80_FR_62670 80 FR 62470 - Ensuring Continuity of 911 Communications

80 FR 62470 - Ensuring Continuity of 911 Communications

FEDERAL COMMUNICATIONS COMMISSION

Federal Register Volume 80, Issue 200 (October 16, 2015)

Page Range62470-62486
FR Document2015-24845

In this document the Federal Communications Commission (FCC or Commission) adopts rules to promote continued access to 911 during commercial power outages by requiring providers of facilities-based, fixed residential voice services, which are not line powered, to offer subscribers the option to purchase a backup solution capable of 8 hours of standby power, and within three years, an additional solution capable of 24 hours of standby power. The item also promotes consumer education and choice by requiring providers of covered services to disclose to subscribers the following information: availability of backup power sources; service limitations with and without backup power during a power outage; purchase and replacement options; expected backup power duration;) proper usage and storage conditions for the backup power source; subscriber backup power self-testing and monitoring instructions; and backup power warranty details, if any.

Federal Register, Volume 80 Issue 200 (Friday, October 16, 2015)
[Federal Register Volume 80, Number 200 (Friday, October 16, 2015)]
[Rules and Regulations]
[Pages 62470-62486]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-24845]


=======================================================================
-----------------------------------------------------------------------

FEDERAL COMMUNICATIONS COMMISSION

47 CFR Part 12

[PS Docket No. 14-174; FCC 15-98]


Ensuring Continuity of 911 Communications

AGENCY: Federal Communications Commission.

ACTION: Final rule.

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

SUMMARY: In this document the Federal Communications Commission (FCC or 
Commission) adopts rules to promote continued access to 911 during 
commercial power outages by requiring providers of facilities-based, 
fixed residential voice services, which are not line powered, to offer 
subscribers the option to purchase a backup solution capable of 8 hours 
of standby power, and within three years, an additional solution 
capable of 24 hours of standby power. The item also promotes consumer 
education and choice by requiring providers of covered services to 
disclose to subscribers the following information: availability of 
backup power sources; service limitations with and without backup power 
during a power outage; purchase and replacement options; expected 
backup power duration;) proper usage and storage conditions for the 
backup power source; subscriber backup power self-testing and 
monitoring instructions; and backup power warranty details, if any.

DATES: Effective dates: This rule is effective October 16, 2015, except 
for Sec.  12.5(b)(1), which is effective February 16, 2016; Sec.  
12.5(b)(2), which is effective February 13, 2019; and Sec.  12.5(d), 
which is effective 120 days after date the Commission announces 
approval from the Office of Management and Budget. The Commission will 
announce the effective date for Sec.  12.5(d) with a document in the 
Federal Register.
    Compliance dates: Section 12.5(b)(1), for providers with fewer than 
100,000 domestic retail subscriber lines on August 11, 2016; and Sec.  
12.5(d), for providers with fewer than 100,000 domestic retail 
subscriber lines 300 days after date the Commission announces approval 
from the Office of Management and Budget. The Commission will announce 
the compliance date for Sec.  12.5(d) with a document in the Federal 
Register.

FOR FURTHER INFORMATION CONTACT: Public Safety and Homeland Security 
Bureau, Linda M. Pintro, at (202) 418-7490 or [email protected]. For 
additional information concerning the Paperwork Reduction Act 
information collection requirements contained in this document, contact 
Nicole Ongele at (202) 418-2991 or send an email to [email protected].

SUPPLEMENTARY INFORMATION: This is a summary of the Commission's Report 
and Order (R&O) in PS Docket No. 14-174, released on August 7, 2015. 
The full text of this document is available for public inspection 
during regular business hours in the FCC Reference Center, Room CY-
A257, 445 12th Street SW., Washington, DC 20554, or online

[[Page 62471]]

at https://www.fcc.gov/document/ensuring-continuity-911-communications-report-and-order.

I. Introduction

    1. In this Report and Order, the Federal Communications Commission 
(FCC or Commission) takes important steps to ensure continued public 
confidence in the availability of 911 service by providers of 
facilities-based fixed, residential voice services in the event of 
power outages.
    2. For over one hundred years, consumers have trusted that they 
will hear a dial tone in an emergency even when the power is out. Now, 
as networks transition away from copper-based, line-powered technology, 
many are aware of the innovation this transition has spurred in 
emergency services, but many consumers, remain unaware that they must 
take action to ensure that dial tone's availability in the event of a 
commercial power outage. The Commission's own consumer complaints 
portal reveals frustration over the failure of service providers to 
adequately inform subscribers about how to self-provision backup power 
in order to access 911 services in a power outage. This period of 
transition has the potential to create a widespread public safety issue 
if unaddressed.
    3. Accordingly, we create new section 12.5 of our rules to place 
limited backup power obligations on providers of facilities-based 
fixed, residential voice services that are not line-powered to ensure 
that such service providers meet their obligation to provide access to 
911 service during a power outage, and to provide clarity for the role 
of consumers and their communities should they elect not to purchase 
backup power. To be sure, many providers of residential voice 
communications already offer some level of backup power to consumers. 
However, the vital importance of the continuity of 911 communications, 
and the Commission's duty to promote ``safety of life and property 
through the use of wire and radio communication,'' favor action to 
ensure that all consumers understand the risks associated with non-
line-powered 911 service, know how to protect themselves from such 
risks, and have a meaningful opportunity to do so. Specifically, we 
require all providers of facilities-based, fixed, voice residential 
service that is not line powered--including those fixed applications of 
wireless service offered as a ``plain old telephone service'' (POTS) 
replacement--to offer new subscribers the option to purchase a backup 
solution that provides consumers with at least 8 hours of standby power 
during a commercial power outage, which will enable calls to 911. In 
addition, we require these providers to offer, within three years of 
the effective date of the eight hour obligation, at least one option 
that provides a minimum of 24 hours of 911 service.
    4. Additionally, we require all providers of facilities-based, 
fixed, voice residential service that is not line-powered to notify 
subscribers, at the point of sale and annually thereafter until 
September 1, 2025, of the availability of backup power purchasing 
options, use conditions and effect on power source effectiveness, power 
source duration and service limitations, testing and monitoring, and 
replacement details. Additionally, we direct the PSHSB to work with CGB 
to develop, prior to the implementation date of these rules for smaller 
providers, as herein defined, non-binding guidance with respect to the 
required notifications to subscribers. We limit these obligations to 
ten years as that should be enough time to ensure that overall consumer 
expectations regarding residential voice communications are aligned 
with ongoing technology transitions.
    5. Finally, we encourage covered providers to conduct tailored 
outreach to state and local disaster preparedness entities to ensure 
that consumables and rechargeable elements associated with backup power 
technical solutions deployed in their area are well understood so that 
communities may prioritize restocking and/or recharging in response to 
extended power outages.

II. Background

    6. Our Nation's communications infrastructure and the services 
available to consumers are undergoing technology transitions. The 
Commission has recognized that these transitions will bring enormous 
benefits to consumers, but also that they raise important questions 
about how to appropriately carry out our obligations set forth in the 
Communications Act, including promoting public safety and national 
security, and protecting consumers.
    7. To further these statutory objectives, in November 2014, the 
Commission adopted a Notice of Proposed Rulemaking (NPRM) seeking to 
ensure reliable backup power for consumers . . . Specifically, the 
Commission sought comment on the ``communications services we should 
include within the scope of any backup power requirements we may 
adopt'' and ``propose[d] that any potential requirements would apply to 
facilities-based, fixed voice residential services, such as 
interconnected Voice over Internet Protocol (VoIP), that are not line-
powered by the provider.'' The Commission proposed that ``providers 
should assume responsibility for provisioning backup power that is 
capable of powering network equipment at the subscriber premises during 
the first 8 hours of an outage'' but sought comment on what should 
happen in the event of an extended commercial power outage. The 
Commission also recognized the importance of outreach to consumers on 
the effect of commercial power outages to their communications services 
and sought comment on effective consumer notification.

III. Discussion

    8. Communications services play an essential role in the delivery 
of public safety services, particularly 911, and that role is 
especially prominent during emergencies that lead to power outages. In 
the NPRM in this proceeding, we sought comment on the means to ensure 
that consumers have access to minimally essential communications, 
including 911 calls and telephone-based alerts and warnings, during a 
loss of commercial power. In this Report & Order, we take steps toward 
that goal by establishing clear lines of responsibility for ensuring 
continued 911 service during such commercial power outages and by: (1) 
Establishing a phased-in obligation for the offering of backup power 
solutions to consumers; and (2) requiring covered providers to engage 
in disclosure of the risks associated with these outages and steps 
consumers may take to address those risks.
    9. As discussed in greater detail below, we require that providers 
of non-line-powered facilities-based, fixed, voice residential service, 
including fixed wireless service intended as POTS replacement, offer, 
at the subscriber's option and expense, a backup power solution that 
provides 911 access for 8 hours in the event of commercial power loss. 
Within three years, providers must also offer a 24-hour backup power 
solution. We also require covered providers to explain at point of sale 
how the subscriber may extend the provision of backup power during 
longer, multi-day outages through devices such as solar chargers, car 
chargers or mobile charging stations and to direct customers to sources 
of such equipment. No provider will be required to install backup power 
unless requested by, and at the expense of, the subscriber, and no 
subscriber will be forced to purchase unwanted equipment. Rather, our 
rules will ensure that subscribers who so elect can obtain backup power 
simply and conveniently when activating a covered

[[Page 62472]]

service. In addition, in order to ensure that consumers are adequately 
informed in determining whether to make this election, we adopt 
disclosure requirements designed to ensure that subscribers are aware 
of the backup power options available for their service, including 
installation and other usage instructions. We also encourage, but do 
not require, providers to conduct tailored outreach to state and local 
disaster preparedness entities to ensure that consumables associated 
with their backup power technical solutions are well understood so that 
communities may prioritize restocking and/or recharging in support of 
extended power outages.

A. Need for Line Powering or an Alternative Source of Power During 
Outages

    10. In the NPRM, we noted that, in the past, consumers have relied 
upon service providers for backup power for their residential landline 
phones. That is, equipment on the subscriber premises of those still 
served by copper networks continued to work during commercial power 
outages as long as the handset or other subscriber premises equipment 
did not need to be plugged into an electrical outlet to function. We 
proposed and sought comment on steps we could take to safeguard 
continuity of communications throughout a power outage across networks 
that provide residential fixed voice service used to dial 911, 
including the possible adoption of new rules. Based on the record of 
this proceeding, we conclude that in order to ensure the availability 
of 911 service in the provision of facilities-based, fixed, voice 
residential services during power outages, we must adopt rules to 
require, among other things, either line powering or (at the 
subscriber's option and expense) an alternative means of maintaining 
911 access during commercial power outages.
    11. During a power outage, many subscribers must rely on a battery 
back-up, or an uninterruptible power supply (UPS), to ensure that their 
service will continue to operate. That is, many subscribers cannot rely 
on the availability of continuous power that is sufficient to provide 
basic telephony indefinitely in their homes. Specifically, modern fiber 
and cable networks do not provide power to operate necessary equipment 
at the subscriber location, including network devices (e.g., cable 
modems, optical network terminals) and telephones. The deployment of a 
VoIP service requires that analog voice signals be converted to IP, 
using a voice codec. The most commonly deployed model for VoIP services 
in the United States places the Analog Telephone Adapter (ATA) in a 
network device that is installed inside of the living unit. This ATA 
function is commonly used in hybrid fiber coax cable networks that use 
embedded multimedia terminal adapters (eMTA), twisted pair telephone 
(DSL) networks and increasingly Fiber-to-the-Home (FTTH) Optical 
Network Units (ONUs), also called Optical Network Terminals (ONTs). 
Voice codecs support voice, fax, and other legacy TDM services over IP, 
and their function is sometimes referred to as the ATA. Network devices 
with the embedded ATA function are powered directly by AC power or 
through a UPS that converts AC to DC power. According to the CSRIC 
report, in other use cases, the ATA function is being placed in 
consumer owned devices, creating more challenges for battery backup of 
VoIP services.
    12. Given that consumers are increasingly relying on new types of 
service for residential voice communications, and that in many areas 
traditional line-powered 911 service is now, or is soon likely to be, 
no longer be available, the NPRM asked whether it was reasonable for 
providers to continue to bear primary responsibility for backup power, 
and if so, to what extent. We also stated that it was our intention to: 
(1) Establish clear expectations for both providers and subscribers as 
to their responsibilities throughout the course of an outage; and (2) 
minimize potential for lapses in service because of subscriber 
confusion or undue reliance on the provider with respect to backup 
power for equipment at the subscriber premises. The NPRM communicated a 
desire to adopt baseline requirements for ensuring continuity of power 
for devices at the subscriber location during commercial power outages. 
We acknowledged that backup power is not solely a copper retirement 
issue. Thus, we intended to address backup power at the subscriber 
premises also for those who have already migrated or been transitioned 
to an IP-based network.
    13. We adopt the rules that follow because we believe that it is 
essential for all consumers to be able to access 911 emergency services 
during commercial power outages, especially those outages caused by 
catastrophic storms or other unpredictable events, and to understand 
how to do so. Ensuring the ability to maintain such service is a vital 
part of our statutory mandate to preserve reliable 911 service, and 
more generally, our statutory goal to promote ``safety of life and 
property through the use of wire and radio communication.'' We agree 
with the National Association of State Utility Consumer Advocates 
(NASUCA) that it is unlikely that our concerns would be adequately 
addressed without the adoption of regulatory requirements. We are 
supported in our conclusion by commenters such as the Pennsylvania 
Public Utility Commission (PA PUC), which urges the Commission to adopt 
baseline requirements for ensuring continuity of power during 
commercial power outages applicable to providers of interconnected 
VoIP-based services that do not provide line power at their central 
office, but rather rely on backup power.
    14. Specifically, we find that public safety officers, first 
responders and other public officials have a need to communicate with 
citizens through whatever means possible, and 911 service plays an 
important role in this regard. Indeed, consumer advocates and 911 
providers emphasize the need to adopt robust backup power requirements 
to ensure public safety. For example, Public Knowledge notes that right 
now consumers of traditional landline service are ``guaranteed backup 
power during power outages'' and ``many consumers keep their landline 
service specifically to retain this feature.'' Public Knowledge further 
states that, ``[w]ith the advent of cordless phones the only time the 
consumer worried about backup batteries was for their cordless phone or 
they simply retained a traditional phone to use during emergencies.''
    15. NASUCA and many other commenters agree that Commission action 
will help preserve consumers' ability to access 911 service. 
Specifically, NASUCA ``fully supports the Commission's determination to 
ensure reliable backup power for consumers of IP-based voice and data 
services across networks that provide residential, fixed service that 
substitutes for and improves upon the kind of traditional telephony 
used by people to dial 911.'' According to NASUCA, ``[b]ackup power 
requirements will help ensure that service will continue in a power 
outage.'' The National Association of State 911 Administrators (NASNA) 
similarly observes that ``[t]he transition from legacy copper loops to 
other network technologies means that an important safety net--Central 
Office provisioning of line power to the subscriber premises--will 
disappear unless the Commission takes action to mitigate it.'' The 
Communications Workers of America (CWA) asserts that CWA, consumer 
organizations, state regulatory commissions, and public safety 
associations ``support Commission proposals to facilitate the

[[Page 62473]]

transition to high-speed broadband networks, protect consumers and 
promote public safety by upgrading Commission rules regarding back-up 
power, network changes, and service discontinuance.''
    16. We agree that this period of transition gives rise to the need 
for ``upgrading Commission rules.'' We observe that the consumers most 
at risk of losing continuity of 911 communications during commercial 
power outages are those in the midst of transitioning from legacy 
copper, or that are new to non-copper media, because they may currently 
assume they will be able to reach 911 during a power outage. For 
example, Public Knowledge asserts that ``the new technologies with 
which AT&T and Verizon propose to replace traditional POTS are not 
self-powered, do not work with vital devices on which consumers rely, 
and are not available in every community.'' Public Knowledge further 
argues that, ``[w]hile technology transitions hold tremendous promise 
for a state-of-the-art communications network, the loss of guaranteed 
backup power or shifting backup power responsibility to the consumer 
are serious changes that could end up creating a network that serves 
some and not others.''
    17. We agree with the commenters who assert that transitions to new 
technology should not result in 911 service being more vulnerable than 
when consumers used the legacy network. As we stated in the NPRM, the 
absence of line powering for some voice services (such as those 
provided by cable companies) was not an issue that needed to be 
addressed when legacy line-powered network options were widely 
available, but it must be addressed as more and more residential 
subscribers are faced with only VoIP and other residential IP-based 
services (or legacy services delivered over fiber) as options, because 
these services typically will require a backup power source to function 
during power outages. Accordingly, we focus our requirements to support 
the continued transmission of 911 communications for service that will 
no longer have line powering capabilities. Because of the importance of 
the continuity of 911 communications, we also include under the new 
requirement providers that may have never provided line powering, but 
that provide services intended to replace traditional POTS services on 
which consumers have relied for continuous access. With the 
accelerating transition to new technologies, consumers of these 
services will no longer have competitive alternatives that come with 
line-powering capabilities.
    18. We reiterate our observation in the NPRM that adequate and 
reliable access to 911 services and functionalities during emergency 
conditions is a long-standing public policy objective. Although we 
recognize that we are in the midst of sweeping change, we believe that 
voice communications continue to play an essential and central role in 
the delivery of public safety services, and that this role does not 
diminish during events that cause power outages. Indeed, it is at these 
times that consumers most need to know that they will be able to use 
their home telephone to get help through 911.
    19. We recognize that, as noted by some commenters, many users of 
interconnected VoIP service may well be unconcerned about backup power, 
choosing instead to rely on their mobile phones or alternative backup 
sources. Nonetheless, because of the critical nature of 911 
communications, we are not persuaded by the argument that there is no 
need for action to ensure the continuity of 911 communications to homes 
across the country. Nor are we convinced that we should abandon this 
effort because of claims that consumer expectations, which have 
developed over decades, are already reset such that they no longer 
expect their home phone to work during power outages. Consumers who 
have yet to abandon (or who have only recently abandoned) line-powered 
service may not have had their expectations ``reset.'' At this time of 
transition, it is these consumers who are more likely to mistakenly 
believe that they can access emergency services during a power outage 
when the line power option had already been eliminated.
    20. We find merit in NASUCA's argument that the public interest 
requires the industry to be responsible for ensuring that its 
subscribers at least have some option to purchase backup power, either 
from the service provider or a third party. Therefore, as more fully 
discussed below, we conclude that the public interest would be best 
served by ensuring the option for continued access to backup power to 
maintain continuity of 911 communications during a loss of commercial 
power.
    21. We have previously recognized that the benefits associated with 
reliable 911 service are substantial. The provision of backup power for 
network equipment at the subscriber premises promotes the ``safety of 
life and property through the use of wire and radio communication,'' by 
enabling 911 calls for subscribers of the covered services, when the 
power is out. Specifically, the rules we adopt today will preserve 
safety of life by enabling the use of VoIP and other non-line powered 
services to contact 911 in a commercial power outage, which is what 
millions of Americans have come to expect from their ``home phone.'' We 
expect that providing the option for at least 8 hours of backup power 
would ensure the ability to make many life-saving 911 calls during 
commercial power outages. Therefore, we find, as we have before, that 
``[r]eliable 911 service provides public safety benefits that, while 
sometimes difficult to quantify, are enormously valuable to individual 
callers and to the nation as a whole.''
    22. We have also previously found that greater access to 911 
enables other public safety-related benefits as well. The Commission's 
``Text-to-911'' proceeding concluded that increasing access to 911 
``could yield other benefits, such as reduced property losses and 
increased probability of apprehending criminal suspects. Also, the 
increased ability to place 911 calls necessarily means that there is an 
increased ability to receive calls in an emergency, including calls 
from public entities attempting to disseminate important information 
during widespread emergencies (such as evacuation notices). Many 
communities have installed such a function that ``has proven to be 
effective in other counties and cities, such as San Diego during the 
fires of 2007.''

B. Covered Services

    23. In the NPRM, we sought comment to help identify the most 
essential communications services that a customer would need to get 
emergency help during a power outage. We referred to this in the NPRM 
as ``minimally essential'' communications. We intended to afford 
sufficient power for minimally essential communications, including and 
especially 911 calls and the receipt of emergency alerts and warnings.
    24. We also noted that voice services historically have been the 
primary means of contacting 911 for emergency help. Moreover, we 
observed that line-powered service can operate continuously and 
indefinitely during a commercial power failure, and does not require a 
backup power source to maintain continuity of communications for access 
to 911. Thus, we proposed that any rules apply ``to facilities-based, 
fixed voice services, such as interconnected VoIP, that are not line-
powered by the provider.''
    25. Consistent with this proposal, we conclude that it would be in 
the best interest of the public to apply our rules

[[Page 62474]]

to facilities-based, fixed voice services, such as interconnected VoIP, 
that are not line-powered by the provider. Our conclusion is based on 
the fact that, as we stated in the NPRM, voice service is still the 
primary means of reaching help through 911. We clarify that a wireless 
voice service is ``fixed'' for purposes of our rules if it is marketed 
as a replacement for line-powered telephone service and is intended 
primarily for use at a fixed location. We further clarify that whether 
a wireless service is ``fixed'' does not depend on the regulatory 
classification of the service under Federal or state law, or on the 
mobile capabilities of the service. Similarly, the use of a femtocell 
or similar equipment in a residential setting does not automatically 
convert a mobile service into a fixed service. The decisive factor is 
whether the service is intended to function as or substitute for a 
``fixed'' voice service.
    26. Although the rule we adopt today would allow for calls other 
than to or from 911, we find there is not currently a means to 
prioritize the provision of power for only some voice calls (such as 
911 calls) over other communications (such as calls to friends and 
family). Many commenters generally agree that there is no practical way 
to maintain power for only some calls. For example, according to 
Verizon, calibrating a provider's battery backup obligations and 
capabilities based upon essential versus non-essential calls would be 
inconsistent with consumer's expectations, and unnecessarily complex. 
ITTA, the Alarm Industry Communications Committee (AICC), NASUCA, and 
others argue that it would be technically difficult, if not impossible, 
to distinguish among certain types of calls or functions in a way that 
would allow rapid load-shedding of non-essential communications to 
conserve backup power, if minimally essential communications were 
defined as only 911 or emergency communications.
    27. Some commenters argue for an even broader definition of covered 
services, citing various examples. Although we recognize that limiting 
the definition as we have done omits some services on which consumers 
currently rely in emergencies, we expect that both the consumer backup 
power needs and our rules will evolve. More importantly, we do not more 
broadly define covered services because we find that at this time it 
would be in the best interests of the public to limit application of 
our rules to discharge our statutory duty to ensure the continued 
viability of 911. Imposing specific obligations on providers to support 
other communications could introduce confusion and impose costs on 
providers that may well exceed the incremental benefits. This is 
particularly true given the many backup power solutions on the market 
today that are capable of supporting both essential and non-essential 
communications.
    28. We reject the argument of NCTA and others that adopting backup 
power rules exclusively for fixed services unduly favors competing 
mobile services. The rules we adopt herein are intended to clarify the 
obligations of providers and the expectations of consumers in the 
provision of services that a customer would perceive as replacing line-
powered telephone service. Mobile wireless services increasingly 
compete with fixed services, but they function differently in multiple 
respects. Perhaps most significantly, mobile wireless devices are 
battery-powered in their normal mode of operation. Thus, we do not 
believe that consumers would reasonably expect such devices to draw 
line power during a commercial power failure. Moreover, the battery 
that powers a mobile device provides an inherent source of ``backup 
power'' that is often capable of providing far more than 8 hours of 
service per charge, and often may be charged through additional means, 
such as a car charger.
    29. Therefore, we conclude that, at this time, the appropriate 
services that should be subject to backup power requirements for 
effective 911 service during power outages are facilities-based, fixed 
voice service that is not line-powered by the providers, and is offered 
as a residential service.

