarily engaged in                     Reports, typically an online form less                 Overlap, or Conflict With the Proposed
                                                      providing satellite terminal stations and               than three pages in length based on data               Rule
                                                      associated facilities connected with one                routinely collected and monitored by                     69. None.
                                                      or more terrestrial systems and capable                 this same personnel. The form is
                                                      of transmitting telecommunications to,                                                                         List of Subjects in 47 CFR Part 4
                                                                                                              designed to allow small entities to input
                                                      and receiving telecommunications from                   information without the need for                         Airports, Communications common
                                                      satellite systems. Establishments                       specialized professional, although the                 carriers, Communications equipment,
                                                      providing Internet services or voice over               telecommunication providers may                        Disruptions to communications,
                                                      Internet protocol (VoIP) services via                   choose to hire consultants or engineers                Network outages, Reporting and
                                                      client-supplied telecommunications                      to conduct technical aspects, or an                    recordkeeping requirements,
                                                      connections are also included in this                   attorney to review compliance with                     Telecommunications.
                                                      industry.’’ This category has a size                    applicable rules. Therefore, we believe                Federal Communications Commission.
                                                      standard of $25 million or less in annual               the only burden associated with the                    Marlene H. Dortch,
                                                      receipts.1 Census Bureau data for 2007                  reporting requirements contained here                  Secretary.
                                                      show that there were a total of 2,383                   will be the time required to complete
                                                      firms that operated for the entire year.2               any additional Notifications and Reports               Proposed Rules
                                                      Of this total, 2,305 firms had annual                   following the proposed changes. In this                  For the reasons discussed in the
                                                      receipts of under $10 million and 41                    IRFA, we therefore seek comment on the                 preamble, the Federal Communications
                                                      firms had annual receipts of $10 million                types of burdens telecommunications                    Commission proposes to amend 47 CFR
                                                      to $24,999,999.3 Consequently, we                       providers will face in complying with                  part 4 as follows:
                                                      estimate that the majority of All Other                 the proposed requirements. Entities,
                                                      Telecommunications firms are small                      especially small businesses and small                  PART 4—DISRUPTIONS TO
                                                      entities that might be affected by our                  entities, more generally, are encouraged               COMMUNICATIONS
                                                      action.                                                 to comment and quantify the costs and
                                                                                                              benefits of the proposed reporting                     ■ 1. The authority citation for part 4 is
                                                      D. Description of Projected Reporting,
                                                                                                              requirements.                                          revised to read as follows:
                                                      Recordkeeping, and Other Compliance
                                                      Requirements                                                                                                     Authority: Sec. 5, 48 Stat. 1068, as
                                                                                                              E. Steps Taken To Minimize Significant
                                                                                                                                                                     amended; 47 U.S.C. 154, 155, 201, 251, 307,
                                                        66. The rules proposed in the NPRM                    Economic Impact on Small Entities, and                 316.
                                                      would require telecommunications                        Significant Alternatives Considered
                                                                                                                                                                     ■ 2. Section 4.2 is revised to read as
                                                      providers to report those outages that                     67. The RFA requires an agency to
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                                                                                                                                                                     follows:
                                                                                                              describe any significant alternatives that
                                                        1  Id.                                                it has considered in reaching its                      § 4.2 Availability of reports filed under this
                                                        2  EC0751SSSZ4, Information: Subject Series—                                                                 part.
                                                      Establishment and Firm Size: Receipts Size of Firms
                                                                                                              proposed approach, which may include
                                                      for the United States: 2007 Economic Census, U.S.       the following four alternatives (among                   Reports filed under this part will be
                                                      Census Bureau, http://factfinder.census.gov/faces/      others): (1) The establishment of                      presumed to be confidential. A State
                                                      tableservices/jsf/pates/productive.xhtml?pid=ECN        differing compliance or reporting                      government may file a request with the
                                                      l2007lUSl51SSSZ4&prodType=table (last
                                                      visited Mar. 27, 2015).                                 requirements or timetables that take into              Public Safety and Homeland Security
                                                        3 Id. The remaining 14 firms had annual receipts      account the resources available to small               Bureau for read-only access to
                                                      of $25 million or more. Id.                             entities; (2) the clarification,                       information filed under this part


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                                                      34362                    Federal Register / Vol. 80, No. 115 / Tuesday, June 16, 2015 / Proposed Rules

                                                      concerning outages that occur within                    § 4.5 Definitions of outage, special offices           duration of an outage, expressed in
                                                      the State. The Public Safety and                        and facilities, and 911 special facilities.            minutes, by the number of previously
                                                      Homeland Security may grant the                         *      *    *      *     *                             operating OC3 circuits or their
                                                      request upon certification that the State                  (e) * * *                                           equivalents that were affected by the
                                                      will maintain the confidentiality of the                   (1) There is a partial or complete loss             outage.
                                                      information and that it has in place                    of communications to PSAP(s)                           *    *     *     *    *
                                                                                                              potentially affecting at least 900,000
                                                      confidentiality protections equivalent to
                                                                                                              user-minutes and: The failure is neither               § 4.9    [Amended]
                                                      those of the Freedom of Information Act
                                                                                                              at the PSAP(s) nor on the premises of                  ■  5. Section 4.9 is amended by
                                                      to protect the information from public                  the PSAP(s); no reroute for all end users
                                                      inspection. Public access to reports filed                                                                     removing the term ‘‘DS3’’ and adding, in
                                                                                                              was available; and the outage lasts at                 its place, the term ‘‘OC3’’ in paragraphs
                                                      under this part may be sought only                      lasts 30 minutes or more; or
                                                      pursuant to the procedures set forth in                                                                        (a)(2), (a)(4), (b), (e)(3), (e)(5), (f)(2), and
                                                                                                              *      *    *      *     *                             (f)(4), and removing the number ‘‘1,350’’
                                                      47 CFR 0.461. Notice of any requests for                ■ 4. Section 4.7 is amended by revising
                                                      inspection of outage reports will be                                                                           and adding, in its place, the number
                                                                                                              paragraph (d) to read as follows:                      ‘‘667’’ in paragraphs (a)(2), (b), (e)(3),
                                                      provided pursuant to 47 CFR
                                                                                                              § 4.7 Definitions of metrics used to                   and (f)(2).
                                                      0.461(d)(3).
                                                                                                              determine the general outage-reporting
                                                      ■ 3. Section 4.5 is amended by revising                                                                        § 4.13    [Removed]
                                                                                                              threshold criteria.
                                                      paragraph (e)(1) to read as follows:                    *    *   *      *     *                                ■   6. Section 4.13 is removed.
                                                                                                               (d) OC3 minutes are defined as the                    [FR Doc. 2015–14687 Filed 6–15–15; 8:45 am]
                                                                                                              mathematical result of multiplying the                 BILLING CODE 6712–01–P
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Document Created: 2018-02-22 10:23:02
Document Modified: 2018-02-22 10:23:02
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 July 16, 2015, and reply comments on or before July 31, 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 August 17, 2015.
ContactBrenda D. Villanueva, Attorney Advisor, Public Safety and Homeland Security Bureau, (202) 418-7005 or [email protected] For additional information concerning the Paperwork Reduction Act information collection requirements contained in this document, send an email to [email protected] or contact Nicole On'gele, (202) 418-2991.
FR Citation80 FR 34350 
CFR AssociatedAirports; Communications Common Carriers; Communications Equipment; Disruptions to Communications; Network Outages; Reporting and Recordkeeping Requirements and Telecommunications

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