C. Responsibilities of Providers of Covered Services

    30. To promote clear expectations and customer choice, we adopt a 
combination of performance and disclosure requirements to empower 
consumers to understand the backup power options available to maintain 
continuity of 911 service and to obtain the equipment necessary to 
provide such service, if they wish, at the point of sale. Providers of 
covered services must offer at least one technical solution capable of 
supporting at least 8 hours of uninterrupted 911 service and install 
such equipment, at the subscriber's option and expense, as part its 
installation of service. Within three years, providers of covered 
services also must offer new subscribers at the point of sale and 
install, at the subscriber's option and expense, a 24-hour backup power 
solution if a subscriber desires additional protection. We also adopt a 
disclosure requirement designed to ensure that both current and new 
subscribers understand their options with respect to backup power and 
are aware of the consequences of their decisions whether, and to what 
extent, to purchase backup power. Finally, we encourage providers of 
covered services to engage in targeted outreach to the communities they 
serve to ensure that local emergency managers are aware of the 
limitations inherent in various fixed, residential voice service 
technologies commonly used in their areas, as well as backup power 
options for individuals and communities more broadly to maintain 
continuity of communications in an emergency.
1. Performance Requirements
a. Duration
    31. We adopt backup power requirements that offer consumers 
meaningful alternatives to address their individualized needs, 
recognizing that consumers may have different preferences for backup 
power. Comments in response to the NPRM confirm that ``a one-size fits 
all solution is inappropriate and would disserve customer interests.'' 
Accordingly, we adopt a phased-in approach that will provide consumers 
with multiple options. As an initial baseline, we will require 
providers of covered services to offer, at the point of sale, to 
install a technical solution capable of supporting at least 8 hours of 
uninterrupted 911 service during a power outage. Within three years, 
providers must also offer, at the point of sale, a technical solution 
capable of supporting 24 hours of uninterrupted 911 service if the 
subscriber desires additional backup power. To minimize costs and 
provide flexibility, we do not specify the means by which providers of 
covered services offer to supply these amounts of backup power; 
instead, providers are free to develop individual technical solutions. 
To plan for longer power outages, we strongly encourage providers to 
inform subscribers of options to extend such uninterrupted service over 
multiple days and direct subscribers to sources of known compatible 
accessories such as home, car, or solar chargers. For longer power 
outages, we do not require providers to offer or install any particular 
solution, but we strongly encourage providers to inform subscribers at 
the point of sale, and through annual disclosures to existing and new 
subscribers discussed below, about known options to ensure 
uninterrupted 911 service and provide examples of retail sources for 
associated equipment, which may include third-

[[Page 62475]]

party vendor sources if providers do not offer such equipment 
themselves.
    32. In the NPRM, we observed that 8 hours of backup power for 
network equipment at the subscriber premises appears to be consistent 
with a number of VoIP deployment models already in practice, though 
some providers have deployed backup power capabilities for up to 24 
hours. We find that 8 hours of backup power is the appropriate amount 
of time to afford consumers with continuity of power in the critical 
hours immediately after a power outage, and is a backup power duration 
that is technically feasible today. The record reflects that the option 
to receive 8 hours of backup power is already an industry norm, as well 
as a reasonable baseline for the amount of standby time that is likely 
to be useful to consumers during emergencies. The United States Telecom 
Association (US Telecom), for example, states that ``provisioning eight 
hours of backup power is consistent with industry standards and 
reflects what VoIP providers currently employ.'' Verizon offers 
subscribers a 12-volt battery that provides up to 8 hours of backup for 
voice services and also observes that ``[c]ompanies such as Comcast, 
Cablevision, and Cox offer a battery with eight hours of backup, and 
Time Warner offers a battery with a choice of eight or twelve hours.'' 
The Electronic Security Association (ESA) and the Alarm Industry 
Communications Committee (AICC) urge the Commission to promote 
adherence to the National Fire Protection Association (NFPA) minimum 
standard on battery backup, which also is 8 hours. In light of this 
broad consensus, and based on the fact that 8 hours of backup power is 
already being provisioned today by some providers, we disagree with 
commenters who suggest that 8 hours is not an appropriate standard for 
backup power offerings. We find that it is technically feasible for 
providers of covered services to offer subscribers the option of at 
least 8 hours of backup power through provider-supplied backup power 
equipment or by offering compatible third-party equipment. While many 
providers already offer their subscribers an 8-hour backup power 
capability, the rule we adopt today establishes a common baseline that 
will ensure that consumers have access to backup power options 
regardless of their provider. This will promote public safety and 
emergency preparedness by allowing subscribers to reach 911 and receive 
telephone-based alerts and warnings in the critical hours immediately 
following a commercial power failure. We emphasize that the 
requirements we adopt today do not place any obligation on the consumer 
to purchase backup power; the obligation is placed on the provider not 
providing line-powered service, to make backup power available to the 
consumer, and to install appropriate backup power upon initial 
installation of service if requested by the consumer. To that end, we 
expect that installers should be able to answer questions about backup 
power.
    33. While we believe that 8 hours of backup power would address the 
need for continuity of communications immediately after a power outage, 
we recognize that, in some cases, 8 hours of backup power may not be 
enough for subscribers to reach critical emergency services during an 
extended loss of power. AARP urges the Commission to require providers 
to be ``responsible for the deployment and maintenance of voice-
enabling CPE that delivers at least 12 hours of standby time.'' NASUCA 
and the Communications Workers of America (CWA) also suggest that a 
longer time period, such as 12 or 24 hours, would be more useful for 
subscribers who need a longer duration to attend to other time 
sensitive matters that arise during the course of a natural disaster or 
other emergency. While industry commenters oppose a mandate to provide 
more than 8 hours of backup power to every subscriber, service 
providers note existing solutions, as well as innovative new solutions, 
that are capable of supporting longer standby times. Along similar 
lines, NASUCA urges the Commission to monitor advances in battery 
technology, and as soon as such technology is available at a reasonable 
cost, to require providers to furnish backup batteries with 7-day 
standby time and 24-hour talk time.
    34. In light of the critical need for maintaining 911 service 
during more severe and long-lasting power failures, we will require 
providers to offer subscribers a 24-hour backup power solution within 
three years. The record indicates that the provision of 24 hours of 
backup power is at least technically feasible today. ACA has 
``determined that batteries with 24 hour stand by capability can be 
ordered from at least one vendor but are not immediately available 
because they are not widely used.'' As explained below, we do not 
require providers to offer technologically distinct 8-hour and 24-hour 
solutions, so a 24-hour solution could consist simply of three 8-hour 
batteries. Many providers that offer an 8-hour solution are therefore 
likely to be capable of offering a 24-hour solution with minimal 
additional difficulty. That said, we want to encourage continued 
innovation in the development of 24-hour and longer term backup power 
solutions and avoid locking in solutions that are minimally compliant 
but that may not provide the best value to consumers. We will therefore 
phase-in the 24-hour requirement over three years, during which time we 
expect providers to work diligently to implement innovative solutions 
for providing at least 24 hours of backup power that improve upon 
current offerings in terms of cost, reliability and ease of use. This 
is consistent with ACA's recommendation for a phase-in of the 24-hour 
battery requirement for smaller providers; however, we find that given 
the overall market conditions for 24-hour battery supplies, including 
questions about immediate availability, it is appropriate to phase in 
the requirements for all providers, regardless of size. While NASUCA 
recommends that the Commission monitor battery backup power 
developments and phase in the requirements as soon as the market will 
allow, we find that providing a date certain both allows the market 
sufficient time to develop, and places a backstop for development, 
thereby spurring innovation in a reasonable timeframe. In the meantime, 
we encourage but do not require providers to offer a 24-hour solution 
using available technologies.
    35. As commenters note, the need for continued access to 911 during 
an extended power outage does not end after 8, or even 24, hours. For 
example, Public Knowledge argues that ``a minimum time of seven days 
backup power is a reasonable requirement that will keep consumers safe 
before, during, and after a natural disaster, and allow them to rebuild 
their communities.'' Based on a study by the Environmental and Energy 
Study Institute, Public Knowledge observes that restoring power after 
Hurricane Sandy and Hurricane Katrina took 12 and 15 days respectively, 
and on average takes 7 to 23 days. To address such extended losses of 
commercial power Public Knowledge asserts that ``carriers must 
prioritize the adoption of devices that use batteries that can last 
days and are not proprietary.'' Other commenters argue that ``Americans 
have come to trust and expect basic telephone service to work 
indefinitely, particularly during power outages caused by natural 
disasters and public safety emergencies'' and urge us to adopt even 
longer backup power requirements, ranging from seven days to two weeks.
    36. We are not persuaded that a requirement for providers of 
covered services to offer or install more than 24 hours of backup power 
is necessary at

[[Page 62476]]

this time. All things equal, we would prefer access to 911 during a 
loss of commercial power to last indefinitely, as consumers have come 
to expect with line-powered services. We recognize, however, that there 
are technical, operational, and cost considerations that must be 
balanced against this theoretical desire. For reasons discussed above, 
we believe that it is both technically feasible and consistent with 
current business models for covered services to require providers to 
offer options for 8 and 24 hours of backup power on the timelines 
specified in our rules. We agree, however, with commenters who suggest 
that a mandate to offer backup power for multi-day outages could impose 
unnecessary burdens on service providers and excessive costs on 
consumers for comparatively little public safety benefit. As CSRIC has 
observed, backup power technologies are evolving, and the cost of more 
advanced batteries such as lithium-ion cells is likely to decrease over 
time as other options such as power-over-Ethernet become more 
widespread. We will continue to monitor these developments to ensure 
that our rules keep pace. Moreover, power outages of extended duration 
allow well-informed consumers time to recharge their existing batteries 
or make other arrangements to reach emergency assistance until power is 
restored. We therefore strongly encourage providers to inform 
subscribers, both at the point of sale and annually thereafter, of 
known ways consumers can maintain connectivity during extended power 
outages. As an example, this could include guidance on restocking or 
recharging a power supply used to provide 8- or 24-hour capability. 
Providers could also give information on purchasing other accessories 
such as solar, home or car chargers that may allow exhausted batteries 
to be recharged and that are compatible with the provider's equipment. 
Providers need not offer such accessories themselves or endorse 
particular third-party suppliers, but they should provide sufficient 
information, including technical specifications when necessary, for 
subscribers to obtain compatible accessories from commercial sources. 
Such information may be provided through welcome kits, brochures, 
emails to subscribers, or any other means reasonably calculated to 
reach each subscriber, as discussed below, while providing due 
consideration for any preference expressed by the customer. Providers 
sometimes deploy mobile charging stations to areas affected by an 
extended outage, and may inform subscribers when such mobile charging 
stations are made available.
    37. In adopting these requirements, we acknowledge observations 
that ``[n]otwithstanding the availability of backup batteries, many 
customers today choose not to obtain a battery, given the growing 
reliance on wireless or the customers' use of handsets or other devices 
that themselves require commercial power to operate.'' We also agree 
with commenters such as Verizon that ``[c]ustomers should be free to 
decline [a backup] battery, depending on their personal preference.'' 
We further acknowledge that comments in the record indicate that, when 
it is offered, consumers often may not choose to avail themselves of 
options to purchase backup power. Commenters note, for example, that 
many subscribers of fixed, residential VoIP service also purchase 
mobile voice service that provides an alternate means of reaching 911 
in an emergency, and that others prefer cordless phones that require 
backup power beyond that supplied by service provider networks. 
Nevertheless, some consumers--particularly the elderly and other 
populations that are at the greatest risk during an emergency--may not 
subscribe to mobile wireless service and may rely solely on the 
continued functionality of their residential voice service to reach 
911. Furthermore, mobile networks are not designed in the same manner 
as wireline networks and may become overloaded in times of extreme use 
in an emergency situation, and thus be unavailable for use to reach 
911. We emphasize that nothing in our rules forces consumers to 
purchase backup power they do not want. We require only that consumers 
who want service that will work during power outages and have not 
otherwise provided for such uninterrupted service have the option of 
obtaining that capability, and that they have sufficient information to 
make an informed decision.
    38. In the NPRM, we discussed the duration of backup power in terms 
of ``the availability of standby backup power, not actual talk time.'' 
Commenters differ on whether backup power should be measured in terms 
of standby time, talk time, or some other metric that takes into 
account variations in battery life under different conditions. NASUCA, 
for example, questions provider assertions about backup battery life on 
the grounds that 8 hours of battery life yields far less actual talk 
time, and because batteries deteriorate as they age. Public Knowledge 
observes that the actual duration of a battery depends on its use, and 
that the more calls are placed, the more quickly backup power is 
depleted. In light of these potential discrepancies, we believe that 
adopting a uniform definition of ``backup power'' is necessary to avoid 
potential consumer confusion. Therefore, we base our backup power 
requirements on the amount of time a technical solution can maintain a 
covered service in standby mode, i.e., able to provide a dial tone and 
to initiate and receive voice calls, but not necessarily in continuous 
use. We believe that standby time is an appropriate metric, because our 
rules are premised on the need for covered services to be available to 
dial 911 or receive incoming communications such as emergency alerts 
and warnings during emergencies, not necessarily on the need for 
extended talk time when commercial power fails. We recognize that 
actual battery life may vary depending on how often subscribers place 
calls and how long such calls last, but we conclude it would not be 
practical to account for such situation-specific variations in our 
rules and that standby time is a more consistent and useful point of 
comparison. Accordingly, we require providers of covered services to 
offer subscribers the option to obtain backup power for 8 hours 
(effective 120 days after publication of this Report and Order in the 
Federal Register) or 24 hours (effective within three years thereafter) 
of standby time, measured at rated specifications, without a duration 
requirement for actual talk time.
b. Methods of Provisioning Backup Power
    39. We agree with commenters who advocate flexibility in how 
providers achieve continuity of 911 access for the time periods 
discussed above. The record reflects that providers currently employ a 
variety of backup power technologies and that a range of backup power 
options are also available direct-to-consumer from third-party sources. 
CSRIC, for example, identifies nine ``use cases'' for residential VoIP 
deployment, with a range of equipment functioning as an analog 
telephone adaptor (ATA) with varying levels of battery backup. CSRIC 
observes that ``[t]he most commonly deployed model for VoIP services in 
the United States is to locate the ATA function in a network device, 
installed inside the living unit.'' In addition, as NCTA states, 
uninterruptible power supplies (UPS) that can power multiple devices 
during a power outage are already widely available at national 
retailers. Bright House also describes ``numerous retail options 
available to subscribers like UPS, portable power packs, solar, and

[[Page 62477]]

manual cranks that power multiple devices during an outage and offer a 
more compelling and flexible solution to subscribers at comparable 
prices'' Some parties also comment that subscribers who use more 
versatile power options such as UPS should not have to also pay for the 
duplicative cost of an additional limited-function battery; nor should 
the Commission require consumers to pay for a backup power option that 
does not work in their situation.
    40. We do not require use of a specific technical solution or 
combination of solutions. Providers, which are not providing line-
powered service, have flexibility to develop and offer their own backup 
power solutions, as long as those solutions comply with the rules we 
adopt today. In addition, we expect that installers should be able to 
answer questions about backup power. For example, a provider could 
offer a solution with a single, internal battery delivering 8 hours of 
backup power. With respect to the 24-hour option required within three 
years, providers may choose to offer consumers a single 24-hour battery 
(or battery tray as offered by Verizon), three 8-hour batteries, or 
some other combination of installed and spare batteries, UPS systems or 
other technologies to provide 24 hours total. If the solution requires 
a proprietary battery or other equipment that is not widely available 
in retail stores, the equipment should be provided as part of the 
installation of service. If, however, the solution accepts commonly 
available equipment such as D-Cell batteries, providers need not supply 
such equipment themselves, as long as they notify subscribers at the 
point of sale that it is not included and must be supplied by the 
subscriber for the solution to function properly. In cases involving 
spare batteries that are not widely available at retail stores, the 
solution offered to subscribers should also include a charger or some 
other method of ensuring that such batteries are stored in a charged 
state.
c. Battery Monitoring and Maintenance
    41. In the NPRM, we sought comment on whether the provider should 
have any responsibility to monitor backup power status to determine 
whether the battery had degraded run time or performance. Generally, 
the comments of individual consumers and consumer advocacy 
organizations support requiring providers either to maintain and 
monitor the backup power or to provide subscribers with the means to do 
such monitoring. For example, AARP urges the Commission to adopt as a 
rule the CSRIC recommendation that service providers work with their 
vendors to provide a mechanism to monitor battery status, and determine 
whether the battery is degraded. AARP states that this can be done 
through remote monitoring of batteries as part of the service offered 
to subscribers, or through LEDs visible to subscribers. Other 
commenters suggest that the backup power system contain a self-
monitoring feature that notifies subscribers audibly and visually when 
the backup power system is in use, and when it is running low. ESA 
notes, however, that some subscribers may not pay attention to these 
warnings, and that it may require personal interaction with subscribers 
to assist with upgrading or changing a battery that needs attention. On 
the other hand, service providers generally argue that requiring remote 
monitoring of backup power is either impractical with current 
technology or, even if technically feasible, of limited use to 
subscribers or providers. AT&T contends that ``IP-based voice service 
providers generally do not assume responsibility for monitoring their 
customers' backup batteries,'' and that ``[r]elying on customers, 
rather than service providers, to monitor and maintain battery backup 
power for network equipment at the subscriber premises makes eminent 
sense given technological and marketplace changes.''
    42. We do not believe it would serve the public interest to require 
providers of covered services to remotely monitor backup power status 
at this time. Similarly, we decline to adopt any requirement that 
providers inspect or test backup power equipment after fulfilling their 
initial responsibility under our rules to offer subscribers the option, 
at the point of sale, for backup power to be installed as part of the 
initiation of service. This is consistent with CSRIC's observations 
that ``[i]ncreasingly, battery backup is being offered as an optional 
accessory to the consumer, which they can control and manage 
themselves.'' While we believe service providers are in the best 
position to identify and make available backup power solutions 
compatible with and appropriately sized for specific covered services, 
we agree with commenters who believe subscribers are in the best 
position to monitor backup power once installed, and in light of the 
disclosure requirements we are implementing designed to ensure they are 
adequately informed on how to do so. With respect to batteries, we are 
not persuaded that battery monitoring technology has evolved to the 
point of allowing service providers to conduct useful remote monitoring 
of battery status without raising costs to consumers or diverting 
resources away from more important network reliability issues through 
an increase in false failure alarms. We observe, however, that our 
allocation of monitoring responsibility to consumers is based on the 
expectation that service providers offer adequate information for 
subscribers to understand when their equipment is functioning properly 
and when it may require maintenance or replacement. Service providers 
should also inform subscribers of the potential for batteries to 
degrade over time and either make replacement batteries available for 
self-installation at the subscriber's expense or provide sufficient 
information for subscribers to obtain replacement batteries from third 
parties.
d. No Obligation to Retrofit
    43. Some service providers express concerns about the cost and 
complexity of any obligation to retrofit currently installed equipment 
to comply with any backup power requirements the Commission adopts. 
AT&T, for example, states that ``[i]f service providers were required 
to provide CPE backup power, the Commission should require only 
prospective implementation in order to avoid the technological pitfalls 
of retrofitting prior deployments.'' ITTA argues that ``[r]etrofitting 
existing service deployments for customers who are not interested in 
battery backup power would divert resources from new deployments, thus 
slowing the expansion of services to customers who desire advanced 
broadband capabilities.'' We agree and decline to adopt any obligation 
that providers of covered services retrofit currently-deployed 
equipment to accommodate the amount of backup power specified in our 
rules for new installations. The record reflects that some covered 
services are currently deployed without backup power and that consumers 
may prefer to continue using their existing equipment. Accordingly, we 
require only that backup power options be offered at the point of sale. 
Providers may continue offering retrofit options for backup power 
upgrades to existing customers or those who decline the option at the 
point of sale, but they are under no obligation to do so. We note, 
however, that even service providers that do not currently offer backup 
power acknowledge that third-party UPS units may allow subscribers to 
maintain communications capabilities without the need to retrofit 
existing equipment. Therefore, we conclude that providers' obligations 
to current subscribers

[[Page 62478]]

should include the disclosure requirements discussed below and the 
option for subscribers to self-install commercially available backup 
power solutions that are compatible with existing equipment.
e. Compensation and Costs for Providing Backup Power
    44. In the NPRM, we proposed that any requirement for service 
providers to ensure a substitute for line power would be premised on 
the condition that such providers ``would be entitled to commercially 
reasonable compensation in exchange for providing this service.'' In 
response, Public Knowledge asserts that the Commission should use 
legacy POTS as a baseline and require providers to furnish backup power 
without an additional fee because, until the transition to IP-based 
services, reliability has always been paid for as part of a 
subscriber's phone bill, and allowing providers to charge for backup 
power for the same service via new technology would be a step backward. 
However, this argument disregards the record evidence that batteries or 
other potential substitutes for line powering carry a not insignificant 
additional cost over an entire network, and that it is not unreasonable 
to permit providers to recoup those additional costs from those 
subscribers who have need for the additional coverage. We also note 
that it is current practice among many interconnected VoIP providers to 
charge an extra fee for batteries or other backup power capabilities, 
suggesting that the expectations Public Knowledge cites may be changing 
as consumers increasingly adopt VoIP services. As CSRIC has observed, 
``[o]ne clear trend across all VoIP use cases is that battery backup is 
increasingly being offered as an option to the consumer, with the cost 
and maintenance of the UPS and batteries being the consumer's 
responsibility.'' Ultimately, we are persuaded that subscribers should 
not have to pay for backup power they do not want. As discussed above, 
consumers may desire different amounts of backup power--or none at 
all--depending on their individual circumstances.
    45. Accordingly, we conclude that providers of covered services may 
charge subscribers for the backup power capabilities provided under our 
rules, if subscribers wish to purchase such capabilities. We emphasize 
that we do not specify the rates at which providers of covered services 
may offer backup power or related accessories, we expect market forces 
to ensure that backup power is offered at competitive prices. A service 
provider can receive compensation for all aspects of implementing the 
rules we adopt today, including the backup power installation, and 
costs of equipment and labor, from the consumer that elects to have 
backup power installed. And we do not preclude service providers from 
including backup power capabilities without separate charge, if they 
choose to do so for competitive or other reasons.
    46. By requiring only that service providers provision backup power 
upon subscriber request at point of sale, and at the requesting 
subscriber's expense, we have effectively negated the argument that 
these rules will substantially increase costs to providers. The 
majority of commenters who raise issues related to costs base their 
arguments on the assumption that the Commission would mandate a 
universal backup power solution across all subscribers, including 
retrofitting existing subscribers. The action we take today will 
substantially limit the providers' costs by requiring backup power 
installations only for customers that request backup power at the point 
of sale, and at those customers' expense. Fiber to the Home Council 
Americas states that ``while the industry has generally supplied backup 
batteries to all subscribers, it would make a material difference to 
the cost of a build, enabling expansion into less dense areas, if it 
could supply battery backup only to those subscribers that expressly 
want it--a number all-fiber service providers has determined is not 
great.'' Similarly, NCTA stated that in their experience only a small 
number of customers have purchased backup power. We also find concerns 
about the environmental effects of requiring all consumers to obtain 
backup power are inapplicable because we do not make such a 
requirement.
    47. There are additional factors that minimize the costs associated 
with compliance for the covered providers. First, as noted previously, 
the record indicates that numerous entities comprising a significant 
share of the IP voice services market are already offering their 
customers 8 hours of backup power; for those entities no additional 
costs are necessary. To the extent that a service provider is not 
currently offering the requisite 8 hours of backup power, the fact that 
numerous providers are currently offering such a solution indicates 
that solutions exist and are widely available. Accordingly, there is 
little need to custom-design a solution when many of the solutions can 
be used universally. Indeed, providers may avoid the costs of supplying 
or installing a proprietary solution. This also saves providers the 
costs of supplying batteries directly. The same cost-mitigating 
principles apply to the discussion of 24-hour and extended duration 
backup power; the commercial market for this solution already exists 
and even the smaller providers are confident in their ability to 
provide this level of backup power if provided ample transition. The 
record also indicates that many providers already offer some form of 
backup power, even if it is not an 8-hour solution, and therefore would 
be familiar with the practice of installing backup power solutions for 
their customers. Because the cost to providers of complying with this 
rule should be minimal both at the outset as well as when the 24-hour 
requirement takes effect, and the particular benefit to the public of 
enhanced continuity of communications to reach help through 911 during 
power outages is substantial, we conclude that our action today 
produces a net public benefit.
2. Subscriber Disclosure Obligations
a. Need for Subscriber Disclosure Obligations
    48. In the NPRM, we sought comment on whether we should require 
providers to develop and implement consumer education plans regarding 
the availability of backup power, and noted our belief that such plans 
``would be critical to consumers' ability to successfully self-
provision.''
    49. Commenters representing government stakeholders and consumers 
support such a requirement. For example, PA PUC states that, if 
providers require their customers to be responsible for purchasing or 
replacing backup power batteries, providers ``must develop and 
implement outreach and education programs to ensure customers are aware 
that [customers] are responsible for providing their own backup 
power.'' The New York Public Service Commission indicates that it is 
``critical that information about the consumer's role in maintaining 
continuity of power is transmitted to the customer by the service 
provider,'' and that providers need to develop programs to ``ensure 
consumers are aware that [they] are responsible for providing their own 
backup power.'' The Attorneys General for the Peoples of the States of 
Illinois and New York state that, because of the reluctance to 
advertise a diminished service, ``carriers may not emphasize the need 
for backup power disclosures.'' The FCC's Intergovernmental Advisory 
Committee asserts that ``providers should be required to communicate 
effectively and accurately the services that may no

[[Page 62479]]

longer be available and options for consumers to obtain comparable 
services, including options with respect to backup power supplies.''
    50. Industry stakeholders, on the other hand, oppose such a 
requirement. The Independent Telephone & Telecommunications Alliance 
(ITTA) states that there is ``no evidence that additional consumer 
education would be helpful or necessary, and argues that a requirement 
is ``unwarranted and a waste of resources.'' AT&T recommends that the 
Commission refrain from imposing a consumer education requirement, and 
instead work with providers to review backup power best practices for 
consumer education. Others, such as CenturyLink, Hawaiian Telcom, NCTA, 
and Verizon, suggest that the Commission support the implementation of 
CSRIC recommendations regarding consumer notification. They argue that 
this would give providers the flexibility to implement consumer 
education measures as their networks and business models warrant.
    51. Others argue that a requirement is unnecessary because 
providers already give consumers information related to backup power. 
For example, NCTA argues that the Commission's existing rules already 
``ensure that consumers are made aware of the backup power 
ramifications of choosing a VoIP service,'' and require providers at 
the initiation of interconnected VoIP service to ``inform consumers of 
the `circumstances under which E911 service may not be available,' . . 
. includ[ing] `loss of electrical power.' '' ITTA notes that it is 
``standard industry practice for interconnected VoIP providers to 
notify consumers regarding the potential limitations of IP-enabled 
voice services and equipment during a power outage.'' Fiber to the Home 
Council Americas (FTTH Council) also asserts that industry efforts to 
notify consumers about battery backup availability are effective based 
on assumptions regarding consumer adoption of wireless and VoIP 
services.
    52. AT&T states that providers of IP-based voice service already 
educate consumers on the necessity of a backup battery during a power 
outage and provide information about the backup battery, including 
practices for prolonging battery life, where to purchase battery 
replacement, and replacement instructions. CenturyLink indicates that 
it plans to provide information regarding ``sample batteries that would 
work with [CenturyLink] equipment as well as suppliers of such 
equipment for those customers wishing to provide their own backup 
power.'' Charter and Cablevision state that they are making 
``significant efforts to educate their customers about the VoIP 
services they offer, including that such service will not work during a 
power outage without a backup battery.''
    53. We find that the lack of uniformity in providers' backup power 
information, and as commenters present, lack of consumer awareness at a 
time of technological transition, may lead to consumer confusion about 
consumer expectations and responsibilities in the access of 911 service 
during power outages. While some providers already offer or plan to 
make available information to consumers in the near future, it appears 
from comments submitted and providers' Web sites that the information 
provided to consumers is not consistent across the industry. This lack 
of uniformity may lead to consumer confusion at a time of technological 
transition from services provided over copper networks to services 
provided over IP-based networks, and agree with commenters that there 
are consumers who ``may not be aware that VoIP and wireless service 
operate differently from traditional landline telephony in a commercial 
power outage.'' We acknowledge the concerns of commenters representing 
unique populations, such as AARP, which states that ``[g]iven the 
diversity of service provider practices . . . the level of consumer 
understanding of CPE battery backup issues is certainly not uniform.'' 
Further, subscriber complaints reveal that current disclosure practices 
are likely insufficient. For example, the Commission's consumer 
complaints portal reveals that some subscribers are frustrated by VoIP 
service providers' failure to inform subscribers about the need to 
self-provision a battery to operate backup power in order to access 911 
services. Based on the record, while we acknowledge that there are some 
disclosures already mandated and some additional information provided 
voluntarily, we are not convinced disclosures currently required only 
for interconnected VoIP providers, are of sufficient scope or 
uniformity across all covered providers, to satisfy the Commission's 
obligation to promote the safety of life and property and ensure 
consistent 911 services. Although not all subscribers may receive 
backup power information from more than one provider in a given year, 
we acknowledge that backup power information may be confusing 
especially for unique populations struggling during the technology 
transition, or those who may need to switch providers often, such as 
military families needing to relocate. We find that it is in the public 
interest for the Commission to establish a uniform requirement to 
provide minimum information as described below in order to ensure that 
all subscribers of covered services are equipped with necessary 
information to access 911 services during power outages regardless of 
provider or technology used.
    54. Adoption of best practices established by CSRIC, as recommended 
by some industry commenters, may help, and we do not intend to 
discourage adoption of these practices. However, we are not convinced 
that the voluntary adoption of these practices without a standard, 
mandatory baseline will eliminate consumer confusion. We therefore 
address these concerns by requiring minimum subscriber disclosure 
obligations, while at the same time encouraging providers to 
voluntarily follow additional CSRIC best practices regarding backup 
power.
    55. As NCTA discussed, current Commission rules require a limited 
customer notification for interconnected VoIP service providers. This 
requirement, however, is only for a subset of covered providers 
considered in this Report and Order, and we find that the information 
currently required is too limited to fully inform consumers about 
backup power. Specifically, section 9.5(e)(1) of the Commission rules 
requires customer notifications for circumstances such as ``loss of 
electrical power,'' ``under which E911 service may not be available 
through the interconnected VoIP service or may be in some way limited 
by comparison to traditional E911 service.'' Informing consumers of the 
circumstances under which their E911 service is not available does not 
adequately inform a consumer on how to purchase, efficiently use, 
monitor, or replace backup power at the consumer's premises.
    56. We conclude that requiring providers to develop and implement 
subscriber disclosures regarding backup power with minimum baseline 
disclosures serves the public interest and will promote access to 911 
while being of minimal cost to the providers. As CenturyLink notes, 
there is a clear public benefit in promoting consumers' awareness of 
the need for affirmative action to acquire and maintain backup power. 
According to the Communications Workers of America (CWA), ``Commission 
oversight is essential to encourage . . . consumer education about the 
time limits and capabilities of battery-provided backup power.'' 
Attorneys General state that ``enabling consumers to prepare

[[Page 62480]]

themselves for emergencies and avoiding public confusion should be 
fundamental Commission goals.'' We agree with these commenters, and 
others, who recognize the importance of consumer information in 
managing the historical consumer expectations regarding continuity of 
communications. As described in detail below, we also find the costs to 
providers in making the required disclosure to be minimal.
b. Minimum Information Elements
    57. The disclosure requirements adopted today are intended to equip 
subscribers with necessary information to purchase and maintain a 
source of backup power to enhance their ability to maintain access to 
reliable 911 service from their homes. Several parties commented on 
what information should be included in the disclosures. For example, 
some commenters strongly support including information about battery 
life spans, procedures for ordering, installing, replacing, and 
extending battery life during a power outage. The City of New York 
recommends that we require providers to furnish information to assist 
in extending the ``useful life of battery backup'' such as powering off 
the system or closing applications. APCO suggests that a public 
education requirement include information on ``any impact to 9-1-1 
services.'' The respective Attorneys General for the State of Illinois 
and the State of New York strongly support consumer education 
addressing the many factors that can affect the amount of ``stand-by 
time'' a backup power solution provides. The California PUC urges the 
Commission ``to mandate that service providers give customers 
educational materials consistent with California's existing 
requirements,'' which include, for example, requiring providers to tell 
their customers that their services require backup power on the 
customer's premises, limitations of service, and potential service 
failure during power outages. The California PUC also requires 
providers to tell consumers about how to best ``maximize the ability to 
make or receive necessary phone calls during an outage.''
    58. In addition to commenting on the appropriate level of 
disclosure in any Commission requirements, some commented on the 
opportunity for states to require more extensive disclosure. For 
example, the California PUC requests that the Commission allow the 
states to ``adopt more extensive backup power requirements.'' 
Similarly, NARUC suggested that the Commission establish ``a floor'' 
that does not impact more protective state-level measures.
    59. Several industry commenters identified information that is 
currently included in some backup power notifications to subscribers. 
For example, ACA asserts that providers inform potential and current 
subscribers that their voice service is not powered by the network, and 
during a power outage, without battery backup, the subscriber may lose 
access to 911. ACA explains that this notice also alerts customers 
about specific backup power capabilities of the equipment.
    60. We agree with the commenters who suggest that the Commission 
adopt minimal requirements for the types of information that service 
providers must give subscribers, regarding backup power. This will 
decrease the likelihood of consumer confusion, and ensure that all 
subscribers have access to basic information about the need for, and 
how to acquire and conserve, backup power. In this respect, we observe 
that several providers already give relevant information to their 
customers; however, the amount and type of information given varies 
greatly from one provider to another, and thus gives rise to the 
potential for consumer confusion. This confusion may lead the consumer 
to fail to take proper precautions to acquire and maintain backup 
power, and ultimately result in the inability to access 911 at a 
critical moment during a power outage. Thus, we find it in the public 
interest to identify minimum information that must be communicated to 
consumers regarding backup power. In this respect, we require providers 
to disclose to subscribers the following information: (1) Availability 
of backup power sources; (2) service limitations with and without 
backup power during a power outage; (3) purchase and replacement 
options; (4) expected backup power duration; (5) proper usage and 
storage conditions for the backup power source; (6) subscriber backup 
power self-testing and monitoring instructions; and (7) backup power 
warranty details, if any. In order to minimize the burden on smaller 
providers, we direct the PSHSB to work with CGB to develop such forms 
or other documents, prior to the implementation date of these rules for 
smaller providers, as herein defined, for the use of smaller providers 
in disclosing the required notifications to their subscribers, 
including subscribers with disabilities.
    61. Availability of Backup Power Sources. Subscribers must be made 
aware whether their service is capable of accepting backup power and, 
after the initiation of service, whether they may obtain backup power 
from the provider or from a third party. Some providers post this 
information online, but we find that the posted information is both too 
limited and not readily accessible by all subscribers. Therefore, it is 
insufficient notice to subscribers of a critical piece of information 
that they need to ensure continuity of access to critical 911 services 
during a power outage. Accordingly, we require providers to inform new 
and existing subscribers about the availability of compatible backup 
power sources for their service, as outlined below. Again, we emphasize 
that providers are not required to research and/or provide information 
on every possible backup power source that could potentially be 
compatible with a Covered Service; disclosure obligations under our 
rules are limited to basic information allowing consumers to make 
informed choices about their purchase and use of backup power to 
maintain continuity of access to 911.
    62. Service Limitations With and Without Backup Power. We require 
providers of Covered Service to notify subscribers about the service 
limitations with and without the use of a backup power source. As we 
stated in the NPRM, consumers of wireline telephony may expect their 
plug-in phones to work during a power outage without any further action 
on their part. Non-copper based networks and services not based on TDM 
may not support these traditional wireline functionalities, or may not 
support them in the ways consumers have come to expect. We are 
persuaded by commenters who support more fulsome disclosures of service 
limitations. Accordingly, we require providers of Covered Service to 
inform subscribers about the impact of power outages on the use of 911 
services and the type of service that will continue to work with backup 
power. For example, the obligation may be satisfied by notifying 
subscribers that voice service will be unavailable during a power 
outage without backup power, and that this backup power will not also 
power services other than voice. Further, to the extent the provider 
has information about other services at the subscriber premises--for 
example, home security, medical monitoring devices, or other similar 
equipment--the provider should notify the subscriber that these 
services will not be powered by the backup power source for voice 
service.
    63. At this time, we decline to require providers of a Covered 
Service to disclose the limitations of cordless handsets during power 
outages. Commenters such as US Telecom and California PUC note that 
cordless

[[Page 62481]]

phones rely on commercial power, and will not function during a power 
outage. Accordingly, the California PUC supports a requirement that 
providers tell consumers that ``cordless phones will not work in power 
outage.'' However, we observe that the concern about cordless phones 
not functioning during a power outage exists regardless of the 
underlying network providing service to a subscriber; that is, it is an 
equipment issue that does not depend on the type of underlying 
network--copper, fiber, or cable. Accordingly, we do not believe it is 
imperative to impose such an obligation here on the service provider.
    64. Purchasing and Replacement Options. Providers of Covered 
Service must inform subscribers about backup power purchasing and 
replacement options to enable subscribers to make informed decisions 
regarding whether to purchase backup power and how to find backup power 
that is compatible with the service. If, after the initiation of 
service, the provider does not sell a backup power source directly to 
subscribers, the provider must give subscribers enough identification 
information about what type of power source is compatible as well as 
purchasing options. Such identifying information must, at a minimum, 
include where to purchase a power source, the approximate cost, and the 
voltage and type of battery that is compatible with the service. That 
many providers currently make this information available suggests that 
the burden of doing so is not unreasonable.
    65. Backup Power Duration. Providers of Covered Service must inform 
subscribers about the expected duration of the backup power source and 
factors that impact duration, e.g., usage and storage conditions. We 
agree with the commenters who argue that standby time can be affected 
by many factors. Therefore, in addition to explaining the length of 
time the provider's backup power source is expected to power the 
service in standby mode and, to the extent possible, the expected 
amount of talk time, providers of Covered Service must notify 
subscribers of the proper backup power usage and storage conditions, 
and how these affect the backup power source operation during a power 
outage. This obligation includes identifying how subscribers may limit 
and conserve backup power both before and during a power outage. We 
agree with the suggestion of the City of New York that providers 
furnish ``information to assist the [subscriber] in extending the 
useful life of battery backup.'' Accordingly, providers of Covered 
Service must advise subscribers of the proper backup power storage and 
charging conditions so that subscribers know, for example, whether 
battery power life, capacity, or run time will decline, whether the 
batteries must be replaced after a certain amount of time, and the 
proper storage temperatures. That is, the information provided must at 
a minimum clearly inform subscribers about the impact of environmental 
factors.
    66. We strongly encourage providers to assist subscribers in 
developing a plan for extended backup power by notifying them of 
options to extend backup power beyond the life of the battery. For 
example, providers could inform subscribers that they could purchase 
several backup power units for use during prolonged outages, and 
provide directions for rotating these as required to keep the units 
charged. We also strongly encourage providers to inform subscribers of 
any available accessories such as solar or car chargers, which may be 
able to recharge a depleted backup power unit. And, when applicable, 
providers should inform subscribers of the availability of deployed 
mobile charging stations. This information will arm subscribers with 
the knowledge necessary to be prepared for extended power outages and 
to take steps to mitigate disruption to their 911 communications.
    67. Testing and Monitoring. Although we do not require providers to 
monitor backup power sources, when the subscriber purchases backup 
power directly from the provider, the provider must inform and instruct 
subscribers about how to self-monitor and self-test the backup power 
source. Several commenters support such a requirement, and we find the 
analogy in the comments of MDTC to be appropriate: ``like smoke alarms, 
IP equipment have similar importance to personal and public safety and 
is usually dependent upon the user for periodic testing and battery 
replacement.'' We are persuaded by these commenters that providers must 
clearly explain how a subscriber may test, monitor, and maintain the 
backup power source. We observe that several providers are currently 
effectively providing pictorial or other detailed explanations about 
subscriber self-testing and self-monitoring of backup power. Given 
their ongoing relationship with their subscribers, we find that 
providers are in the best position to notify and remind subscribers 
about how to test and monitor backup power. By furnishing specific 
instructions to subscribers on how to self-monitor and test backup 
power sources, providers will decrease consumer confusion, and greatly 
enhance the public's ability to maintain critical communications during 
power outages.
    68. Warranty. If the subscriber acquires the backup power from the 
provider, the provider must explain the elements of the warranty, if 
any, such as the warranty expiration date, and under what circumstances 
a replacement would be provided. We note that several providers already 
effectively offer online information regarding replacement procedures, 
which suggests that this is information that is helpful to consumers in 
preserving their ability to reach 911.
c. Availability of Required Information
    69. Each element of the information described above must be given 
to subscribers both at the point of sale and annually thereafter, as 
described below. This information will help subscribers plan in advance 
to extend the effectiveness of their backup power and ultimately, as we 
stated in the NPRM, count on the continued availability of 911 service 
in harsh weather conditions or other emergencies when consumers are 
most vulnerable.
    70. We sought comment in the NPRM on when providers should make 
information available regarding backup power. For example, we asked 
whether the information should be made available at the point of sale, 
at the initial set up of service, or at some other point in the 
process. We also asked whether providers should make detailed backup 
power information available prior to a predicted extreme weather event 
or other anticipated emergency.
    71. Commenters support disclosure of backup power information to 
subscribers at various points in time. For example, the Attorneys 
General argue that the Commission should inform subscribers ``when new 
service requires additional equipment to access emergency services in a 
power outage.'' The CPUC supports providing information upon ``service 
initiation and annually thereafter regarding backup power,'' as well as 
sending ``an annual reminder to customers to check the status of their 
battery.'' On the other hand, providers such as CenturyLink see value 
in asking ``at the point-of-sale'' if their customers want backup 
power, at which time consumers will be assessed a ``one-time, non-
recurring charge.''
    72. We are persuaded by comments supporting an initial disclosure 
at the point of sale for the new service and an annual disclosure for 
all subscribers, both new and existing. We agree with AT&T that 
subscribers should have the information they need to ``shop among

[[Page 62482]]

competitive alternatives for backup power, including the alternative of 
opting out of backup power altogether.'' As commenters note, service 
providers have an important role in disseminating information to their 
subscribers. AARP states that the ``availability and distribution of 
accurate information related to CPE backup power from reliable sources 
is an important means to empower consumers.'' Equipped with initial and 
annual notifications, including the disclosures and information as 
described above, all subscribers, both new and existing, will be in a 
better position to make backup power purchase decisions and conduct 
regular maintenance in order to ensure access to 911 services during 
power outages.
    73. We also sought comment on how providers should make backup 
power information available to consumers. Commenters suggest that 
providers should offer information on Web sites, and in individual 
electronic and paper billing materials. ACA, for example, states that 
its members use a variety of approaches, such as posting information on 
the operator's Web site, to inform subscribers about backup power 
supplies for CPE. CenturyLink states that ``service providers are 
increasingly communicating with customers about the issue of backup 
power,'' and supplementing brochures provided to customers with 
information on the company Web site. ESA raises concerns that there may 
be scenarios, for example with the elderly, requiring ``personal 
interaction with consumers to assist with upgrading or changing a 
battery.'' NTCA, GVNW, and Vantage Point Solutions suggest that 
consumers that ``utilize an assistive device in connection with a 
disability'' should be part of the consumer education process.
    74. We seek to provide flexibility regarding the manner in which 
providers inform their subscribers, while also honoring any preferences 
expressed by customers. We thus permit providers to convey both the 
initial and annual disclosures and information described above by any 
means reasonably calculated to reach the individual subscriber. For 
example, a provider may meet this obligation through a combination of 
disclosures via email, an online billing statement, or other digital or 
electronic means for subscribers that communicate with the provider 
through these means. For a subscriber that does not communicate with 
the provider through email and/or online billing statements--such as 
someone who ordered service on the phone or in a physical store and 
receives a paper bill by regular mail--email would not be a means 
reasonably calculated to reach that subscriber.
    75. We observe that many providers use a variety of methods to 
offer backup power source information on their Web sites as well as in 
welcome kits, including charts, pictorial explanations, and links to 
backup power source manufacturers. We encourage providers to continue 
to do this, as long as required disclosures are reasonably calculated 
to reach each subscriber. Posting information on a Web site may be 
helpful but, by itself, would not satisfy our requirement that 
notifications be reasonably calculated to reach individual subscribers, 
even for those subscribers that communicate with the provider via 
online means. Further, we are persuaded by commenters that there are 
populations, such as the elderly or individuals with disabilities, who 
have no or a very limited online relationship with the provider or 
otherwise may need more targeted consumer education outreach beyond 
posting online information.
    76. We believe that the cost of these backup power disclosure 
requirements will be minimal and, thus, will be exceeded by the 
significant benefits we expect to result from this subscriber 
disclosure, such as enhanced subscriber access to 911 services. Among 
other things, we note that the vast majority of providers already 
furnish subscribers with some backup power information. As a result of 
current disclosure practices, we expect that only a small share of the 
providers will need to take additional steps to comply with these rules 
beyond modifications to existing disclosures. Similarly, providers 
already furnish subscribers with information upon initiation of 
service, and are free to include the information we require herein with 
the other materials, removing the need for a special cost of 
distribution. Also, in order to limit costs to providers, we make clear 
above that a service provider may fulfill its disclosure obligation via 
any means reasonably calculated to reach the consumer, while also 
honoring any preference expressed by the customer. Such methods may 
include electronic outreach, including email notification and paperless 
billing statements; paper copies are not required for subscribers who 
access and receive information through those means. The annual 
notification associated with this requirement gives service providers 
ample time to plan, for example including the appropriate notifications 
in normally-distributed billing statements in a manner that does not 
serve to increase the number of printed pages distributed. As noted 
above, the Commission will further reduce compliance costs by providing 
guidance as to the required notifications to subscribers. Accordingly, 
the costs of satisfying the notification requirement should be minimal 
for service providers, and the benefits of informing consumers of 
backup power solutions in order to reach 911 service from the 
subscriber premises during power outages, far outweighs any such 
minimal costs.
    77. As with the rules obligating providers to offer backup power 
solutions, there are numerous benefits associated with the disclosure 
requirements on how commercial power outages affects VoIP service. 
Millions of Americans have come to rely on their TDM voice service 
working during a commercial power outage to call 911. With this 
backdrop, educating consumers that their phones will not work in a 
commercial power outage absent backup power is essential even if the 
consumer opts not to purchase backup power. At a minimum, an educated 
consumer will not have the expectation of relying on a VoIP service 
only to have it fail to operate when the consumer tries to make a 911 
call, wasting valuable time in the process. In this way the consumer 
notifications not only promote the availability of 911 service in power 
outages, pursuant to our statutory mandate governing IP transitions, 
but also promote the ``safety of life and property through the use of 
wire and radio communication,'' the Commission's statutory charge, by 
enabling customers to know the limitations of their service in an power 
outage situation and to make alternate arrangements--either via a 
backup power solution or alternate means of communication--to ensure 
the 911 call can go through. This is consistent with our findings with 
respect to requiring minimum wireless location accuracy where we found 
that the rules ``will improve emergency response times, which, in turn, 
will improve patient outcomes, and save lives.'' We find, therefore, 
that it is reasonable to expect that the rules we adopt today will save 
lives and result in numerous other benefits that are less quantifiable 
but still advance important public interest objectives. Given that the 
notification requirements contained herein have minimal associated 
costs, we find that the benefits of these rules far exceed the costs.
3. Community Outreach
    78. In the NPRM, we sought comment on whether we should require 
providers to develop and implement consumer education plans regarding 
the availability of backup power. We also

[[Page 62483]]

inquired whether there is a need for measures beyond written notice to 
customers. The few commenters that addressed this issue see a need for 
outreach beyond written disclosures to subscribers for the Nation to 
make the transition to an all-IP environment effectively and with the 
least amount of consumer confusion. We agree with NASUCA that a backup 
requirement without a comprehensive consumer education plan would be of 
limited value, and we find that a truly comprehensive plan should 
contain an outreach component. That is, as noted by the Massachusetts 
Department of Telecommunications and Cable (MDTC), written notice to 
subscribers is only a portion of the consumer outreach and education 
that is necessary during these times of technology transitions.
    79. We agree with MDTC that to provide for flexibility in the 
delivery of technology transition information, while ensuring its 
accuracy and effectiveness, providers should develop outreach and 
education plans in coordination with state, local, and tribal agencies 
and community organizations. Our Intergovernmental Advisory Committee 
(IAC) notes that ``education efforts must include all levels of 
governments that interact with consumers. In this manner, state, local 
and tribal governments will be able to assist consumers in making 
informed choices that satisfy their communications needs.'' However, 
the IAC further believes that providers instead of the FCC, state, 
local or tribal governments should have the primary responsibility to 
do consumer outreach on technology transitions. Thus, the IAC asserts 
that the FCC should ``require [ ] providers to inform consumers of 
their options well before actual transition occurs.'' For example, the 
IAC recommends that ``providers should have dedicated phone, Web site 
and email contacts for consumers to report issues, and to obtain 
information. The objective of such outreach should be to provide 
information and answer questions, rather than market new services to 
consumers.''
    80. We recognize that many providers already offer consumer 
education beyond providing mere written notice, and they already engage 
in community outreach as well. We see great value in providers forging 
closer relationships with communities, so that local officials can know 
and understand the likelihood that their residents will be able to 
summon help, or communicate the status of their welfare in an extended 
power outage. Community outreach can also help ensure the best possible 
outcome before disaster strikes (for example, by encouraging 
communities to maintain sufficient supplies of batteries and other UPS 
equipment).
    81. We also note that many communities have a robust telephone-
based alert capability to warn residents of emergencies in their area. 
For this reason, and for the great value in being able to receive 
incoming calls from emergency services personnel, providers of covered 
services should organize their outreach to subscribers pursuant to this 
Report and Order around the goal of sustaining continuous 
communications availability.
    82. In order to minimize cost and provide maximum flexibility, at 
this time, we encourage, but do not require, all providers to engage in 
the type of community outreach that would be required for a consumer 
education plan to truly be considered comprehensive.

D. Legal Authority

    83. Today we adopt rules to educate and empower consumers to take 
necessary steps to ensure that their ``home phone'' is capable of 
making 911 calls during a power outage. These rules are well-grounded 
in the ``broad public safety and 911 authority Congress has granted the 
FCC.'' Congress created the Commission, in part, ``for the purpose of 
promoting safety of life and property through the use of wire and radio 
communications.'' Congress specifically directed the Commission to 
``designate 911 as the universal emergency telephone number within the 
United States for reporting an emergency to appropriate authorities and 
requesting assistance,'' in legislation the purpose of which was to 
``encourage and facilitate the prompt deployment through the United 
States of a seamless, ubiquitous, and reliable end-to-end 
infrastructure for communications . . . to meet the Nation's public 
safety and other communications needs.'' The DC Circuit has also 
specifically upheld the Commission's extension to interconnected VoIP 
providers of the obligation ``already required of providers of 
traditional telephone service [to] transmit 911 calls to a local 
emergency authority.'' In 2008, Congress expressly confirmed that 
authority to adopt rules that ``promote and enhance public safety by 
facilitating the rapid deployment of IP-enabled 911 and E-911 
services.'' Congress has also charged the Commission with promulgating 
``regulations, technical standards, protocols, and procedures as are 
necessary to achieve reliable, interoperable communication that ensures 
access by individuals with disabilities to an Internet protocol-enabled 
emergency network, where achievable and technically feasible.''
    84. In this Report and Order, we exercise this broad and 
longstanding authority over 911 to impose requirements on residential 
facilities-based voice service providers in their provision of 911 
service. Our adoption of rules to enable the continued provision of 911 
service during power outages--a logical component of the larger duty to 
provide 911 service in general--lies clearly within this authority. The 
Commission's ``broad authority'' over 911 is grounded in multiple 
statutory provisions, as discussed above, that work together to promote 
universal access to 911. The rules we adopt today contribute to the 
implementation of this statutory scheme by facilitating the provision 
of 911 service under specific circumstances: when a customer is relying 
on a residential voice service that is not line-powered to place a 911 
call during a power outage. These rules will ensure that customers who 
may face such circumstances are aware of the limitations of their 
service and empowered with options for maintaining 911 access in the 
event of power loss, closing a potential gap in the provision of 911 
service. This Report and Order further advances the Commission's 
statutorily mandated responsibilities over 911 by promoting the 
availability of 911 service during times when reports of emergencies 
and requests for assistance may be particularly urgent, as well as by 
enabling persons with disabilities to maintain 911 access during such 
periods. The rules will thus help the Commission more effectively 
implement Congress's statutory goals of ubiquitous and reliable 911 
service for all Americans.
    85. Many commenters agree that our adoption of requirements to 
promote continuity of access to 911 during power outages is an 
appropriate--and necessary--exercise of our statutory public safety 
authority. Communications Workers of America states that ``[t]he 
Commission has the statutory obligation to promote public safety 
through our nation's communications networks'' and affirms our view 
that ``protecting public safety is one of the core principles that must 
guide [the Commission's] policies during the technology transition.'' 
The Alarm Industry Communications Committee (AICC) also contends that 
``[b]ackup power requirements should be adopted to protect consumers 
and to meet the Commission's mandate to promote the national defense 
and the safety of life and property'' under Title I. Similarly, the PA 
PUC ``believes that

[[Page 62484]]

the [FCC] has the statutory authority to address this issue and require 
that providers have sufficient backup power to maintain 911/E911 
connectivity during commercial power outages so long as the federal 
rules do not preempt more stringent state rules.'' AARP comments that 
``[w]ith regard to the NPRM's questions regarding whether the 
Commission has sufficient authority, the answer is an unequivocal 
yes.''
    86. Commenters also cite the importance of safeguarding 911 service 
in particular as a basis for our adoption of rules proposed in the 
NPRM. The Electronic Security Association notes that ``[n]ot only is 
standby power for communications important for life safety systems, but 
it is also critical in allowing the consumer to dial 911 during [power] 
outages.'' AARP similarly observes that ``[t]he issue of CPE backup 
power also overlaps the 911 reliability issue'' and suggests that 
backup power requirements would fill an existing gap because the 
Commission's 911 reliability rules ``do not address the reliability of 
access network components that are associated with the origination of 
911 calls.''
    87. We disagree with Corning's suggestion that the rules we adopt 
today contravene the holding of American Library. That court's 
statement that the Commission's ``general jurisdictional grant does not 
encompass the regulation of consumer electronics products . . . when 
those devices are not engaged in the process of radio or wire 
transmission'' is inapposite: the rules we adopt govern the provision 
of 911 service--which is either ``radio or wire transmission''--during 
power outages. These rules grant providers maximum flexibility to 
define the technical parameters of backup power solutions they offer to 
achieve that goal. In the absence of line powering, these solutions may 
incorporate any number of proprietary and competitively sourced inputs, 
including D-Cell, lead-acid or lithium-ion batteries, UPS, solar 
panels, power over Ethernet or other technologies, including 
combinations thereof, provided that the solution on ``offer'' can 
support the required continuity of 911 service during a power failure. 
This service-oriented requirement is thus far different from the 
``broadcast flag'' rule struck down in American Library. The court held 
that the latter rule impermissibly ``impose[d] regulations on devices 
that receive communications after those communications have occurred'' 
rather than on ``communications themselves.'' The requirements we adopt 
are obligations with respect to radio and wire communications. Indeed, 
the purpose of these requirements is to promote access to and awareness 
of solutions that enable 911 calls to be originated during a power 
outage. The requirements therefore cannot be said to apply ``after . . 
. communications have occurred.'' The fact that devices or equipment 
operating on backup power may remain in standby mode when not in use, 
or that our performance rule is defined in terms of ``standby time,'' 
does not change this analysis. Defining the rule in terms of ``standby 
time'' is simply a means of specifying the period of time in which the 
rule requires 911 service be provided--e.g., during the first 8 hours 
of an outage. Backup power solutions offered under our rules are not 
required to meet any performance standards that apply while a device is 
in standby mode, except that the solution must make 911 calling 
``available'' throughout the standby period.
    88. For similar reasons, we find unavailing AT&T's comment that 
``[b]ecause the Commission has deregulated CPE, it has disclaimed any 
authority to impose CPE backup power requirements.'' The rules we adopt 
today do not apply to CPE or regulate CPE. Rather, those rules govern 
the obligations of service providers to provide access to 911 service 
during a commercial power outage in the absence of line powering. While 
solutions offered under our flexible performance rule may encompass--
solely at such providers' option--the backup of some devices or 
equipment that might be classified as deregulated CPE, that does not 
mean that our rules cannot encompass such equipment when powering such 
equipment (which is located on a customer's premises) is part of the 
solution chosen by the service provider. As discussed above, there is 
no general requirement to provide backup power for all equipment that 
might be located at the customer's premises. Rather, the requirement is 
that, in lieu of line powering provided as a part of traditional POTS 
service, a covered service provider must offer a backup power solution 
that provides the customer with 911 access during a commercial power 
outage.
    89. First Amendment. The disclosure obligations we adopt today are 
permissible under the First Amendment of the U.S. Constitution. No 
commenter asserts otherwise. In general, government regulation of 
commercial speech will be found compatible with the First Amendment if 
it meets the criteria laid out in Central Hudson: (1) There is a 
substantial government interest; (2) the regulation directly advances 
the substantial government interest; and (3) the proposed regulation is 
not more extensive than necessary to serve that interest. As we have 
noted, the government has a substantial interest, enshrined in Section 
1 of the Communications Act, in protecting the safety of the public 
through the use of wire and radio communications. The Commission has 
also long observed that ``the government has a substantial interest in 
ensuring that consumers are able to make intelligent and well-informed 
commercial decisions in an increasingly competitive marketplace.'' The 
disclosures here directly advance that government interest by warning 
consumers of the potential loss of access to 911 during commercial 
power failures and informing consumers of backup power options to 
maintain continuity of such communications. Like the ``anti-cramming'' 
rules the Commission adopted in 2012, we conclude that the disclosure 
requirements adopted here withstand Constitutional scrutiny, in that 
they advance the substantial government interests of protecting public 
safety and ensuring that consumers are able to make informed choices 
about uninterrupted access to 911 through networks that lack line power 
without requiring any more extensive disclosure than necessary to serve 
those interests.
    90. Moreover, under the standard set forth in Zauderer, compelled 
disclosure of ``purely factual and uncontroversial'' information is 
permissible if ``reasonably related to the State's interest in 
preventing deception of consumers.'' Courts have also recognized that 
other government interests beyond preventing consumer deception--here, 
the public safety interest in uninterrupted access to 911--may be 
invoked to sustain a disclosure mandate under Zauderer. The information 
about backup power disclosed to subscribers under our rules consists of 
factual information regarding the limitations of networks not equipped 
with line powering, and it is not disputed that this limitation exists 
or affects the provision of 911 service during power outages. This 
information plays an important role in preventing consumer confusion by 
setting clear and consistent expectations about subscribers' ability to 
reach 911 in an emergency. It also allows consumers to make informed 
decisions about the amount and type of backup power they purchase, 
further reducing consumer confusion and preserving public trust in the 
911 system as a means of reaching emergency assistance.

E. Sunset Date

    91. The rules we adopt today ensure that consumers are adequately 
informed

[[Page 62485]]

about the role of backup power in the technology transitions and that 
they have the ability to purchase backup power for their service. 
Clearly delineating the respective roles of the provider and the 
consumer during this period of transition minimizes the potential for 
confusion or for unforeseen lapses in 911 service availability during 
power outages, and creates baseline expectations. Over time, we expect 
that both the marketplace and consumer expectations will evolve along 
with advances in technology so that adequate backup power solutions and 
availability will become commonplace. In light of this prediction, we 
will sunset the requirements adopted in this Report and Order on 
September 1, 2025. We anticipate that this ten-year period will allow 
sufficient time for a ``cultural and educational shift'' in consumer 
expectations, along with marketplace and technological development. 
Consumers will then be empowered to assume primary responsibility over 
their backup power, similar to the responsibility consumers now bear 
for mobile devices they may rely on for 911 access during an emergency. 
If, however, we determine after ten years that the marketplace and 
expectations have not evolved in the predicted manner we may take 
appropriate action designed to extend and/or modify the requirements 
contained herein.

IV. Procedural Matters

A. Final Regulatory Flexibility Act Analysis

    92. Pursuant to the Regulatory Flexibility Act of 1980, as amended 
(RFA), an Initial Regulatory Flexibility Analysis (IRFA) was included 
in the NPRM in PS Docket No. 14-174. The Commission sought written 
comment on the proposals in this docket, including comment on the IRFA. 
This Final Regulatory Flexibility Analysis conforms to the RFA.

B. Paperwork Reduction Act Analysis

    93. This document contains new information collection requirements 
subject to the Paperwork Reduction Act of 1995 (PRA), Public Law 104-
13. It will be submitted to the Office of Management and Budget (OMB) 
for review under Section 3507(d) of the PRA. OMB, the general public, 
and other Federal agencies are invited to comment on the new or 
modified information collection requirements adopted in this Report and 
Order.
    94. In addition, we note that pursuant to the Small Business 
Paperwork Relief Act of 2002, Public Law 107-198, see 44 U.S.C. 
3506(c)(4), we previously sought comment on how the Commission might 
further reduce the information collection burden for small business 
concerns with fewer than 25 employees, in the FRFA in Appendix B of the 
full Report and Order, paragraphs 19-23. In this document, we have 
assessed the effects of the new rules adopted herein on small business 
concerns and find that the rules adopted here minimize the information 
collection burden on such entities.

C. Congressional Review Act

    95. The Commission will send a copy of this Report and Order to 
Congress and the Government Accountability Office pursuant to the 
Congressional Review Act, see 5 U.S.C. 801(a)(1)(A).

D. Implementation

    96. In this Report and Order, we require that providers of non-
line-powered, facilities-based, fixed, voice residential service, 
including fixed wireless service intended as POTS replacement, offer 
new subscribers at the point of sale, at the subscriber's option and 
expense, a backup power solution that provides 911 access for 8 hours 
during a commercial power loss. Except as noted below, this provision 
of our rules will become effective 120 days after publication of this 
Report and Order in the Federal Register. Within three years of the 
foregoing effective date of the 8-hour obligation, providers must also 
offer a 24-hour backup power solution. We seek to ensure that the 
measures we adopt are timely implemented so that consumers can begin to 
realize the benefits as soon as feasible, while allowing a reasonable 
time for providers to prepare. Except as noted below, the disclosure 
provisions of the rules will become effective 120 days after the 
Commission notifies the public that approval has been received from the 
Office of Management and Budget.
    97. We delay the effective date of two of the rules we adopt herein 
for providers that have fewer than 100,000 domestic retail subscriber 
lines for an additional 180 days to afford ample time to modify their 
current practices as necessary to come into compliance with our rules. 
The obligation of these providers to offer 8 hours of backup power will 
become effective 300 days after publication of this Report and Order in 
the Federal Register. The disclosure obligations for these providers 
will become effective 300 days after the Commission notifies the public 
that approval has been received from the Office of Management and 
Budget. The obligation of such providers to offer 24 hours of backup 
power will become effective on the same extended three-year schedule as 
for all other providers.
    98. Such an accommodation addresses the concerns of some commenters 
that adopting mandatory backup power obligations for all customers will 
be particularly burdensome for providers with a small number of lines, 
and is in line with Commission precedent. While we do not think that 
the more limited backup power obligations that we adopt herein will be 
overly burdensome for any provider, we agree with ACA's suggestion that 
providers with a small number of lines are more resource-constrained 
and would benefit from additional time to obtain any necessary 
equipment and prepare materials and processes for disclosure, and 
prepare materials and processes for disclosure. We note that ACA 
asserts that smaller operators should be defined as those with fewer 
than 100,000 voice service customers, and cites the Rural Call 
Completion Report and Order in support of its position. However, we 
observe that the Rural Call Completion Report and Order did not define 
smaller providers in terms of the number of customers, but subscriber 
lines. We find that providing an accommodation to providers on the 
basis of subscriber lines, rather than subscribers, is reasonably 
designed to minimize burdens on smaller providers without compromising 
the effectiveness of the rules. The number of lines better reflects a 
provider's size and share of traffic than does the number of 
subscribers. We find that limited, additional time to comply with these 
aspects of our rules strikes the right balance between the particular 
circumstances and resource constraints of providers that serve fewer 
customers and ensuring that consumers have backup power options 
available in a timely manner.
    99. For this purpose, we rely on the standard adopted in the 2013 
Rural Call Completion proceeding. In the Rural Call Completion Report 
and Order, the Commission applied the requirements to providers of 
long-distance voice service who make the initial long-distance call 
path choice for more than 100,000 domestic retail subscriber lines. 
Accordingly, in this proceeding, in an effort to ensure a reasonable 
burden of compliance, we give providers with fewer than 100,000 
domestic retail subscriber lines an additional 180 days to comply with 
the obligations adopted in this Report and Order

V. Ordering Clauses

    100. Accordingly, it is ordered, pursuant to sections 1, 4(i), and

[[Page 62486]]

251(e)(3) of the Communications Act of 1934, as amended, 47 U.S.C. 151, 
154(i), 251(e)(3); section 101 of the NET 911 Improvement Act of 2008, 
Public Law 110-283, 47 U.S.C. 615a-1; and section 106 of the Twenty-
First Century Communications and Video Accessibility Act of 2010, 
Public Law 111-260, 47 U.S.C. 615c, that this Report and Order in PS 
Docket No. 14-174 is adopted.
    101. It is further ordered that part 12 of the Commission's Rules, 
47 CFR part 12, is hereby amended as set forth in Appendix C of the 
full Report and Order.
    102. It is further ordered that the requirements of this Report and 
Order will become effective as specified in paragraphs 96-99 herein.
    103. It is further ordered that, pursuant to Section 801(a)(1)(A) 
of the Congressional Review Act, the Commission shall send a copy of 
this Report and Order to Congress and to the Government Accountability 
Office.
    104. It is further ordered that the Commission's Consumer and 
Governmental Affairs Bureau, Reference Information Center, shall send a 
copy of this Report and Order, including the Final Regulatory 
Flexibility Analysis, to the Chief Counsel for Advocacy of the Small 
Business Administration.

List of Subjects 47 CFR Part 12

    Communications equipment, Security measures.

    Federal Communications Commission.
Marlene H. Dortch,
Secretary.

Final Rules

    For the reasons set forth in the preamble, the Federal 
Communications Commission amends 47 CFR part 12 as follows:

PART 12--RESILIENCY, REDUNDANCY AND RELIABILITY OF COMMUNICATIONS

0
1. The authority citation for part 12 is revised to read as follows:

    Authority:  47 U.S.C. 151, 154(i), 154(j), 154(o), 155(c), 218, 
219, 251(e)(3), 301, 303(g), 303(j), 303(r), 332, 403, 621(b)(3), 
621(d); 47 U.S.C. 615a-1; and 47 U.S.C. 615c, unless otherwise 
noted.

0
2. Section 12.5 is added to read as follows:


Sec.  12.5  Backup power obligations.

    (a) Covered service. For purposes of this section, a Covered 
Service is any facilities-based, fixed voice service offered as 
residential service, including fixed applications of wireless service 
offered as a residential service, that is not line powered.
    (b) Obligations of providers of a Covered Service to offer backup 
power. Providers of a Covered Service shall, at the point of sale for a 
Covered Service, offer subscribers the option to purchase backup power 
for the Covered Service as follows:
    (1) Eight hours. Providers shall offer for sale at least one option 
with a minimum of eight hours of standby backup power.
    (2) Twenty-four hours. By February 13, 2019, providers of a Covered 
Service shall offer for sale also at least one option that provides a 
minimum of twenty-four hours of standby backup power.
    (3) At the provider's discretion, the options in paragraphs (b)(1) 
and (2) of this section may be either:
    (i) A complete solution including battery or other power source; or
    (ii) Installation by the provider of a component that accepts or 
enables the use of a battery or other backup power source that the 
subscriber obtains separately. If the provider does not offer a 
complete solution, the provider shall install a compatible battery or 
other power source if the subscriber makes it available at the time of 
installation and so requests. After service has been initiated, the 
provider may, but is not required to, offer to sell any such options 
directly to subscribers.
    (c) Backup power required. The backup power offered for purchase 
under paragraph (b) of this section must include power for all 
provider-furnished equipment and devices installed and operated on the 
customer premises that must remain powered in order for the service to 
provide 911 access.
    (d) Subscriber disclosure. (1) The provider of a Covered Service 
shall disclose to each new subscriber at the point of sale and to all 
subscribers to a Covered Service annually thereafter:
    (i) Capability of the service to accept backup power, and if so, 
the availability of at least one backup power solution available 
directly from the provider, or after the initiation of service, 
available from either the provider or a third party. After the 
obligation to offer for purchase a solution for twenty-four hours of 
standby backup power becomes effective, providers must disclose this 
information also for the twenty-four-hour solution;
    (ii) Service limitations with and without backup power;
    (iii) Purchase and replacement information, including cost;
    (iv) Expected backup power duration;
    (v) Proper usage and storage conditions, including the impact on 
duration of failing to adhere to proper usage and storage;
    (vi) Subscriber backup power self-testing and -monitoring 
instructions; and
    (vii) Backup power warranty details, if any.
    (2) Disclosure reasonably calculated to reach each subscriber. A 
provider of a Covered Service shall make disclosures required by this 
rule in a manner reasonably calculated to reach individual subscribers, 
with due consideration for subscriber preferences. Information posted 
on a provider's public Web site and/or within a subscriber portal 
accessed by logging through the provider's Web site are not sufficient 
to comply with these requirements.
    (3) The disclosures required under this paragraph are in addition 
to, but may be combined with, any disclosures required under Sec.  
9.5(e) of this chapter.
    (e) Obligation with respect to existing subscribers. Providers are 
not obligated to offer for sale backup power options to or retrofit 
equipment for those who are subscribers as of the effective date listed 
in paragraph (f) of this section for the obligations in paragraph 
(b)(1) of this section, but shall provide such subscribers with the 
annual disclosures required by paragraph (d) of this section.
    (f) Effective dates of obligations. (1) Except as noted in 
paragraphs (b)(2) and (f)(2) of this section, the obligations under 
paragraph (b) of this section are effective February 16, 2016, and the 
obligations under paragraph (d) of this section are effective 120 days 
after the Commission announces approval from the Office of Management 
and Budget.
    (2) For a provider of a Covered Service that (together with any 
entities under common control with such provider) has fewer than 
100,000 domestic retail subscriber lines, the obligations in paragraph 
(b)(1) of this section are effective August 11, 2016, the obligations 
in paragraph (b)(2) of this section are effective as prescribed 
therein, and the obligations under paragraph (d) of this section are 
effective 300 days after the Commission announces approval from the 
Office of Management and Budget.
    (g) Sunset date. The requirements of this section shall no longer 
be in effect as of September 1, 2025.

[FR Doc. 2015-24845 Filed 10-15-15; 8:45 am]
BILLING CODE 6712-01-P



                                                  62470             Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations

                                                    Authority: 46 U.S.C. 3306, 3703; 49 CFR               PART 180—LIFESAVING EQUIPMENT                         SUMMARY:    In this document the Federal
                                                  1.45, 1.46; Section 159.001–9 also issued               AND ARRANGEMENTS                                      Communications Commission (FCC or
                                                  under the authority of 44 U.S.C. 3507.                                                                        Commission) adopts rules to promote
                                                                                                          ■ 26. The authority citation for part 180             continued access to 911 during
                                                  ■ 20. Revise § 159.005–13(a)(4) to read                 continues to read as follows:                         commercial power outages by requiring
                                                  as follows:                                                                                                   providers of facilities-based, fixed
                                                                                                            Authority: 46 U.S.C. 2104, 3306; E.O.
                                                  § 159.005–13     Equipment or material:                 12234, 45 FR 58801, 3 CFR, 1980 Comp., p.             residential voice services, which are not
                                                  Approval.                                               277; Department of Homeland Security                  line powered, to offer subscribers the
                                                                                                          Delegation No. 0170.1.                                option to purchase a backup solution
                                                     (a) * * *                                                                                                  capable of 8 hours of standby power,
                                                                                                          § 180.68    [Amended]
                                                     (4) Publishes a record of the approval                                                                     and within three years, an additional
                                                  in the Coast Guard Maritime                             ■  27. Amend § 180.68 as follows:                     solution capable of 24 hours of standby
                                                  Information Exchange (CGMIX). A                         ■  a. In paragraph (a)(1), following the              power. The item also promotes
                                                  listing of current and formerly approved                text ‘‘specified by the Commandant’’                  consumer education and choice by
                                                  equipment and materials may be found                    add the text ‘‘, including, but not                   requiring providers of covered services
                                                  on the Internet at: http://cgmix.uscg.mil/              limited to, approval series 160.121’’;                to disclose to subscribers the following
                                                  equipment.                                              ■ b. In paragraph (c)(2)(ii), after the text          information: availability of backup
                                                                                                          ‘‘specified by the Commandant’’, add                  power sources; service limitations with
                                                  *      *    *     *     *                               the text ‘‘, including, but not limited to,           and without backup power during a
                                                  PART 162—ENGINEERING                                    approval series 160.121’’; and                        power outage; purchase and
                                                                                                          ■ c. In paragraph (c)(2)(iii), after the text
                                                  EQUIPMENT                                                                                                     replacement options; expected backup
                                                                                                          ‘‘or other standard specified by the                  power duration;) proper usage and
                                                                                                          Commandant’’, add the text ‘‘,                        storage conditions for the backup power
                                                  ■ 21. The authority citation for part 162               including, but not limited to, approval
                                                  continues to read as follows:                                                                                 source; subscriber backup power self-
                                                                                                          series 160.122’’.                                     testing and monitoring instructions; and
                                                    Authority: 33 U.S.C. 1321(j), 1903; 46
                                                                                                          § 180.70    [Amended]                                 backup power warranty details, if any.
                                                  U.S.C. 3306, 3703, 4104, 4302; E.O. 12234, 45
                                                  FR 58801, 3 CFR, 1980 Comp., p. 277; E.O.                                                                     DATES: Effective dates: This rule is
                                                                                                          ■ 28. Amend § 180.70 as follows:
                                                  12777, 56 FR 54757, 3 CFR, 1991 Comp., p.               ■ a. In paragraph (b)(1), following the               effective October 16, 2015, except for
                                                  351; Department of Homeland Security                    text ‘‘specified by the Commandant’’                  § 12.5(b)(1), which is effective February
                                                  Delegation No. 0170.1.                                  add the text ‘‘, including, but not                   16, 2016; § 12.5(b)(2), which is effective
                                                                                                          limited to, approval series 160.150’’;                February 13, 2019; and § 12.5(d), which
                                                  § 162.060–10     [Amended]                                                                                    is effective 120 days after date the
                                                                                                          and
                                                                                                          ■ b. In paragraph (d)(1), following the               Commission announces approval from
                                                  ■  22. § 162.060—10(b)(1), after the text                                                                     the Office of Management and Budget.
                                                  ‘‘practicable or applicable, a                          text ‘‘specified by the Commandant’’
                                                                                                          add the text ‘‘, including, but not                   The Commission will announce the
                                                  manufacturer’’, add the text ‘‘or                                                                             effective date for § 12.5(d) with a
                                                  independent laboratory’’.                               limited to, approval series 160.110’’.
                                                                                                                                                                document in the Federal Register.
                                                  § 162.060–42     [Amended]                              § 180.71    [Amended]                                    Compliance dates: Section 12.5(b)(1),
                                                                                                          ■  29. In § 180.71(c), following the text             for providers with fewer than 100,000
                                                  ■ 23. In § 162.060–42(a)(2) following the                                                                     domestic retail subscriber lines on
                                                                                                          ‘‘specified by the Commandant’’ add the
                                                  text ‘‘requirements in paragraph’’,                                                                           August 11, 2016; and § 12.5(d), for
                                                                                                          text ‘‘, including, but not limited to,
                                                  remove the text ‘‘(b)’’ and add, in its                                                                       providers with fewer than 100,000
                                                                                                          approval series 160.155 or 160.176’’.
                                                  place, the text ‘‘(a)(1)’’.                                                                                   domestic retail subscriber lines 300 days
                                                                                                          § 180.75    [Amended]                                 after date the Commission announces
                                                  PART 175—GENERAL PROVISIONS                                                                                   approval from the Office of Management
                                                                                                          ■  30. In § 180.75(a), following the text
                                                                                                          ‘‘specified by the Commandant’’ add the               and Budget. The Commission will
                                                  ■ 24. The authority citation for part 175               text ‘‘, including, but not limited to,               announce the compliance date for
                                                  continues to read as follows:                           approval series 160.112’’.                            § 12.5(d) with a document in the
                                                    Authority: 46 U.S.C. 2103, 3205, 3306,                                                                      Federal Register.
                                                  3703; Pub. L. 103–206, 107 Stat. 2439; 49               Katia Kroutil,
                                                                                                                                                                FOR FURTHER INFORMATION CONTACT:
                                                  U.S.C. App. 1804; Department of Homeland                Chief, Office of Regulations and                      Public Safety and Homeland Security
                                                  Security Delegation No. 0170.1; § 175.900               Administrative Law, U.S. Coast Guard.                 Bureau, Linda M. Pintro, at (202) 418–
                                                  also issued under 44 U.S.C. 3507.                       [FR Doc. 2015–26119 Filed 10–15–15; 8:45 am]          7490 or linda.pintro@fcc.gov. For
                                                  § 175.400   [Amended]
                                                                                                          BILLING CODE 9110–04––P                               additional information concerning the
                                                                                                                                                                Paperwork Reduction Act information
                                                  ■  25. In § 175.400 in the definition of                                                                      collection requirements contained in
                                                  ‘‘Approval series’’ following the text ‘‘A              FEDERAL COMMUNICATIONS                                this document, contact Nicole Ongele at
                                                  listing of’’, remove the text ‘‘approved                COMMISSION                                            (202) 418–2991 or send an email to
                                                  equipment, including all of the approval                                                                      PRA@fcc.gov.
                                                  series, is published periodically by the                47 CFR Part 12                                        SUPPLEMENTARY INFORMATION: This is a
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  Coast Guard in Equipment Lists                          [PS Docket No. 14–174; FCC 15–98]                     summary of the Commission’s Report
                                                  (COMDTINST M16714.3 series),                                                                                  and Order (R&O) in PS Docket No. 14–
                                                  available from the Superintendent of                    Ensuring Continuity of 911                            174, released on August 7, 2015. The
                                                  Documents.’’ and add, in its place, the                 Communications                                        full text of this document is available for
                                                  text ‘‘current and formerly approved                    AGENCY:  Federal Communications                       public inspection during regular
                                                  equipment and materials may be found                    Commission.                                           business hours in the FCC Reference
                                                  on the Internet at: http://cgmix.uscg.mil/                                                                    Center, Room CY–A257, 445 12th Street
                                                                                                          ACTION: Final rule.
                                                  equipment.’’.                                                                                                 SW., Washington, DC 20554, or online


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00032   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                                    Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations                                        62471

                                                  at https://www.fcc.gov/document/                        a commercial power outage, which will                 Internet Protocol (VoIP), that are not
                                                  ensuring-continuity-911-                                enable calls to 911. In addition, we                  line-powered by the provider.’’ The
                                                  communications-report-and-order.                        require these providers to offer, within              Commission proposed that ‘‘providers
                                                                                                          three years of the effective date of the              should assume responsibility for
                                                  I. Introduction
                                                                                                          eight hour obligation, at least one option            provisioning backup power that is
                                                     1. In this Report and Order, the                     that provides a minimum of 24 hours of                capable of powering network equipment
                                                  Federal Communications Commission                       911 service.                                          at the subscriber premises during the
                                                  (FCC or Commission) takes important                        4. Additionally, we require all                    first 8 hours of an outage’’ but sought
                                                  steps to ensure continued public                        providers of facilities-based, fixed, voice           comment on what should happen in the
                                                  confidence in the availability of 911                   residential service that is not line-                 event of an extended commercial power
                                                  service by providers of facilities-based                powered to notify subscribers, at the                 outage. The Commission also
                                                  fixed, residential voice services in the                point of sale and annually thereafter                 recognized the importance of outreach
                                                  event of power outages.                                 until September 1, 2025, of the                       to consumers on the effect of
                                                     2. For over one hundred years,                       availability of backup power purchasing               commercial power outages to their
                                                  consumers have trusted that they will                   options, use conditions and effect on                 communications services and sought
                                                  hear a dial tone in an emergency even                   power source effectiveness, power                     comment on effective consumer
                                                  when the power is out. Now, as                          source duration and service limitations,              notification.
                                                  networks transition away from copper-                   testing and monitoring, and replacement
                                                  based, line-powered technology, many                    details. Additionally, we direct the                  III. Discussion
                                                  are aware of the innovation this                        PSHSB to work with CGB to develop,                       8. Communications services play an
                                                  transition has spurred in emergency                     prior to the implementation date of                   essential role in the delivery of public
                                                  services, but many consumers, remain                    these rules for smaller providers, as                 safety services, particularly 911, and
                                                  unaware that they must take action to                   herein defined, non-binding guidance                  that role is especially prominent during
                                                  ensure that dial tone’s availability in the             with respect to the required                          emergencies that lead to power outages.
                                                  event of a commercial power outage.                     notifications to subscribers. We limit                In the NPRM in this proceeding, we
                                                  The Commission’s own consumer                           these obligations to ten years as that                sought comment on the means to ensure
                                                  complaints portal reveals frustration                   should be enough time to ensure that                  that consumers have access to
                                                  over the failure of service providers to                overall consumer expectations regarding               minimally essential communications,
                                                  adequately inform subscribers about                     residential voice communications are                  including 911 calls and telephone-based
                                                  how to self-provision backup power in                   aligned with ongoing technology                       alerts and warnings, during a loss of
                                                  order to access 911 services in a power                 transitions.                                          commercial power. In this Report &
                                                  outage. This period of transition has the                  5. Finally, we encourage covered                   Order, we take steps toward that goal by
                                                  potential to create a widespread public                 providers to conduct tailored outreach                establishing clear lines of responsibility
                                                  safety issue if unaddressed.                            to state and local disaster preparedness              for ensuring continued 911 service
                                                     3. Accordingly, we create new section                entities to ensure that consumables and               during such commercial power outages
                                                  12.5 of our rules to place limited backup               rechargeable elements associated with                 and by: (1) Establishing a phased-in
                                                  power obligations on providers of                       backup power technical solutions                      obligation for the offering of backup
                                                  facilities-based fixed, residential voice               deployed in their area are well                       power solutions to consumers; and (2)
                                                  services that are not line-powered to                   understood so that communities may                    requiring covered providers to engage in
                                                  ensure that such service providers meet                 prioritize restocking and/or recharging               disclosure of the risks associated with
                                                  their obligation to provide access to 911               in response to extended power outages.                these outages and steps consumers may
                                                  service during a power outage, and to                                                                         take to address those risks.
                                                  provide clarity for the role of consumers               II. Background                                           9. As discussed in greater detail
                                                  and their communities should they elect                    6. Our Nation’s communications                     below, we require that providers of non-
                                                  not to purchase backup power. To be                     infrastructure and the services available             line-powered facilities-based, fixed,
                                                  sure, many providers of residential                     to consumers are undergoing technology                voice residential service, including
                                                  voice communications already offer                      transitions. The Commission has                       fixed wireless service intended as POTS
                                                  some level of backup power to                           recognized that these transitions will                replacement, offer, at the subscriber’s
                                                  consumers. However, the vital                           bring enormous benefits to consumers,                 option and expense, a backup power
                                                  importance of the continuity of 911                     but also that they raise important                    solution that provides 911 access for 8
                                                  communications, and the Commission’s                    questions about how to appropriately                  hours in the event of commercial power
                                                  duty to promote ‘‘safety of life and                    carry out our obligations set forth in the            loss. Within three years, providers must
                                                  property through the use of wire and                    Communications Act, including                         also offer a 24-hour backup power
                                                  radio communication,’’ favor action to                  promoting public safety and national                  solution. We also require covered
                                                  ensure that all consumers understand                    security, and protecting consumers.                   providers to explain at point of sale how
                                                  the risks associated with non-line-                        7. To further these statutory                      the subscriber may extend the provision
                                                  powered 911 service, know how to                        objectives, in November 2014, the                     of backup power during longer, multi-
                                                  protect themselves from such risks, and                 Commission adopted a Notice of                        day outages through devices such as
                                                  have a meaningful opportunity to do so.                 Proposed Rulemaking (NPRM) seeking                    solar chargers, car chargers or mobile
                                                  Specifically, we require all providers of               to ensure reliable backup power for                   charging stations and to direct
                                                  facilities-based, fixed, voice residential              consumers . . . Specifically, the                     customers to sources of such equipment.
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  service that is not line powered—                       Commission sought comment on the                      No provider will be required to install
                                                  including those fixed applications of                   ‘‘communications services we should                   backup power unless requested by, and
                                                  wireless service offered as a ‘‘plain old               include within the scope of any backup                at the expense of, the subscriber, and no
                                                  telephone service’’ (POTS)                              power requirements we may adopt’’ and                 subscriber will be forced to purchase
                                                  replacement—to offer new subscribers                    ‘‘propose[d] that any potential                       unwanted equipment. Rather, our rules
                                                  the option to purchase a backup                         requirements would apply to facilities-               will ensure that subscribers who so elect
                                                  solution that provides consumers with                   based, fixed voice residential services,              can obtain backup power simply and
                                                  at least 8 hours of standby power during                such as interconnected Voice over                     conveniently when activating a covered


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00033   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                  62472             Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations

                                                  service. In addition, in order to ensure                model for VoIP services in the United                 with the National Association of State
                                                  that consumers are adequately informed                  States places the Analog Telephone                    Utility Consumer Advocates (NASUCA)
                                                  in determining whether to make this                     Adapter (ATA) in a network device that                that it is unlikely that our concerns
                                                  election, we adopt disclosure                           is installed inside of the living unit.               would be adequately addressed without
                                                  requirements designed to ensure that                    This ATA function is commonly used in                 the adoption of regulatory requirements.
                                                  subscribers are aware of the backup                     hybrid fiber coax cable networks that                 We are supported in our conclusion by
                                                  power options available for their                       use embedded multimedia terminal                      commenters such as the Pennsylvania
                                                  service, including installation and other               adapters (eMTA), twisted pair telephone               Public Utility Commission (PA PUC),
                                                  usage instructions. We also encourage,                  (DSL) networks and increasingly Fiber-                which urges the Commission to adopt
                                                  but do not require, providers to conduct                to-the-Home (FTTH) Optical Network                    baseline requirements for ensuring
                                                  tailored outreach to state and local                    Units (ONUs), also called Optical                     continuity of power during commercial
                                                  disaster preparedness entities to ensure                Network Terminals (ONTs). Voice                       power outages applicable to providers of
                                                  that consumables associated with their                  codecs support voice, fax, and other                  interconnected VoIP-based services that
                                                  backup power technical solutions are                    legacy TDM services over IP, and their                do not provide line power at their
                                                  well understood so that communities                     function is sometimes referred to as the              central office, but rather rely on backup
                                                  may prioritize restocking and/or                        ATA. Network devices with the                         power.
                                                  recharging in support of extended                       embedded ATA function are powered                        14. Specifically, we find that public
                                                  power outages.                                          directly by AC power or through a UPS                 safety officers, first responders and
                                                                                                          that converts AC to DC power.                         other public officials have a need to
                                                  A. Need for Line Powering or an                                                                               communicate with citizens through
                                                                                                          According to the CSRIC report, in other
                                                  Alternative Source of Power During                                                                            whatever means possible, and 911
                                                                                                          use cases, the ATA function is being
                                                  Outages                                                                                                       service plays an important role in this
                                                                                                          placed in consumer owned devices,
                                                     10. In the NPRM, we noted that, in the               creating more challenges for battery                  regard. Indeed, consumer advocates and
                                                  past, consumers have relied upon                        backup of VoIP services.                              911 providers emphasize the need to
                                                  service providers for backup power for                     12. Given that consumers are                       adopt robust backup power
                                                  their residential landline phones. That                 increasingly relying on new types of                  requirements to ensure public safety.
                                                  is, equipment on the subscriber                         service for residential voice                         For example, Public Knowledge notes
                                                  premises of those still served by copper                communications, and that in many areas                that right now consumers of traditional
                                                  networks continued to work during                       traditional line-powered 911 service is               landline service are ‘‘guaranteed backup
                                                  commercial power outages as long as                     now, or is soon likely to be, no longer               power during power outages’’ and
                                                  the handset or other subscriber premises                be available, the NPRM asked whether                  ‘‘many consumers keep their landline
                                                  equipment did not need to be plugged                    it was reasonable for providers to                    service specifically to retain this
                                                  into an electrical outlet to function. We               continue to bear primary responsibility               feature.’’ Public Knowledge further
                                                  proposed and sought comment on steps                    for backup power, and if so, to what                  states that, ‘‘[w]ith the advent of
                                                  we could take to safeguard continuity of                extent. We also stated that it was our                cordless phones the only time the
                                                  communications throughout a power                       intention to: (1) Establish clear                     consumer worried about backup
                                                  outage across networks that provide                     expectations for both providers and                   batteries was for their cordless phone or
                                                  residential fixed voice service used to                 subscribers as to their responsibilities              they simply retained a traditional phone
                                                  dial 911, including the possible                        throughout the course of an outage; and               to use during emergencies.’’
                                                  adoption of new rules. Based on the                     (2) minimize potential for lapses in                     15. NASUCA and many other
                                                  record of this proceeding, we conclude                  service because of subscriber confusion               commenters agree that Commission
                                                  that in order to ensure the availability                or undue reliance on the provider with                action will help preserve consumers’
                                                  of 911 service in the provision of                      respect to backup power for equipment                 ability to access 911 service.
                                                  facilities-based, fixed, voice residential              at the subscriber premises. The NPRM                  Specifically, NASUCA ‘‘fully supports
                                                  services during power outages, we must                  communicated a desire to adopt                        the Commission’s determination to
                                                  adopt rules to require, among other                     baseline requirements for ensuring                    ensure reliable backup power for
                                                  things, either line powering or (at the                 continuity of power for devices at the                consumers of IP-based voice and data
                                                  subscriber’s option and expense) an                     subscriber location during commercial                 services across networks that provide
                                                  alternative means of maintaining 911                    power outages. We acknowledged that                   residential, fixed service that substitutes
                                                  access during commercial power                          backup power is not solely a copper                   for and improves upon the kind of
                                                  outages.                                                retirement issue. Thus, we intended to                traditional telephony used by people to
                                                     11. During a power outage, many                      address backup power at the subscriber                dial 911.’’ According to NASUCA,
                                                  subscribers must rely on a battery back-                premises also for those who have                      ‘‘[b]ackup power requirements will help
                                                  up, or an uninterruptible power supply                  already migrated or been transitioned to              ensure that service will continue in a
                                                  (UPS), to ensure that their service will                an IP-based network.                                  power outage.’’ The National
                                                  continue to operate. That is, many                         13. We adopt the rules that follow                 Association of State 911 Administrators
                                                  subscribers cannot rely on the                          because we believe that it is essential for           (NASNA) similarly observes that ‘‘[t]he
                                                  availability of continuous power that is                all consumers to be able to access 911                transition from legacy copper loops to
                                                  sufficient to provide basic telephony                   emergency services during commercial                  other network technologies means that
                                                  indefinitely in their homes. Specifically,              power outages, especially those outages               an important safety net—Central Office
                                                  modern fiber and cable networks do not                  caused by catastrophic storms or other                provisioning of line power to the
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  provide power to operate necessary                      unpredictable events, and to understand               subscriber premises—will disappear
                                                  equipment at the subscriber location,                   how to do so. Ensuring the ability to                 unless the Commission takes action to
                                                  including network devices (e.g., cable                  maintain such service is a vital part of              mitigate it.’’ The Communications
                                                  modems, optical network terminals) and                  our statutory mandate to preserve                     Workers of America (CWA) asserts that
                                                  telephones. The deployment of a VoIP                    reliable 911 service, and more generally,             CWA, consumer organizations, state
                                                  service requires that analog voice                      our statutory goal to promote ‘‘safety of             regulatory commissions, and public
                                                  signals be converted to IP, using a voice               life and property through the use of wire             safety associations ‘‘support
                                                  codec. The most commonly deployed                       and radio communication.’’ We agree                   Commission proposals to facilitate the


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00034   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                                    Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations                                         62473

                                                  transition to high-speed broadband                      that come with line-powering                          rules we adopt today will preserve
                                                  networks, protect consumers and                         capabilities.                                         safety of life by enabling the use of VoIP
                                                  promote public safety by upgrading                         18. We reiterate our observation in the            and other non-line powered services to
                                                  Commission rules regarding back-up                      NPRM that adequate and reliable access                contact 911 in a commercial power
                                                  power, network changes, and service                     to 911 services and functionalities                   outage, which is what millions of
                                                  discontinuance.’’                                       during emergency conditions is a long-                Americans have come to expect from
                                                     16. We agree that this period of                     standing public policy objective.                     their ‘‘home phone.’’ We expect that
                                                  transition gives rise to the need for                   Although we recognize that we are in                  providing the option for at least 8 hours
                                                  ‘‘upgrading Commission rules.’’ We                      the midst of sweeping change, we                      of backup power would ensure the
                                                  observe that the consumers most at risk                 believe that voice communications                     ability to make many life-saving 911
                                                  of losing continuity of 911                             continue to play an essential and central             calls during commercial power outages.
                                                  communications during commercial                        role in the delivery of public safety                 Therefore, we find, as we have before,
                                                  power outages are those in the midst of                 services, and that this role does not                 that ‘‘[r]eliable 911 service provides
                                                  transitioning from legacy copper, or that               diminish during events that cause                     public safety benefits that, while
                                                  are new to non-copper media, because                    power outages. Indeed, it is at these                 sometimes difficult to quantify, are
                                                  they may currently assume they will be                  times that consumers most need to                     enormously valuable to individual
                                                  able to reach 911 during a power outage.                know that they will be able to use their              callers and to the nation as a whole.’’
                                                  For example, Public Knowledge asserts                   home telephone to get help through 911.                  22. We have also previously found
                                                  that ‘‘the new technologies with which                     19. We recognize that, as noted by                 that greater access to 911 enables other
                                                  AT&T and Verizon propose to replace                     some commenters, many users of                        public safety-related benefits as well.
                                                  traditional POTS are not self-powered,                  interconnected VoIP service may well                  The Commission’s ‘‘Text-to-911’’
                                                                                                          be unconcerned about backup power,                    proceeding concluded that increasing
                                                  do not work with vital devices on which
                                                                                                          choosing instead to rely on their mobile              access to 911 ‘‘could yield other
                                                  consumers rely, and are not available in
                                                                                                          phones or alternative backup sources.                 benefits, such as reduced property
                                                  every community.’’ Public Knowledge
                                                                                                          Nonetheless, because of the critical                  losses and increased probability of
                                                  further argues that, ‘‘[w]hile technology
                                                                                                          nature of 911 communications, we are                  apprehending criminal suspects. Also,
                                                  transitions hold tremendous promise for
                                                                                                          not persuaded by the argument that                    the increased ability to place 911 calls
                                                  a state-of-the-art communications
                                                                                                          there is no need for action to ensure the             necessarily means that there is an
                                                  network, the loss of guaranteed backup
                                                                                                          continuity of 911 communications to                   increased ability to receive calls in an
                                                  power or shifting backup power
                                                                                                          homes across the country. Nor are we                  emergency, including calls from public
                                                  responsibility to the consumer are
                                                                                                          convinced that we should abandon this                 entities attempting to disseminate
                                                  serious changes that could end up                       effort because of claims that consumer                important information during
                                                  creating a network that serves some and                 expectations, which have developed                    widespread emergencies (such as
                                                  not others.’’                                           over decades, are already reset such that             evacuation notices). Many communities
                                                     17. We agree with the commenters                     they no longer expect their home phone                have installed such a function that ‘‘has
                                                  who assert that transitions to new                      to work during power outages.                         proven to be effective in other counties
                                                  technology should not result in 911                     Consumers who have yet to abandon (or                 and cities, such as San Diego during the
                                                  service being more vulnerable than                      who have only recently abandoned)                     fires of 2007.’’
                                                  when consumers used the legacy                          line-powered service may not have had
                                                  network. As we stated in the NPRM, the                  their expectations ‘‘reset.’’ At this time            B. Covered Services
                                                  absence of line powering for some voice                 of transition, it is these consumers who                 23. In the NPRM, we sought comment
                                                  services (such as those provided by                     are more likely to mistakenly believe                 to help identify the most essential
                                                  cable companies) was not an issue that                  that they can access emergency services               communications services that a
                                                  needed to be addressed when legacy                      during a power outage when the line                   customer would need to get emergency
                                                  line-powered network options were                       power option had already been                         help during a power outage. We referred
                                                  widely available, but it must be                        eliminated.                                           to this in the NPRM as ‘‘minimally
                                                  addressed as more and more residential                     20. We find merit in NASUCA’s                      essential’’ communications. We
                                                  subscribers are faced with only VoIP                    argument that the public interest                     intended to afford sufficient power for
                                                  and other residential IP-based services                 requires the industry to be responsible               minimally essential communications,
                                                  (or legacy services delivered over fiber)               for ensuring that its subscribers at least            including and especially 911 calls and
                                                  as options, because these services                      have some option to purchase backup                   the receipt of emergency alerts and
                                                  typically will require a backup power                   power, either from the service provider               warnings.
                                                  source to function during power                         or a third party. Therefore, as more fully               24. We also noted that voice services
                                                  outages. Accordingly, we focus our                      discussed below, we conclude that the                 historically have been the primary
                                                  requirements to support the continued                   public interest would be best served by               means of contacting 911 for emergency
                                                  transmission of 911 communications for                  ensuring the option for continued access              help. Moreover, we observed that line-
                                                  service that will no longer have line                   to backup power to maintain continuity                powered service can operate
                                                  powering capabilities. Because of the                   of 911 communications during a loss of                continuously and indefinitely during a
                                                  importance of the continuity of 911                     commercial power.                                     commercial power failure, and does not
                                                  communications, we also include under                      21. We have previously recognized                  require a backup power source to
                                                  the new requirement providers that may                  that the benefits associated with reliable            maintain continuity of communications
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  have never provided line powering, but                  911 service are substantial. The                      for access to 911. Thus, we proposed
                                                  that provide services intended to                       provision of backup power for network                 that any rules apply ‘‘to facilities-based,
                                                  replace traditional POTS services on                    equipment at the subscriber premises                  fixed voice services, such as
                                                  which consumers have relied for                         promotes the ‘‘safety of life and property            interconnected VoIP, that are not line-
                                                  continuous access. With the accelerating                through the use of wire and radio                     powered by the provider.’’
                                                  transition to new technologies,                         communication,’’ by enabling 911 calls                   25. Consistent with this proposal, we
                                                  consumers of these services will no                     for subscribers of the covered services,              conclude that it would be in the best
                                                  longer have competitive alternatives                    when the power is out. Specifically, the              interest of the public to apply our rules


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00035   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                  62474             Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations

                                                  to facilities-based, fixed voice services,              communications could introduce                        disclosure requirement designed to
                                                  such as interconnected VoIP, that are                   confusion and impose costs on                         ensure that both current and new
                                                  not line-powered by the provider. Our                   providers that may well exceed the                    subscribers understand their options
                                                  conclusion is based on the fact that, as                incremental benefits. This is                         with respect to backup power and are
                                                  we stated in the NPRM, voice service is                 particularly true given the many backup               aware of the consequences of their
                                                  still the primary means of reaching help                power solutions on the market today                   decisions whether, and to what extent,
                                                  through 911. We clarify that a wireless                 that are capable of supporting both                   to purchase backup power. Finally, we
                                                  voice service is ‘‘fixed’’ for purposes of              essential and non-essential                           encourage providers of covered services
                                                  our rules if it is marketed as a                        communications.                                       to engage in targeted outreach to the
                                                  replacement for line-powered telephone                     28. We reject the argument of NCTA                 communities they serve to ensure that
                                                  service and is intended primarily for use               and others that adopting backup power                 local emergency managers are aware of
                                                  at a fixed location. We further clarify                 rules exclusively for fixed services                  the limitations inherent in various fixed,
                                                  that whether a wireless service is                      unduly favors competing mobile                        residential voice service technologies
                                                  ‘‘fixed’’ does not depend on the                        services. The rules we adopt herein are               commonly used in their areas, as well
                                                  regulatory classification of the service                intended to clarify the obligations of                as backup power options for individuals
                                                  under Federal or state law, or on the                   providers and the expectations of                     and communities more broadly to
                                                  mobile capabilities of the service.                     consumers in the provision of services                maintain continuity of communications
                                                  Similarly, the use of a femtocell or                    that a customer would perceive as                     in an emergency.
                                                  similar equipment in a residential                      replacing line-powered telephone
                                                  setting does not automatically convert a                service. Mobile wireless services                     1. Performance Requirements
                                                  mobile service into a fixed service. The                increasingly compete with fixed                       a. Duration
                                                  decisive factor is whether the service is               services, but they function differently in
                                                                                                                                                                   31. We adopt backup power
                                                  intended to function as or substitute for               multiple respects. Perhaps most
                                                                                                                                                                requirements that offer consumers
                                                  a ‘‘fixed’’ voice service.                              significantly, mobile wireless devices
                                                                                                                                                                meaningful alternatives to address their
                                                     26. Although the rule we adopt today                 are battery-powered in their normal
                                                                                                                                                                individualized needs, recognizing that
                                                  would allow for calls other than to or                  mode of operation. Thus, we do not
                                                                                                                                                                consumers may have different
                                                  from 911, we find there is not currently                believe that consumers would
                                                                                                                                                                preferences for backup power.
                                                  a means to prioritize the provision of                  reasonably expect such devices to draw
                                                                                                                                                                Comments in response to the NPRM
                                                  power for only some voice calls (such as                line power during a commercial power
                                                  911 calls) over other communications                    failure. Moreover, the battery that                   confirm that ‘‘a one-size fits all solution
                                                  (such as calls to friends and family).                  powers a mobile device provides an                    is inappropriate and would disserve
                                                  Many commenters generally agree that                    inherent source of ‘‘backup power’’ that              customer interests.’’ Accordingly, we
                                                  there is no practical way to maintain                   is often capable of providing far more                adopt a phased-in approach that will
                                                  power for only some calls. For example,                 than 8 hours of service per charge, and               provide consumers with multiple
                                                  according to Verizon, calibrating a                     often may be charged through additional               options. As an initial baseline, we will
                                                  provider’s battery backup obligations                   means, such as a car charger.                         require providers of covered services to
                                                  and capabilities based upon essential                      29. Therefore, we conclude that, at                offer, at the point of sale, to install a
                                                  versus non-essential calls would be                     this time, the appropriate services that              technical solution capable of supporting
                                                  inconsistent with consumer’s                            should be subject to backup power                     at least 8 hours of uninterrupted 911
                                                  expectations, and unnecessarily                         requirements for effective 911 service                service during a power outage. Within
                                                  complex. ITTA, the Alarm Industry                       during power outages are facilities-                  three years, providers must also offer, at
                                                  Communications Committee (AICC),                        based, fixed voice service that is not                the point of sale, a technical solution
                                                  NASUCA, and others argue that it                        line-powered by the providers, and is                 capable of supporting 24 hours of
                                                  would be technically difficult, if not                  offered as a residential service.                     uninterrupted 911 service if the
                                                  impossible, to distinguish among certain                                                                      subscriber desires additional backup
                                                                                                          C. Responsibilities of Providers of                   power. To minimize costs and provide
                                                  types of calls or functions in a way that               Covered Services
                                                  would allow rapid load-shedding of                                                                            flexibility, we do not specify the means
                                                  non-essential communications to                           30. To promote clear expectations and               by which providers of covered services
                                                  conserve backup power, if minimally                     customer choice, we adopt a                           offer to supply these amounts of backup
                                                  essential communications were defined                   combination of performance and                        power; instead, providers are free to
                                                  as only 911 or emergency                                disclosure requirements to empower                    develop individual technical solutions.
                                                  communications.                                         consumers to understand the backup                    To plan for longer power outages, we
                                                     27. Some commenters argue for an                     power options available to maintain                   strongly encourage providers to inform
                                                  even broader definition of covered                      continuity of 911 service and to obtain               subscribers of options to extend such
                                                  services, citing various examples.                      the equipment necessary to provide                    uninterrupted service over multiple
                                                  Although we recognize that limiting the                 such service, if they wish, at the point              days and direct subscribers to sources of
                                                  definition as we have done omits some                   of sale. Providers of covered services                known compatible accessories such as
                                                  services on which consumers currently                   must offer at least one technical solution            home, car, or solar chargers. For longer
                                                  rely in emergencies, we expect that both                capable of supporting at least 8 hours of             power outages, we do not require
                                                  the consumer backup power needs and                     uninterrupted 911 service and install                 providers to offer or install any
                                                  our rules will evolve. More importantly,                such equipment, at the subscriber’s                   particular solution, but we strongly
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  we do not more broadly define covered                   option and expense, as part its                       encourage providers to inform
                                                  services because we find that at this                   installation of service. Within three                 subscribers at the point of sale, and
                                                  time it would be in the best interests of               years, providers of covered services also             through annual disclosures to existing
                                                  the public to limit application of our                  must offer new subscribers at the point               and new subscribers discussed below,
                                                  rules to discharge our statutory duty to                of sale and install, at the subscriber’s              about known options to ensure
                                                  ensure the continued viability of 911.                  option and expense, a 24-hour backup                  uninterrupted 911 service and provide
                                                  Imposing specific obligations on                        power solution if a subscriber desires                examples of retail sources for associated
                                                  providers to support other                              additional protection. We also adopt a                equipment, which may include third-


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00036   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                                    Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations                                         62475

                                                  party vendor sources if providers do not                power failure. We emphasize that the                  innovation in the development of 24-
                                                  offer such equipment themselves.                        requirements we adopt today do not                    hour and longer term backup power
                                                     32. In the NPRM, we observed that 8                  place any obligation on the consumer to               solutions and avoid locking in solutions
                                                  hours of backup power for network                       purchase backup power; the obligation                 that are minimally compliant but that
                                                  equipment at the subscriber premises                    is placed on the provider not providing               may not provide the best value to
                                                  appears to be consistent with a number                  line-powered service, to make backup                  consumers. We will therefore phase-in
                                                  of VoIP deployment models already in                    power available to the consumer, and to               the 24-hour requirement over three
                                                  practice, though some providers have                    install appropriate backup power upon                 years, during which time we expect
                                                  deployed backup power capabilities for                  initial installation of service if requested          providers to work diligently to
                                                  up to 24 hours. We find that 8 hours of                 by the consumer. To that end, we expect               implement innovative solutions for
                                                  backup power is the appropriate amount                  that installers should be able to answer              providing at least 24 hours of backup
                                                  of time to afford consumers with                        questions about backup power.                         power that improve upon current
                                                  continuity of power in the critical hours                  33. While we believe that 8 hours of               offerings in terms of cost, reliability and
                                                  immediately after a power outage, and                   backup power would address the need                   ease of use. This is consistent with
                                                  is a backup power duration that is                      for continuity of communications                      ACA’s recommendation for a phase-in
                                                  technically feasible today. The record                  immediately after a power outage, we                  of the 24-hour battery requirement for
                                                  reflects that the option to receive 8                   recognize that, in some cases, 8 hours of             smaller providers; however, we find that
                                                  hours of backup power is already an                     backup power may not be enough for                    given the overall market conditions for
                                                                                                          subscribers to reach critical emergency               24-hour battery supplies, including
                                                  industry norm, as well as a reasonable
                                                                                                          services during an extended loss of                   questions about immediate availability,
                                                  baseline for the amount of standby time
                                                                                                          power. AARP urges the Commission to                   it is appropriate to phase in the
                                                  that is likely to be useful to consumers
                                                                                                          require providers to be ‘‘responsible for             requirements for all providers,
                                                  during emergencies. The United States
                                                                                                          the deployment and maintenance of                     regardless of size. While NASUCA
                                                  Telecom Association (US Telecom), for
                                                                                                          voice-enabling CPE that delivers at least             recommends that the Commission
                                                  example, states that ‘‘provisioning eight
                                                                                                          12 hours of standby time.’’ NASUCA                    monitor battery backup power
                                                  hours of backup power is consistent
                                                                                                          and the Communications Workers of                     developments and phase in the
                                                  with industry standards and reflects
                                                                                                          America (CWA) also suggest that a                     requirements as soon as the market will
                                                  what VoIP providers currently employ.’’
                                                                                                          longer time period, such as 12 or 24                  allow, we find that providing a date
                                                  Verizon offers subscribers a 12-volt                    hours, would be more useful for                       certain both allows the market sufficient
                                                  battery that provides up to 8 hours of                  subscribers who need a longer duration                time to develop, and places a backstop
                                                  backup for voice services and also                      to attend to other time sensitive matters             for development, thereby spurring
                                                  observes that ‘‘[c]ompanies such as                     that arise during the course of a natural             innovation in a reasonable timeframe. In
                                                  Comcast, Cablevision, and Cox offer a                   disaster or other emergency. While                    the meantime, we encourage but do not
                                                  battery with eight hours of backup, and                 industry commenters oppose a mandate                  require providers to offer a 24-hour
                                                  Time Warner offers a battery with a                     to provide more than 8 hours of backup                solution using available technologies.
                                                  choice of eight or twelve hours.’’ The                  power to every subscriber, service                       35. As commenters note, the need for
                                                  Electronic Security Association (ESA)                   providers note existing solutions, as                 continued access to 911 during an
                                                  and the Alarm Industry                                  well as innovative new solutions, that                extended power outage does not end
                                                  Communications Committee (AICC)                         are capable of supporting longer standby              after 8, or even 24, hours. For example,
                                                  urge the Commission to promote                          times. Along similar lines, NASUCA                    Public Knowledge argues that ‘‘a
                                                  adherence to the National Fire                          urges the Commission to monitor                       minimum time of seven days backup
                                                  Protection Association (NFPA)                           advances in battery technology, and as                power is a reasonable requirement that
                                                  minimum standard on battery backup,                     soon as such technology is available at               will keep consumers safe before, during,
                                                  which also is 8 hours. In light of this                 a reasonable cost, to require providers to            and after a natural disaster, and allow
                                                  broad consensus, and based on the fact                  furnish backup batteries with 7-day                   them to rebuild their communities.’’
                                                  that 8 hours of backup power is already                 standby time and 24-hour talk time.                   Based on a study by the Environmental
                                                  being provisioned today by some                            34. In light of the critical need for              and Energy Study Institute, Public
                                                  providers, we disagree with commenters                  maintaining 911 service during more                   Knowledge observes that restoring
                                                  who suggest that 8 hours is not an                      severe and long-lasting power failures,               power after Hurricane Sandy and
                                                  appropriate standard for backup power                   we will require providers to offer                    Hurricane Katrina took 12 and 15 days
                                                  offerings. We find that it is technically               subscribers a 24-hour backup power                    respectively, and on average takes 7 to
                                                  feasible for providers of covered                       solution within three years. The record               23 days. To address such extended
                                                  services to offer subscribers the option                indicates that the provision of 24 hours              losses of commercial power Public
                                                  of at least 8 hours of backup power                     of backup power is at least technically               Knowledge asserts that ‘‘carriers must
                                                  through provider-supplied backup                        feasible today. ACA has ‘‘determined                  prioritize the adoption of devices that
                                                  power equipment or by offering                          that batteries with 24 hour stand by                  use batteries that can last days and are
                                                  compatible third-party equipment.                       capability can be ordered from at least               not proprietary.’’ Other commenters
                                                  While many providers already offer                      one vendor but are not immediately                    argue that ‘‘Americans have come to
                                                  their subscribers an 8-hour backup                      available because they are not widely                 trust and expect basic telephone service
                                                  power capability, the rule we adopt                     used.’’ As explained below, we do not                 to work indefinitely, particularly during
                                                  today establishes a common baseline                     require providers to offer                            power outages caused by natural
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  that will ensure that consumers have                    technologically distinct 8-hour and 24-               disasters and public safety emergencies’’
                                                  access to backup power options                          hour solutions, so a 24-hour solution                 and urge us to adopt even longer backup
                                                  regardless of their provider. This will                 could consist simply of three 8-hour                  power requirements, ranging from seven
                                                  promote public safety and emergency                     batteries. Many providers that offer an               days to two weeks.
                                                  preparedness by allowing subscribers to                 8-hour solution are therefore likely to be               36. We are not persuaded that a
                                                  reach 911 and receive telephone-based                   capable of offering a 24-hour solution                requirement for providers of covered
                                                  alerts and warnings in the critical hours               with minimal additional difficulty. That              services to offer or install more than 24
                                                  immediately following a commercial                      said, we want to encourage continued                  hours of backup power is necessary at


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00037   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                  62476             Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations

                                                  this time. All things equal, we would                   subscribers when such mobile charging                 more quickly backup power is depleted.
                                                  prefer access to 911 during a loss of                   stations are made available.                          In light of these potential discrepancies,
                                                  commercial power to last indefinitely,                     37. In adopting these requirements,                we believe that adopting a uniform
                                                  as consumers have come to expect with                   we acknowledge observations that                      definition of ‘‘backup power’’ is
                                                  line-powered services. We recognize,                    ‘‘[n]otwithstanding the availability of               necessary to avoid potential consumer
                                                  however, that there are technical,                      backup batteries, many customers today                confusion. Therefore, we base our
                                                  operational, and cost considerations that               choose not to obtain a battery, given the             backup power requirements on the
                                                  must be balanced against this theoretical               growing reliance on wireless or the                   amount of time a technical solution can
                                                  desire. For reasons discussed above, we                 customers’ use of handsets or other                   maintain a covered service in standby
                                                  believe that it is both technically                     devices that themselves require                       mode, i.e., able to provide a dial tone
                                                  feasible and consistent with current                    commercial power to operate.’’ We also                and to initiate and receive voice calls,
                                                  business models for covered services to                 agree with commenters such as Verizon                 but not necessarily in continuous use.
                                                  require providers to offer options for 8                that ‘‘[c]ustomers should be free to                  We believe that standby time is an
                                                  and 24 hours of backup power on the                     decline [a backup] battery, depending                 appropriate metric, because our rules
                                                  timelines specified in our rules. We                    on their personal preference.’’ We                    are premised on the need for covered
                                                  agree, however, with commenters who                     further acknowledge that comments in                  services to be available to dial 911 or
                                                  suggest that a mandate to offer backup                  the record indicate that, when it is                  receive incoming communications such
                                                  power for multi-day outages could                       offered, consumers often may not                      as emergency alerts and warnings
                                                  impose unnecessary burdens on service                   choose to avail themselves of options to              during emergencies, not necessarily on
                                                                                                          purchase backup power. Commenters                     the need for extended talk time when
                                                  providers and excessive costs on
                                                                                                          note, for example, that many subscribers              commercial power fails. We recognize
                                                  consumers for comparatively little
                                                                                                          of fixed, residential VoIP service also               that actual battery life may vary
                                                  public safety benefit. As CSRIC has
                                                                                                          purchase mobile voice service that                    depending on how often subscribers
                                                  observed, backup power technologies
                                                                                                          provides an alternate means of reaching               place calls and how long such calls last,
                                                  are evolving, and the cost of more
                                                                                                          911 in an emergency, and that others                  but we conclude it would not be
                                                  advanced batteries such as lithium-ion
                                                                                                          prefer cordless phones that require                   practical to account for such situation-
                                                  cells is likely to decrease over time as
                                                                                                          backup power beyond that supplied by                  specific variations in our rules and that
                                                  other options such as power-over-
                                                                                                          service provider networks. Nevertheless,              standby time is a more consistent and
                                                  Ethernet become more widespread. We                     some consumers—particularly the                       useful point of comparison.
                                                  will continue to monitor these                          elderly and other populations that are at             Accordingly, we require providers of
                                                  developments to ensure that our rules                   the greatest risk during an emergency—                covered services to offer subscribers the
                                                  keep pace. Moreover, power outages of                   may not subscribe to mobile wireless                  option to obtain backup power for 8
                                                  extended duration allow well-informed                   service and may rely solely on the                    hours (effective 120 days after
                                                  consumers time to recharge their                        continued functionality of their                      publication of this Report and Order in
                                                  existing batteries or make other                        residential voice service to reach 911.               the Federal Register) or 24 hours
                                                  arrangements to reach emergency                         Furthermore, mobile networks are not                  (effective within three years thereafter)
                                                  assistance until power is restored. We                  designed in the same manner as                        of standby time, measured at rated
                                                  therefore strongly encourage providers                  wireline networks and may become                      specifications, without a duration
                                                  to inform subscribers, both at the point                overloaded in times of extreme use in an              requirement for actual talk time.
                                                  of sale and annually thereafter, of                     emergency situation, and thus be
                                                  known ways consumers can maintain                       unavailable for use to reach 911. We                  b. Methods of Provisioning Backup
                                                  connectivity during extended power                      emphasize that nothing in our rules                   Power
                                                  outages. As an example, this could                      forces consumers to purchase backup                      39. We agree with commenters who
                                                  include guidance on restocking or                       power they do not want. We require                    advocate flexibility in how providers
                                                  recharging a power supply used to                       only that consumers who want service                  achieve continuity of 911 access for the
                                                  provide 8- or 24-hour capability.                       that will work during power outages                   time periods discussed above. The
                                                  Providers could also give information                   and have not otherwise provided for                   record reflects that providers currently
                                                  on purchasing other accessories such as                 such uninterrupted service have the                   employ a variety of backup power
                                                  solar, home or car chargers that may                    option of obtaining that capability, and              technologies and that a range of backup
                                                  allow exhausted batteries to be                         that they have sufficient information to              power options are also available direct-
                                                  recharged and that are compatible with                  make an informed decision.                            to-consumer from third-party sources.
                                                  the provider’s equipment. Providers                        38. In the NPRM, we discussed the                  CSRIC, for example, identifies nine ‘‘use
                                                  need not offer such accessories                         duration of backup power in terms of                  cases’’ for residential VoIP deployment,
                                                  themselves or endorse particular third-                 ‘‘the availability of standby backup                  with a range of equipment functioning
                                                  party suppliers, but they should provide                power, not actual talk time.’’                        as an analog telephone adaptor (ATA)
                                                  sufficient information, including                       Commenters differ on whether backup                   with varying levels of battery backup.
                                                  technical specifications when necessary,                power should be measured in terms of                  CSRIC observes that ‘‘[t]he most
                                                  for subscribers to obtain compatible                    standby time, talk time, or some other                commonly deployed model for VoIP
                                                  accessories from commercial sources.                    metric that takes into account variations             services in the United States is to locate
                                                  Such information may be provided                        in battery life under different                       the ATA function in a network device,
                                                  through welcome kits, brochures, emails                 conditions. NASUCA, for example,                      installed inside the living unit.’’ In
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  to subscribers, or any other means                      questions provider assertions about                   addition, as NCTA states,
                                                  reasonably calculated to reach each                     backup battery life on the grounds that               uninterruptible power supplies (UPS)
                                                  subscriber, as discussed below, while                   8 hours of battery life yields far less               that can power multiple devices during
                                                  providing due consideration for any                     actual talk time, and because batteries               a power outage are already widely
                                                  preference expressed by the customer.                   deteriorate as they age. Public                       available at national retailers. Bright
                                                  Providers sometimes deploy mobile                       Knowledge observes that the actual                    House also describes ‘‘numerous retail
                                                  charging stations to areas affected by an               duration of a battery depends on its use,             options available to subscribers like
                                                  extended outage, and may inform                         and that the more calls are placed, the               UPS, portable power packs, solar, and


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00038   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                                    Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations                                       62477

                                                  manual cranks that power multiple                       providers work with their vendors to                  providers to conduct useful remote
                                                  devices during an outage and offer a                    provide a mechanism to monitor battery                monitoring of battery status without
                                                  more compelling and flexible solution                   status, and determine whether the                     raising costs to consumers or diverting
                                                  to subscribers at comparable prices’’                   battery is degraded. AARP states that                 resources away from more important
                                                  Some parties also comment that                          this can be done through remote                       network reliability issues through an
                                                  subscribers who use more versatile                      monitoring of batteries as part of the                increase in false failure alarms. We
                                                  power options such as UPS should not                    service offered to subscribers, or                    observe, however, that our allocation of
                                                  have to also pay for the duplicative cost               through LEDs visible to subscribers.                  monitoring responsibility to consumers
                                                  of an additional limited-function                       Other commenters suggest that the                     is based on the expectation that service
                                                  battery; nor should the Commission                      backup power system contain a self-                   providers offer adequate information for
                                                  require consumers to pay for a backup                   monitoring feature that notifies                      subscribers to understand when their
                                                  power option that does not work in their                subscribers audibly and visually when                 equipment is functioning properly and
                                                  situation.                                              the backup power system is in use, and                when it may require maintenance or
                                                     40. We do not require use of a specific              when it is running low. ESA notes,                    replacement. Service providers should
                                                  technical solution or combination of                    however, that some subscribers may not                also inform subscribers of the potential
                                                  solutions. Providers, which are not                     pay attention to these warnings, and                  for batteries to degrade over time and
                                                  providing line-powered service, have                    that it may require personal interaction              either make replacement batteries
                                                  flexibility to develop and offer their                  with subscribers to assist with                       available for self-installation at the
                                                  own backup power solutions, as long as                  upgrading or changing a battery that                  subscriber’s expense or provide
                                                  those solutions comply with the rules                   needs attention. On the other hand,                   sufficient information for subscribers to
                                                  we adopt today. In addition, we expect                  service providers generally argue that                obtain replacement batteries from third
                                                  that installers should be able to answer                requiring remote monitoring of backup                 parties.
                                                  questions about backup power. For                       power is either impractical with current
                                                  example, a provider could offer a                                                                             d. No Obligation to Retrofit
                                                                                                          technology or, even if technically
                                                  solution with a single, internal battery                feasible, of limited use to subscribers or              43. Some service providers express
                                                  delivering 8 hours of backup power.                     providers. AT&T contends that ‘‘IP-                   concerns about the cost and complexity
                                                  With respect to the 24-hour option                      based voice service providers generally               of any obligation to retrofit currently
                                                  required within three years, providers                  do not assume responsibility for                      installed equipment to comply with any
                                                  may choose to offer consumers a single                                                                        backup power requirements the
                                                                                                          monitoring their customers’ backup
                                                  24-hour battery (or battery tray as                                                                           Commission adopts. AT&T, for example,
                                                                                                          batteries,’’ and that ‘‘[r]elying on
                                                  offered by Verizon), three 8-hour                                                                             states that ‘‘[i]f service providers were
                                                                                                          customers, rather than service
                                                  batteries, or some other combination of                                                                       required to provide CPE backup power,
                                                                                                          providers, to monitor and maintain
                                                  installed and spare batteries, UPS                                                                            the Commission should require only
                                                                                                          battery backup power for network
                                                  systems or other technologies to provide                                                                      prospective implementation in order to
                                                                                                          equipment at the subscriber premises
                                                  24 hours total. If the solution requires a                                                                    avoid the technological pitfalls of
                                                                                                          makes eminent sense given
                                                  proprietary battery or other equipment                                                                        retrofitting prior deployments.’’ ITTA
                                                                                                          technological and marketplace
                                                  that is not widely available in retail                                                                        argues that ‘‘[r]etrofitting existing
                                                                                                          changes.’’
                                                  stores, the equipment should be                                                                               service deployments for customers who
                                                  provided as part of the installation of                    42. We do not believe it would serve               are not interested in battery backup
                                                  service. If, however, the solution accepts              the public interest to require providers              power would divert resources from new
                                                  commonly available equipment such as                    of covered services to remotely monitor               deployments, thus slowing the
                                                  D-Cell batteries, providers need not                    backup power status at this time.                     expansion of services to customers who
                                                  supply such equipment themselves, as                    Similarly, we decline to adopt any                    desire advanced broadband
                                                  long as they notify subscribers at the                  requirement that providers inspect or                 capabilities.’’ We agree and decline to
                                                  point of sale that it is not included and               test backup power equipment after                     adopt any obligation that providers of
                                                  must be supplied by the subscriber for                  fulfilling their initial responsibility               covered services retrofit currently-
                                                  the solution to function properly. In                   under our rules to offer subscribers the              deployed equipment to accommodate
                                                  cases involving spare batteries that are                option, at the point of sale, for backup              the amount of backup power specified
                                                  not widely available at retail stores, the              power to be installed as part of the                  in our rules for new installations. The
                                                  solution offered to subscribers should                  initiation of service. This is consistent             record reflects that some covered
                                                  also include a charger or some other                    with CSRIC’s observations that                        services are currently deployed without
                                                  method of ensuring that such batteries                  ‘‘[i]ncreasingly, battery backup is being             backup power and that consumers may
                                                  are stored in a charged state.                          offered as an optional accessory to the               prefer to continue using their existing
                                                                                                          consumer, which they can control and                  equipment. Accordingly, we require
                                                  c. Battery Monitoring and Maintenance                   manage themselves.’’ While we believe                 only that backup power options be
                                                     41. In the NPRM, we sought comment                   service providers are in the best position            offered at the point of sale. Providers
                                                  on whether the provider should have                     to identify and make available backup                 may continue offering retrofit options
                                                  any responsibility to monitor backup                    power solutions compatible with and                   for backup power upgrades to existing
                                                  power status to determine whether the                   appropriately sized for specific covered              customers or those who decline the
                                                  battery had degraded run time or                        services, we agree with commenters                    option at the point of sale, but they are
                                                  performance. Generally, the comments                    who believe subscribers are in the best               under no obligation to do so. We note,
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  of individual consumers and consumer                    position to monitor backup power once                 however, that even service providers
                                                  advocacy organizations support                          installed, and in light of the disclosure             that do not currently offer backup power
                                                  requiring providers either to maintain                  requirements we are implementing                      acknowledge that third-party UPS units
                                                  and monitor the backup power or to                      designed to ensure they are adequately                may allow subscribers to maintain
                                                  provide subscribers with the means to                   informed on how to do so. With respect                communications capabilities without
                                                  do such monitoring. For example, AARP                   to batteries, we are not persuaded that               the need to retrofit existing equipment.
                                                  urges the Commission to adopt as a rule                 battery monitoring technology has                     Therefore, we conclude that providers’
                                                  the CSRIC recommendation that service                   evolved to the point of allowing service              obligations to current subscribers


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00039   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                  62478             Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations

                                                  should include the disclosure                           compensation for all aspects of                       solution. This also saves providers the
                                                  requirements discussed below and the                    implementing the rules we adopt today,                costs of supplying batteries directly. The
                                                  option for subscribers to self-install                  including the backup power                            same cost-mitigating principles apply to
                                                  commercially available backup power                     installation, and costs of equipment and              the discussion of 24-hour and extended
                                                  solutions that are compatible with                      labor, from the consumer that elects to               duration backup power; the commercial
                                                  existing equipment.                                     have backup power installed. And we                   market for this solution already exists
                                                                                                          do not preclude service providers from                and even the smaller providers are
                                                  e. Compensation and Costs for
                                                                                                          including backup power capabilities                   confident in their ability to provide this
                                                  Providing Backup Power
                                                                                                          without separate charge, if they choose               level of backup power if provided ample
                                                     44. In the NPRM, we proposed that                    to do so for competitive or other                     transition. The record also indicates that
                                                  any requirement for service providers to                reasons.                                              many providers already offer some form
                                                  ensure a substitute for line power would                   46. By requiring only that service                 of backup power, even if it is not an 8-
                                                  be premised on the condition that such                  providers provision backup power upon                 hour solution, and therefore would be
                                                  providers ‘‘would be entitled to                        subscriber request at point of sale, and              familiar with the practice of installing
                                                  commercially reasonable compensation                    at the requesting subscriber’s expense,               backup power solutions for their
                                                  in exchange for providing this service.’’               we have effectively negated the                       customers. Because the cost to providers
                                                  In response, Public Knowledge asserts                   argument that these rules will                        of complying with this rule should be
                                                  that the Commission should use legacy                   substantially increase costs to providers.            minimal both at the outset as well as
                                                  POTS as a baseline and require                          The majority of commenters who raise                  when the 24-hour requirement takes
                                                  providers to furnish backup power                       issues related to costs base their                    effect, and the particular benefit to the
                                                  without an additional fee because, until                arguments on the assumption that the                  public of enhanced continuity of
                                                  the transition to IP-based services,                    Commission would mandate a universal                  communications to reach help through
                                                  reliability has always been paid for as                 backup power solution across all                      911 during power outages is substantial,
                                                  part of a subscriber’s phone bill, and                  subscribers, including retrofitting                   we conclude that our action today
                                                  allowing providers to charge for backup                 existing subscribers. The action we take              produces a net public benefit.
                                                  power for the same service via new                      today will substantially limit the
                                                  technology would be a step backward.                    providers’ costs by requiring backup                  2. Subscriber Disclosure Obligations
                                                  However, this argument disregards the                   power installations only for customers                a. Need for Subscriber Disclosure
                                                  record evidence that batteries or other                 that request backup power at the point                Obligations
                                                  potential substitutes for line powering                 of sale, and at those customers’ expense.
                                                  carry a not insignificant additional cost               Fiber to the Home Council Americas                       48. In the NPRM, we sought comment
                                                  over an entire network, and that it is not              states that ‘‘while the industry has                  on whether we should require providers
                                                  unreasonable to permit providers to                     generally supplied backup batteries to                to develop and implement consumer
                                                  recoup those additional costs from those                all subscribers, it would make a material             education plans regarding the
                                                  subscribers who have need for the                       difference to the cost of a build,                    availability of backup power, and noted
                                                  additional coverage. We also note that it               enabling expansion into less dense                    our belief that such plans ‘‘would be
                                                  is current practice among many                          areas, if it could supply battery backup              critical to consumers’ ability to
                                                  interconnected VoIP providers to charge                 only to those subscribers that expressly              successfully self-provision.’’
                                                  an extra fee for batteries or other backup              want it—a number all-fiber service                       49. Commenters representing
                                                  power capabilities, suggesting that the                 providers has determined is not great.’’              government stakeholders and
                                                  expectations Public Knowledge cites                     Similarly, NCTA stated that in their                  consumers support such a requirement.
                                                  may be changing as consumers                            experience only a small number of                     For example, PA PUC states that, if
                                                  increasingly adopt VoIP services. As                    customers have purchased backup                       providers require their customers to be
                                                  CSRIC has observed, ‘‘[o]ne clear trend                 power. We also find concerns about the                responsible for purchasing or replacing
                                                  across all VoIP use cases is that battery               environmental effects of requiring all                backup power batteries, providers
                                                  backup is increasingly being offered as                 consumers to obtain backup power are                  ‘‘must develop and implement outreach
                                                  an option to the consumer, with the cost                inapplicable because we do not make                   and education programs to ensure
                                                  and maintenance of the UPS and                          such a requirement.                                   customers are aware that [customers] are
                                                  batteries being the consumer’s                             47. There are additional factors that              responsible for providing their own
                                                  responsibility.’’ Ultimately, we are                    minimize the costs associated with                    backup power.’’ The New York Public
                                                  persuaded that subscribers should not                   compliance for the covered providers.                 Service Commission indicates that it is
                                                  have to pay for backup power they do                    First, as noted previously, the record                ‘‘critical that information about the
                                                  not want. As discussed above,                           indicates that numerous entities                      consumer’s role in maintaining
                                                  consumers may desire different amounts                  comprising a significant share of the IP              continuity of power is transmitted to the
                                                  of backup power—or none at all—                         voice services market are already                     customer by the service provider,’’ and
                                                  depending on their individual                           offering their customers 8 hours of                   that providers need to develop programs
                                                  circumstances.                                          backup power; for those entities no                   to ‘‘ensure consumers are aware that
                                                     45. Accordingly, we conclude that                    additional costs are necessary. To the                [they] are responsible for providing their
                                                  providers of covered services may                       extent that a service provider is not                 own backup power.’’ The Attorneys
                                                  charge subscribers for the backup power                 currently offering the requisite 8 hours              General for the Peoples of the States of
                                                  capabilities provided under our rules, if               of backup power, the fact that numerous               Illinois and New York state that,
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  subscribers wish to purchase such                       providers are currently offering such a               because of the reluctance to advertise a
                                                  capabilities. We emphasize that we do                   solution indicates that solutions exist               diminished service, ‘‘carriers may not
                                                  not specify the rates at which providers                and are widely available. Accordingly,                emphasize the need for backup power
                                                  of covered services may offer backup                    there is little need to custom-design a               disclosures.’’ The FCC’s
                                                  power or related accessories, we expect                 solution when many of the solutions                   Intergovernmental Advisory Committee
                                                  market forces to ensure that backup                     can be used universally. Indeed,                      asserts that ‘‘providers should be
                                                  power is offered at competitive prices.                 providers may avoid the costs of                      required to communicate effectively and
                                                  A service provider can receive                          supplying or installing a proprietary                 accurately the services that may no


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00040   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                                    Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations                                        62479

                                                  longer be available and options for                     Charter and Cablevision state that they               often, such as military families needing
                                                  consumers to obtain comparable                          are making ‘‘significant efforts to                   to relocate. We find that it is in the
                                                  services, including options with respect                educate their customers about the VoIP                public interest for the Commission to
                                                  to backup power supplies.’’                             services they offer, including that such              establish a uniform requirement to
                                                     50. Industry stakeholders, on the                    service will not work during a power                  provide minimum information as
                                                  other hand, oppose such a requirement.                  outage without a backup battery.’’                    described below in order to ensure that
                                                  The Independent Telephone &                                53. We find that the lack of uniformity            all subscribers of covered services are
                                                  Telecommunications Alliance (ITTA)                      in providers’ backup power information,               equipped with necessary information to
                                                  states that there is ‘‘no evidence that                 and as commenters present, lack of                    access 911 services during power
                                                  additional consumer education would                     consumer awareness at a time of                       outages regardless of provider or
                                                  be helpful or necessary, and argues that                technological transition, may lead to                 technology used.
                                                  a requirement is ‘‘unwarranted and a                    consumer confusion about consumer                        54. Adoption of best practices
                                                  waste of resources.’’ AT&T recommends                   expectations and responsibilities in the              established by CSRIC, as recommended
                                                  that the Commission refrain from                        access of 911 service during power                    by some industry commenters, may
                                                  imposing a consumer education                           outages. While some providers already                 help, and we do not intend to
                                                  requirement, and instead work with                      offer or plan to make available                       discourage adoption of these practices.
                                                  providers to review backup power best                   information to consumers in the near                  However, we are not convinced that the
                                                  practices for consumer education.                       future, it appears from comments                      voluntary adoption of these practices
                                                  Others, such as CenturyLink, Hawaiian                                                                         without a standard, mandatory baseline
                                                                                                          submitted and providers’ Web sites that
                                                  Telcom, NCTA, and Verizon, suggest                                                                            will eliminate consumer confusion. We
                                                                                                          the information provided to consumers
                                                  that the Commission support the                                                                               therefore address these concerns by
                                                                                                          is not consistent across the industry.
                                                  implementation of CSRIC                                                                                       requiring minimum subscriber
                                                                                                          This lack of uniformity may lead to
                                                  recommendations regarding consumer                                                                            disclosure obligations, while at the same
                                                                                                          consumer confusion at a time of
                                                  notification. They argue that this would                                                                      time encouraging providers to
                                                                                                          technological transition from services
                                                  give providers the flexibility to                                                                             voluntarily follow additional CSRIC best
                                                                                                          provided over copper networks to
                                                  implement consumer education                                                                                  practices regarding backup power.
                                                                                                          services provided over IP-based                          55. As NCTA discussed, current
                                                  measures as their networks and business
                                                                                                          networks, and agree with commenters                   Commission rules require a limited
                                                  models warrant.
                                                     51. Others argue that a requirement is               that there are consumers who ‘‘may not                customer notification for interconnected
                                                  unnecessary because providers already                   be aware that VoIP and wireless service               VoIP service providers. This
                                                  give consumers information related to                   operate differently from traditional                  requirement, however, is only for a
                                                  backup power. For example, NCTA                         landline telephony in a commercial                    subset of covered providers considered
                                                  argues that the Commission’s existing                   power outage.’’ We acknowledge the                    in this Report and Order, and we find
                                                  rules already ‘‘ensure that consumers                   concerns of commenters representing                   that the information currently required
                                                  are made aware of the backup power                      unique populations, such as AARP,                     is too limited to fully inform consumers
                                                  ramifications of choosing a VoIP                        which states that ‘‘[g]iven the diversity             about backup power. Specifically,
                                                  service,’’ and require providers at the                 of service provider practices . . . the               section 9.5(e)(1) of the Commission
                                                  initiation of interconnected VoIP service               level of consumer understanding of CPE                rules requires customer notifications for
                                                  to ‘‘inform consumers of the                            battery backup issues is certainly not                circumstances such as ‘‘loss of electrical
                                                  ‘circumstances under which E911                         uniform.’’ Further, subscriber                        power,’’ ‘‘under which E911 service
                                                  service may not be available,’ . . .                    complaints reveal that current                        may not be available through the
                                                  includ[ing] ‘loss of electrical power.’ ’’              disclosure practices are likely                       interconnected VoIP service or may be
                                                  ITTA notes that it is ‘‘standard industry               insufficient. For example, the                        in some way limited by comparison to
                                                  practice for interconnected VoIP                        Commission’s consumer complaints                      traditional E911 service.’’ Informing
                                                  providers to notify consumers regarding                 portal reveals that some subscribers are              consumers of the circumstances under
                                                  the potential limitations of IP-enabled                 frustrated by VoIP service providers’                 which their E911 service is not available
                                                  voice services and equipment during a                   failure to inform subscribers about the               does not adequately inform a consumer
                                                  power outage.’’ Fiber to the Home                       need to self-provision a battery to                   on how to purchase, efficiently use,
                                                  Council Americas (FTTH Council) also                    operate backup power in order to access               monitor, or replace backup power at the
                                                  asserts that industry efforts to notify                 911 services. Based on the record, while              consumer’s premises.
                                                  consumers about battery backup                          we acknowledge that there are some                       56. We conclude that requiring
                                                  availability are effective based on                     disclosures already mandated and some                 providers to develop and implement
                                                  assumptions regarding consumer                          additional information provided                       subscriber disclosures regarding backup
                                                  adoption of wireless and VoIP services.                 voluntarily, we are not convinced                     power with minimum baseline
                                                     52. AT&T states that providers of IP-                disclosures currently required only for               disclosures serves the public interest
                                                  based voice service already educate                     interconnected VoIP providers, are of                 and will promote access to 911 while
                                                  consumers on the necessity of a backup                  sufficient scope or uniformity across all             being of minimal cost to the providers.
                                                  battery during a power outage and                       covered providers, to satisfy the                     As CenturyLink notes, there is a clear
                                                  provide information about the backup                    Commission’s obligation to promote the                public benefit in promoting consumers’
                                                  battery, including practices for                        safety of life and property and ensure                awareness of the need for affirmative
                                                  prolonging battery life, where to                       consistent 911 services. Although not all             action to acquire and maintain backup
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  purchase battery replacement, and                       subscribers may receive backup power                  power. According to the
                                                  replacement instructions. CenturyLink                   information from more than one                        Communications Workers of America
                                                  indicates that it plans to provide                      provider in a given year, we                          (CWA), ‘‘Commission oversight is
                                                  information regarding ‘‘sample batteries                acknowledge that backup power                         essential to encourage . . . consumer
                                                  that would work with [CenturyLink]                      information may be confusing especially               education about the time limits and
                                                  equipment as well as suppliers of such                  for unique populations struggling                     capabilities of battery-provided backup
                                                  equipment for those customers wishing                   during the technology transition, or                  power.’’ Attorneys General state that
                                                  to provide their own backup power.’’                    those who may need to switch providers                ‘‘enabling consumers to prepare


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00041   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                  62480             Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations

                                                  themselves for emergencies and                          does not impact more protective state-                obtain backup power from the provider
                                                  avoiding public confusion should be                     level measures.                                       or from a third party. Some providers
                                                  fundamental Commission goals.’’ We                         59. Several industry commenters                    post this information online, but we
                                                  agree with these commenters, and                        identified information that is currently              find that the posted information is both
                                                  others, who recognize the importance of                 included in some backup power                         too limited and not readily accessible by
                                                  consumer information in managing the                    notifications to subscribers. For                     all subscribers. Therefore, it is
                                                  historical consumer expectations                        example, ACA asserts that providers                   insufficient notice to subscribers of a
                                                  regarding continuity of                                 inform potential and current subscribers              critical piece of information that they
                                                  communications. As described in detail                  that their voice service is not powered               need to ensure continuity of access to
                                                  below, we also find the costs to                        by the network, and during a power                    critical 911 services during a power
                                                  providers in making the required                        outage, without battery backup, the                   outage. Accordingly, we require
                                                  disclosure to be minimal.                               subscriber may lose access to 911. ACA                providers to inform new and existing
                                                                                                          explains that this notice also alerts                 subscribers about the availability of
                                                  b. Minimum Information Elements                         customers about specific backup power                 compatible backup power sources for
                                                     57. The disclosure requirements                      capabilities of the equipment.                        their service, as outlined below. Again,
                                                  adopted today are intended to equip                        60. We agree with the commenters                   we emphasize that providers are not
                                                  subscribers with necessary information                  who suggest that the Commission adopt                 required to research and/or provide
                                                  to purchase and maintain a source of                    minimal requirements for the types of                 information on every possible backup
                                                  backup power to enhance their ability to                information that service providers must               power source that could potentially be
                                                  maintain access to reliable 911 service                 give subscribers, regarding backup                    compatible with a Covered Service;
                                                  from their homes. Several parties                       power. This will decrease the likelihood              disclosure obligations under our rules
                                                  commented on what information should                    of consumer confusion, and ensure that                are limited to basic information
                                                  be included in the disclosures. For                     all subscribers have access to basic                  allowing consumers to make informed
                                                  example, some commenters strongly                       information about the need for, and how               choices about their purchase and use of
                                                  support including information about                     to acquire and conserve, backup power.                backup power to maintain continuity of
                                                  battery life spans, procedures for                      In this respect, we observe that several              access to 911.
                                                  ordering, installing, replacing, and                    providers already give relevant                          62. Service Limitations With and
                                                  extending battery life during a power                   information to their customers;                       Without Backup Power. We require
                                                  outage. The City of New York                            however, the amount and type of                       providers of Covered Service to notify
                                                  recommends that we require providers                    information given varies greatly from                 subscribers about the service limitations
                                                  to furnish information to assist in                     one provider to another, and thus gives               with and without the use of a backup
                                                  extending the ‘‘useful life of battery                  rise to the potential for consumer                    power source. As we stated in the
                                                  backup’’ such as powering off the                       confusion. This confusion may lead the                NPRM, consumers of wireline telephony
                                                  system or closing applications. APCO                    consumer to fail to take proper                       may expect their plug-in phones to work
                                                  suggests that a public education                        precautions to acquire and maintain                   during a power outage without any
                                                  requirement include information on                      backup power, and ultimately result in                further action on their part. Non-copper
                                                  ‘‘any impact to 9–1–1 services.’’ The                   the inability to access 911 at a critical             based networks and services not based
                                                  respective Attorneys General for the                    moment during a power outage. Thus,                   on TDM may not support these
                                                  State of Illinois and the State of New                  we find it in the public interest to                  traditional wireline functionalities, or
                                                  York strongly support consumer                          identify minimum information that                     may not support them in the ways
                                                  education addressing the many factors                   must be communicated to consumers                     consumers have come to expect. We are
                                                  that can affect the amount of ‘‘stand-by                regarding backup power. In this respect,              persuaded by commenters who support
                                                  time’’ a backup power solution                          we require providers to disclose to                   more fulsome disclosures of service
                                                  provides. The California PUC urges the                  subscribers the following information:                limitations. Accordingly, we require
                                                  Commission ‘‘to mandate that service                    (1) Availability of backup power                      providers of Covered Service to inform
                                                  providers give customers educational                    sources; (2) service limitations with and             subscribers about the impact of power
                                                  materials consistent with California’s                  without backup power during a power                   outages on the use of 911 services and
                                                  existing requirements,’’ which include,                 outage; (3) purchase and replacement                  the type of service that will continue to
                                                  for example, requiring providers to tell                options; (4) expected backup power                    work with backup power. For example,
                                                  their customers that their services                     duration; (5) proper usage and storage                the obligation may be satisfied by
                                                  require backup power on the customer’s                  conditions for the backup power source;               notifying subscribers that voice service
                                                  premises, limitations of service, and                   (6) subscriber backup power self-testing              will be unavailable during a power
                                                  potential service failure during power                  and monitoring instructions; and (7)                  outage without backup power, and that
                                                  outages. The California PUC also                        backup power warranty details, if any.                this backup power will not also power
                                                  requires providers to tell consumers                    In order to minimize the burden on                    services other than voice. Further, to the
                                                  about how to best ‘‘maximize the ability                smaller providers, we direct the PSHSB                extent the provider has information
                                                  to make or receive necessary phone calls                to work with CGB to develop such forms                about other services at the subscriber
                                                  during an outage.’’                                     or other documents, prior to the                      premises—for example, home security,
                                                     58. In addition to commenting on the                 implementation date of these rules for                medical monitoring devices, or other
                                                  appropriate level of disclosure in any                  smaller providers, as herein defined, for             similar equipment—the provider should
                                                  Commission requirements, some                           the use of smaller providers in                       notify the subscriber that these services
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  commented on the opportunity for                        disclosing the required notifications to              will not be powered by the backup
                                                  states to require more extensive                        their subscribers, including subscribers              power source for voice service.
                                                  disclosure. For example, the California                 with disabilities.                                       63. At this time, we decline to require
                                                  PUC requests that the Commission                           61. Availability of Backup Power                   providers of a Covered Service to
                                                  allow the states to ‘‘adopt more                        Sources. Subscribers must be made                     disclose the limitations of cordless
                                                  extensive backup power requirements.’’                  aware whether their service is capable                handsets during power outages.
                                                  Similarly, NARUC suggested that the                     of accepting backup power and, after the              Commenters such as US Telecom and
                                                  Commission establish ‘‘a floor’’ that                   initiation of service, whether they may               California PUC note that cordless


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00042   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                                    Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations                                          62481

                                                  phones rely on commercial power, and                    of the proper backup power storage and                greatly enhance the public’s ability to
                                                  will not function during a power outage.                charging conditions so that subscribers               maintain critical communications
                                                  Accordingly, the California PUC                         know, for example, whether battery                    during power outages.
                                                  supports a requirement that providers                   power life, capacity, or run time will                  68. Warranty. If the subscriber
                                                  tell consumers that ‘‘cordless phones                   decline, whether the batteries must be                acquires the backup power from the
                                                  will not work in power outage.’’                        replaced after a certain amount of time,              provider, the provider must explain the
                                                  However, we observe that the concern                    and the proper storage temperatures.                  elements of the warranty, if any, such as
                                                  about cordless phones not functioning                   That is, the information provided must                the warranty expiration date, and under
                                                  during a power outage exists regardless                 at a minimum clearly inform subscribers               what circumstances a replacement
                                                  of the underlying network providing                     about the impact of environmental                     would be provided. We note that several
                                                  service to a subscriber; that is, it is an              factors.                                              providers already effectively offer
                                                  equipment issue that does not depend                       66. We strongly encourage providers                online information regarding
                                                  on the type of underlying network—                      to assist subscribers in developing a                 replacement procedures, which suggests
                                                  copper, fiber, or cable. Accordingly, we                plan for extended backup power by                     that this is information that is helpful to
                                                  do not believe it is imperative to impose               notifying them of options to extend                   consumers in preserving their ability to
                                                  such an obligation here on the service                  backup power beyond the life of the                   reach 911.
                                                  provider.                                               battery. For example, providers could
                                                                                                                                                                c. Availability of Required Information
                                                     64. Purchasing and Replacement                       inform subscribers that they could
                                                  Options. Providers of Covered Service                   purchase several backup power units for                  69. Each element of the information
                                                  must inform subscribers about backup                    use during prolonged outages, and                     described above must be given to
                                                  power purchasing and replacement                        provide directions for rotating these as              subscribers both at the point of sale and
                                                  options to enable subscribers to make                   required to keep the units charged. We                annually thereafter, as described below.
                                                  informed decisions regarding whether to                 also strongly encourage providers to                  This information will help subscribers
                                                  purchase backup power and how to find                   inform subscribers of any available                   plan in advance to extend the
                                                  backup power that is compatible with                    accessories such as solar or car chargers,            effectiveness of their backup power and
                                                  the service. If, after the initiation of                which may be able to recharge a                       ultimately, as we stated in the NPRM,
                                                  service, the provider does not sell a                   depleted backup power unit. And, when                 count on the continued availability of
                                                  backup power source directly to                         applicable, providers should inform                   911 service in harsh weather conditions
                                                  subscribers, the provider must give                     subscribers of the availability of                    or other emergencies when consumers
                                                  subscribers enough identification                       deployed mobile charging stations. This               are most vulnerable.
                                                  information about what type of power                    information will arm subscribers with                    70. We sought comment in the NPRM
                                                  source is compatible as well as                         the knowledge necessary to be prepared                on when providers should make
                                                  purchasing options. Such identifying                    for extended power outages and to take                information available regarding backup
                                                  information must, at a minimum,                         steps to mitigate disruption to their 911             power. For example, we asked whether
                                                  include where to purchase a power                       communications.                                       the information should be made
                                                  source, the approximate cost, and the                      67. Testing and Monitoring. Although               available at the point of sale, at the
                                                  voltage and type of battery that is                     we do not require providers to monitor                initial set up of service, or at some other
                                                  compatible with the service. That many                  backup power sources, when the                        point in the process. We also asked
                                                  providers currently make this                           subscriber purchases backup power                     whether providers should make detailed
                                                  information available suggests that the                 directly from the provider, the provider              backup power information available
                                                  burden of doing so is not unreasonable.                 must inform and instruct subscribers                  prior to a predicted extreme weather
                                                     65. Backup Power Duration. Providers                 about how to self-monitor and self-test               event or other anticipated emergency.
                                                  of Covered Service must inform                          the backup power source. Several                         71. Commenters support disclosure of
                                                  subscribers about the expected duration                 commenters support such a                             backup power information to
                                                  of the backup power source and factors                  requirement, and we find the analogy in               subscribers at various points in time.
                                                  that impact duration, e.g., usage and                   the comments of MDTC to be                            For example, the Attorneys General
                                                  storage conditions. We agree with the                   appropriate: ‘‘like smoke alarms, IP                  argue that the Commission should
                                                  commenters who argue that standby                       equipment have similar importance to                  inform subscribers ‘‘when new service
                                                  time can be affected by many factors.                   personal and public safety and is                     requires additional equipment to access
                                                  Therefore, in addition to explaining the                usually dependent upon the user for                   emergency services in a power outage.’’
                                                  length of time the provider’s backup                    periodic testing and battery                          The CPUC supports providing
                                                  power source is expected to power the                   replacement.’’ We are persuaded by                    information upon ‘‘service initiation
                                                  service in standby mode and, to the                     these commenters that providers must                  and annually thereafter regarding
                                                  extent possible, the expected amount of                 clearly explain how a subscriber may                  backup power,’’ as well as sending ‘‘an
                                                  talk time, providers of Covered Service                 test, monitor, and maintain the backup                annual reminder to customers to check
                                                  must notify subscribers of the proper                   power source. We observe that several                 the status of their battery.’’ On the other
                                                  backup power usage and storage                          providers are currently effectively                   hand, providers such as CenturyLink
                                                  conditions, and how these affect the                    providing pictorial or other detailed                 see value in asking ‘‘at the point-of-sale’’
                                                  backup power source operation during a                  explanations about subscriber self-                   if their customers want backup power,
                                                  power outage. This obligation includes                  testing and self-monitoring of backup                 at which time consumers will be
                                                  identifying how subscribers may limit                   power. Given their ongoing relationship               assessed a ‘‘one-time, non-recurring
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  and conserve backup power both before                   with their subscribers, we find that                  charge.’’
                                                  and during a power outage. We agree                     providers are in the best position to                    72. We are persuaded by comments
                                                  with the suggestion of the City of New                  notify and remind subscribers about                   supporting an initial disclosure at the
                                                  York that providers furnish                             how to test and monitor backup power.                 point of sale for the new service and an
                                                  ‘‘information to assist the [subscriber] in             By furnishing specific instructions to                annual disclosure for all subscribers,
                                                  extending the useful life of battery                    subscribers on how to self-monitor and                both new and existing. We agree with
                                                  backup.’’ Accordingly, providers of                     test backup power sources, providers                  AT&T that subscribers should have the
                                                  Covered Service must advise subscribers                 will decrease consumer confusion, and                 information they need to ‘‘shop among


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00043   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                  62482             Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations

                                                  competitive alternatives for backup                     email would not be a means reasonably                 Commission will further reduce
                                                  power, including the alternative of                     calculated to reach that subscriber.                  compliance costs by providing guidance
                                                  opting out of backup power altogether.’’                   75. We observe that many providers                 as to the required notifications to
                                                  As commenters note, service providers                   use a variety of methods to offer backup              subscribers. Accordingly, the costs of
                                                  have an important role in disseminating                 power source information on their Web                 satisfying the notification requirement
                                                  information to their subscribers. AARP                  sites as well as in welcome kits,                     should be minimal for service providers,
                                                  states that the ‘‘availability and                      including charts, pictorial explanations,             and the benefits of informing consumers
                                                  distribution of accurate information                    and links to backup power source                      of backup power solutions in order to
                                                  related to CPE backup power from                        manufacturers. We encourage providers                 reach 911 service from the subscriber
                                                  reliable sources is an important means                  to continue to do this, as long as                    premises during power outages, far
                                                  to empower consumers.’’ Equipped with                   required disclosures are reasonably                   outweighs any such minimal costs.
                                                  initial and annual notifications,                       calculated to reach each subscriber.                     77. As with the rules obligating
                                                  including the disclosures and                           Posting information on a Web site may                 providers to offer backup power
                                                  information as described above, all                     be helpful but, by itself, would not                  solutions, there are numerous benefits
                                                  subscribers, both new and existing, will                satisfy our requirement that                          associated with the disclosure
                                                  be in a better position to make backup                  notifications be reasonably calculated to             requirements on how commercial power
                                                  power purchase decisions and conduct                    reach individual subscribers, even for                outages affects VoIP service. Millions of
                                                  regular maintenance in order to ensure                  those subscribers that communicate                    Americans have come to rely on their
                                                  access to 911 services during power                     with the provider via online means.                   TDM voice service working during a
                                                  outages.                                                Further, we are persuaded by                          commercial power outage to call 911.
                                                     73. We also sought comment on how                    commenters that there are populations,                With this backdrop, educating
                                                  providers should make backup power                      such as the elderly or individuals with               consumers that their phones will not
                                                  information available to consumers.                     disabilities, who have no or a very                   work in a commercial power outage
                                                  Commenters suggest that providers                       limited online relationship with the                  absent backup power is essential even if
                                                  should offer information on Web sites,                  provider or otherwise may need more                   the consumer opts not to purchase
                                                  and in individual electronic and paper                  targeted consumer education outreach                  backup power. At a minimum, an
                                                  billing materials. ACA, for example,                    beyond posting online information.                    educated consumer will not have the
                                                  states that its members use a variety of                   76. We believe that the cost of these              expectation of relying on a VoIP service
                                                  approaches, such as posting information                 backup power disclosure requirements                  only to have it fail to operate when the
                                                  on the operator’s Web site, to inform                   will be minimal and, thus, will be                    consumer tries to make a 911 call,
                                                  subscribers about backup power                          exceeded by the significant benefits we               wasting valuable time in the process. In
                                                  supplies for CPE. CenturyLink states                    expect to result from this subscriber                 this way the consumer notifications not
                                                  that ‘‘service providers are increasingly               disclosure, such as enhanced subscriber               only promote the availability of 911
                                                  communicating with customers about                      access to 911 services. Among other                   service in power outages, pursuant to
                                                  the issue of backup power,’’ and                        things, we note that the vast majority of             our statutory mandate governing IP
                                                  supplementing brochures provided to                     providers already furnish subscribers                 transitions, but also promote the ‘‘safety
                                                  customers with information on the                       with some backup power information.                   of life and property through the use of
                                                  company Web site. ESA raises concerns                   As a result of current disclosure                     wire and radio communication,’’ the
                                                  that there may be scenarios, for example                practices, we expect that only a small                Commission’s statutory charge, by
                                                  with the elderly, requiring ‘‘personal                  share of the providers will need to take              enabling customers to know the
                                                  interaction with consumers to assist                    additional steps to comply with these                 limitations of their service in an power
                                                  with upgrading or changing a battery.’’                 rules beyond modifications to existing                outage situation and to make alternate
                                                  NTCA, GVNW, and Vantage Point                           disclosures. Similarly, providers already             arrangements—either via a backup
                                                  Solutions suggest that consumers that                   furnish subscribers with information                  power solution or alternate means of
                                                  ‘‘utilize an assistive device in                        upon initiation of service, and are free              communication—to ensure the 911 call
                                                  connection with a disability’’ should be                to include the information we require                 can go through. This is consistent with
                                                  part of the consumer education process.                 herein with the other materials,                      our findings with respect to requiring
                                                     74. We seek to provide flexibility                   removing the need for a special cost of               minimum wireless location accuracy
                                                  regarding the manner in which                           distribution. Also, in order to limit costs           where we found that the rules ‘‘will
                                                  providers inform their subscribers,                     to providers, we make clear above that                improve emergency response times,
                                                  while also honoring any preferences                     a service provider may fulfill its                    which, in turn, will improve patient
                                                  expressed by customers. We thus permit                  disclosure obligation via any means                   outcomes, and save lives.’’ We find,
                                                  providers to convey both the initial and                reasonably calculated to reach the                    therefore, that it is reasonable to expect
                                                  annual disclosures and information                      consumer, while also honoring any                     that the rules we adopt today will save
                                                  described above by any means                            preference expressed by the customer.                 lives and result in numerous other
                                                  reasonably calculated to reach the                      Such methods may include electronic                   benefits that are less quantifiable but
                                                  individual subscriber. For example, a                   outreach, including email notification                still advance important public interest
                                                  provider may meet this obligation                       and paperless billing statements; paper               objectives. Given that the notification
                                                  through a combination of disclosures                    copies are not required for subscribers               requirements contained herein have
                                                  via email, an online billing statement, or              who access and receive information                    minimal associated costs, we find that
                                                  other digital or electronic means for                   through those means. The annual                       the benefits of these rules far exceed the
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  subscribers that communicate with the                   notification associated with this                     costs.
                                                  provider through these means. For a                     requirement gives service providers
                                                  subscriber that does not communicate                    ample time to plan, for example                       3. Community Outreach
                                                  with the provider through email and/or                  including the appropriate notifications                  78. In the NPRM, we sought comment
                                                  online billing statements—such as                       in normally-distributed billing                       on whether we should require providers
                                                  someone who ordered service on the                      statements in a manner that does not                  to develop and implement consumer
                                                  phone or in a physical store and                        serve to increase the number of printed               education plans regarding the
                                                  receives a paper bill by regular mail—                  pages distributed. As noted above, the                availability of backup power. We also


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00044   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                                    Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations                                         62483

                                                  inquired whether there is a need for                    to maintain sufficient supplies of                       84. In this Report and Order, we
                                                  measures beyond written notice to                       batteries and other UPS equipment).                   exercise this broad and longstanding
                                                  customers. The few commenters that                        81. We also note that many                          authority over 911 to impose
                                                  addressed this issue see a need for                     communities have a robust telephone-                  requirements on residential facilities-
                                                  outreach beyond written disclosures to                  based alert capability to warn residents              based voice service providers in their
                                                  subscribers for the Nation to make the                  of emergencies in their area. For this                provision of 911 service. Our adoption
                                                  transition to an all-IP environment                     reason, and for the great value in being              of rules to enable the continued
                                                  effectively and with the least amount of                able to receive incoming calls from                   provision of 911 service during power
                                                  consumer confusion. We agree with                       emergency services personnel, providers               outages—a logical component of the
                                                  NASUCA that a backup requirement                        of covered services should organize                   larger duty to provide 911 service in
                                                  without a comprehensive consumer                        their outreach to subscribers pursuant to             general—lies clearly within this
                                                  education plan would be of limited                      this Report and Order around the goal                 authority. The Commission’s ‘‘broad
                                                  value, and we find that a truly                         of sustaining continuous                              authority’’ over 911 is grounded in
                                                  comprehensive plan should contain an                    communications availability.                          multiple statutory provisions, as
                                                  outreach component. That is, as noted                      82. In order to minimize cost and                  discussed above, that work together to
                                                  by the Massachusetts Department of                      provide maximum flexibility, at this                  promote universal access to 911. The
                                                  Telecommunications and Cable                            time, we encourage, but do not require,               rules we adopt today contribute to the
                                                  (MDTC), written notice to subscribers is                all providers to engage in the type of                implementation of this statutory scheme
                                                  only a portion of the consumer outreach                 community outreach that would be                      by facilitating the provision of 911
                                                  and education that is necessary during                  required for a consumer education plan                service under specific circumstances:
                                                  these times of technology transitions.                  to truly be considered comprehensive.                 when a customer is relying on a
                                                     79. We agree with MDTC that to                       D. Legal Authority                                    residential voice service that is not line-
                                                  provide for flexibility in the delivery of                                                                    powered to place a 911 call during a
                                                  technology transition information, while                   83. Today we adopt rules to educate
                                                                                                                                                                power outage. These rules will ensure
                                                  ensuring its accuracy and effectiveness,                and empower consumers to take
                                                                                                          necessary steps to ensure that their                  that customers who may face such
                                                  providers should develop outreach and                                                                         circumstances are aware of the
                                                  education plans in coordination with                    ‘‘home phone’’ is capable of making 911
                                                                                                          calls during a power outage. These rules              limitations of their service and
                                                  state, local, and tribal agencies and                                                                         empowered with options for
                                                  community organizations. Our                            are well-grounded in the ‘‘broad public
                                                                                                          safety and 911 authority Congress has                 maintaining 911 access in the event of
                                                  Intergovernmental Advisory Committee                                                                          power loss, closing a potential gap in
                                                  (IAC) notes that ‘‘education efforts must               granted the FCC.’’ Congress created the
                                                                                                          Commission, in part, ‘‘for the purpose of             the provision of 911 service. This Report
                                                  include all levels of governments that                                                                        and Order further advances the
                                                  interact with consumers. In this manner,                promoting safety of life and property
                                                                                                          through the use of wire and radio                     Commission’s statutorily mandated
                                                  state, local and tribal governments will                                                                      responsibilities over 911 by promoting
                                                  be able to assist consumers in making                   communications.’’ Congress specifically
                                                                                                          directed the Commission to ‘‘designate                the availability of 911 service during
                                                  informed choices that satisfy their                                                                           times when reports of emergencies and
                                                  communications needs.’’ However, the                    911 as the universal emergency
                                                                                                          telephone number within the United                    requests for assistance may be
                                                  IAC further believes that providers                                                                           particularly urgent, as well as by
                                                  instead of the FCC, state, local or tribal              States for reporting an emergency to
                                                                                                          appropriate authorities and requesting                enabling persons with disabilities to
                                                  governments should have the primary
                                                                                                          assistance,’’ in legislation the purpose of           maintain 911 access during such
                                                  responsibility to do consumer outreach
                                                                                                          which was to ‘‘encourage and facilitate               periods. The rules will thus help the
                                                  on technology transitions. Thus, the IAC
                                                                                                          the prompt deployment through the                     Commission more effectively implement
                                                  asserts that the FCC should ‘‘require [ ]
                                                                                                          United States of a seamless, ubiquitous,              Congress’s statutory goals of ubiquitous
                                                  providers to inform consumers of their
                                                                                                          and reliable end-to-end infrastructure                and reliable 911 service for all
                                                  options well before actual transition
                                                                                                          for communications . . . to meet the                  Americans.
                                                  occurs.’’ For example, the IAC
                                                  recommends that ‘‘providers should                      Nation’s public safety and other                         85. Many commenters agree that our
                                                  have dedicated phone, Web site and                      communications needs.’’ The DC Circuit                adoption of requirements to promote
                                                  email contacts for consumers to report                  has also specifically upheld the                      continuity of access to 911 during
                                                  issues, and to obtain information. The                  Commission’s extension to                             power outages is an appropriate—and
                                                  objective of such outreach should be to                 interconnected VoIP providers of the                  necessary—exercise of our statutory
                                                  provide information and answer                          obligation ‘‘already required of                      public safety authority.
                                                  questions, rather than market new                       providers of traditional telephone                    Communications Workers of America
                                                  services to consumers.’’                                service [to] transmit 911 calls to a local            states that ‘‘[t]he Commission has the
                                                     80. We recognize that many providers                 emergency authority.’’ In 2008, Congress              statutory obligation to promote public
                                                  already offer consumer education                        expressly confirmed that authority to                 safety through our nation’s
                                                  beyond providing mere written notice,                   adopt rules that ‘‘promote and enhance                communications networks’’ and affirms
                                                  and they already engage in community                    public safety by facilitating the rapid               our view that ‘‘protecting public safety
                                                  outreach as well. We see great value in                 deployment of IP-enabled 911 and E–                   is one of the core principles that must
                                                  providers forging closer relationships                  911 services.’’ Congress has also charged             guide [the Commission’s] policies
                                                  with communities, so that local officials               the Commission with promulgating                      during the technology transition.’’ The
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  can know and understand the likelihood                  ‘‘regulations, technical standards,                   Alarm Industry Communications
                                                  that their residents will be able to                    protocols, and procedures as are                      Committee (AICC) also contends that
                                                  summon help, or communicate the                         necessary to achieve reliable,                        ‘‘[b]ackup power requirements should
                                                  status of their welfare in an extended                  interoperable communication that                      be adopted to protect consumers and to
                                                  power outage. Community outreach can                    ensures access by individuals with                    meet the Commission’s mandate to
                                                  also help ensure the best possible                      disabilities to an Internet protocol-                 promote the national defense and the
                                                  outcome before disaster strikes (for                    enabled emergency network, where                      safety of life and property’’ under Title
                                                  example, by encouraging communities                     achievable and technically feasible.’’                I. Similarly, the PA PUC ‘‘believes that


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00045   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                  62484             Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations

                                                  the [FCC] has the statutory authority to                purpose of these requirements is to                   is not more extensive than necessary to
                                                  address this issue and require that                     promote access to and awareness of                    serve that interest. As we have noted,
                                                  providers have sufficient backup power                  solutions that enable 911 calls to be                 the government has a substantial
                                                  to maintain 911/E911 connectivity                       originated during a power outage. The                 interest, enshrined in Section 1 of the
                                                  during commercial power outages so                      requirements therefore cannot be said to              Communications Act, in protecting the
                                                  long as the federal rules do not preempt                apply ‘‘after . . . communications have               safety of the public through the use of
                                                  more stringent state rules.’’ AARP                      occurred.’’ The fact that devices or                  wire and radio communications. The
                                                  comments that ‘‘[w]ith regard to the                    equipment operating on backup power                   Commission has also long observed that
                                                  NPRM’s questions regarding whether                      may remain in standby mode when not                   ‘‘the government has a substantial
                                                  the Commission has sufficient authority,                in use, or that our performance rule is               interest in ensuring that consumers are
                                                  the answer is an unequivocal yes.’’                     defined in terms of ‘‘standby time,’’                 able to make intelligent and well-
                                                     86. Commenters also cite the                         does not change this analysis. Defining               informed commercial decisions in an
                                                  importance of safeguarding 911 service                  the rule in terms of ‘‘standby time’’ is              increasingly competitive marketplace.’’
                                                  in particular as a basis for our adoption               simply a means of specifying the period               The disclosures here directly advance
                                                  of rules proposed in the NPRM. The                      of time in which the rule requires 911                that government interest by warning
                                                  Electronic Security Association notes                   service be provided—e.g., during the                  consumers of the potential loss of access
                                                  that ‘‘[n]ot only is standby power for                  first 8 hours of an outage. Backup power              to 911 during commercial power
                                                  communications important for life                       solutions offered under our rules are not             failures and informing consumers of
                                                  safety systems, but it is also critical in              required to meet any performance                      backup power options to maintain
                                                  allowing the consumer to dial 911                       standards that apply while a device is in             continuity of such communications.
                                                  during [power] outages.’’ AARP                          standby mode, except that the solution                Like the ‘‘anti-cramming’’ rules the
                                                  similarly observes that ‘‘[t]he issue of                must make 911 calling ‘‘available’’                   Commission adopted in 2012, we
                                                  CPE backup power also overlaps the 911                  throughout the standby period.                        conclude that the disclosure
                                                  reliability issue’’ and suggests that                      88. For similar reasons, we find                   requirements adopted here withstand
                                                  backup power requirements would fill                    unavailing AT&T’s comment that                        Constitutional scrutiny, in that they
                                                  an existing gap because the                             ‘‘[b]ecause the Commission has                        advance the substantial government
                                                  Commission’s 911 reliability rules ‘‘do                 deregulated CPE, it has disclaimed any                interests of protecting public safety and
                                                  not address the reliability of access                   authority to impose CPE backup power                  ensuring that consumers are able to
                                                  network components that are associated                  requirements.’’ The rules we adopt                    make informed choices about
                                                  with the origination of 911 calls.’’                    today do not apply to CPE or regulate                 uninterrupted access to 911 through
                                                     87. We disagree with Corning’s                       CPE. Rather, those rules govern the                   networks that lack line power without
                                                  suggestion that the rules we adopt today                obligations of service providers to                   requiring any more extensive disclosure
                                                  contravene the holding of American                      provide access to 911 service during a                than necessary to serve those interests.
                                                  Library. That court’s statement that the                commercial power outage in the absence                   90. Moreover, under the standard set
                                                  Commission’s ‘‘general jurisdictional                   of line powering. While solutions                     forth in Zauderer, compelled disclosure
                                                  grant does not encompass the regulation                 offered under our flexible performance                of ‘‘purely factual and uncontroversial’’
                                                  of consumer electronics products . . .                  rule may encompass—solely at such                     information is permissible if
                                                  when those devices are not engaged in                   providers’ option—the backup of some                  ‘‘reasonably related to the State’s
                                                  the process of radio or wire                            devices or equipment that might be                    interest in preventing deception of
                                                  transmission’’ is inapposite: the rules                 classified as deregulated CPE, that does              consumers.’’ Courts have also
                                                  we adopt govern the provision of 911                    not mean that our rules cannot                        recognized that other government
                                                  service—which is either ‘‘radio or wire                 encompass such equipment when                         interests beyond preventing consumer
                                                  transmission’’—during power outages.                    powering such equipment (which is                     deception—here, the public safety
                                                  These rules grant providers maximum                     located on a customer’s premises) is part             interest in uninterrupted access to 911—
                                                  flexibility to define the technical                     of the solution chosen by the service                 may be invoked to sustain a disclosure
                                                  parameters of backup power solutions                    provider. As discussed above, there is                mandate under Zauderer. The
                                                  they offer to achieve that goal. In the                 no general requirement to provide                     information about backup power
                                                  absence of line powering, these                         backup power for all equipment that                   disclosed to subscribers under our rules
                                                  solutions may incorporate any number                    might be located at the customer’s                    consists of factual information regarding
                                                  of proprietary and competitively                        premises. Rather, the requirement is                  the limitations of networks not
                                                  sourced inputs, including D-Cell, lead-                 that, in lieu of line powering provided               equipped with line powering, and it is
                                                  acid or lithium-ion batteries, UPS, solar               as a part of traditional POTS service, a              not disputed that this limitation exists
                                                  panels, power over Ethernet or other                    covered service provider must offer a                 or affects the provision of 911 service
                                                  technologies, including combinations                    backup power solution that provides the               during power outages. This information
                                                  thereof, provided that the solution on                  customer with 911 access during a                     plays an important role in preventing
                                                  ‘‘offer’’ can support the required                      commercial power outage.                              consumer confusion by setting clear and
                                                  continuity of 911 service during a power                   89. First Amendment. The disclosure                consistent expectations about
                                                  failure. This service-oriented                          obligations we adopt today are                        subscribers’ ability to reach 911 in an
                                                  requirement is thus far different from                  permissible under the First Amendment                 emergency. It also allows consumers to
                                                  the ‘‘broadcast flag’’ rule struck down in              of the U.S. Constitution. No commenter                make informed decisions about the
                                                  American Library. The court held that                   asserts otherwise. In general,                        amount and type of backup power they
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  the latter rule impermissibly ‘‘impose[d]               government regulation of commercial                   purchase, further reducing consumer
                                                  regulations on devices that receive                     speech will be found compatible with                  confusion and preserving public trust in
                                                  communications after those                              the First Amendment if it meets the                   the 911 system as a means of reaching
                                                  communications have occurred’’ rather                   criteria laid out in Central Hudson: (1)              emergency assistance.
                                                  than on ‘‘communications themselves.’’                  There is a substantial government
                                                  The requirements we adopt are                           interest; (2) the regulation directly                 E. Sunset Date
                                                  obligations with respect to radio and                   advances the substantial government                     91. The rules we adopt today ensure
                                                  wire communications. Indeed, the                        interest; and (3) the proposed regulation             that consumers are adequately informed


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00046   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                                    Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations                                           62485

                                                  about the role of backup power in the                   comment on how the Commission might                   power will become effective on the
                                                  technology transitions and that they                    further reduce the information                        same extended three-year schedule as
                                                  have the ability to purchase backup                     collection burden for small business                  for all other providers.
                                                  power for their service. Clearly                        concerns with fewer than 25 employees,                   98. Such an accommodation
                                                  delineating the respective roles of the                 in the FRFA in Appendix B of the full                 addresses the concerns of some
                                                  provider and the consumer during this                   Report and Order, paragraphs 19–23. In                commenters that adopting mandatory
                                                  period of transition minimizes the                      this document, we have assessed the                   backup power obligations for all
                                                  potential for confusion or for unforeseen               effects of the new rules adopted herein               customers will be particularly
                                                  lapses in 911 service availability during               on small business concerns and find                   burdensome for providers with a small
                                                  power outages, and creates baseline                     that the rules adopted here minimize                  number of lines, and is in line with
                                                  expectations. Over time, we expect that                 the information collection burden on                  Commission precedent. While we do
                                                  both the marketplace and consumer                       such entities.                                        not think that the more limited backup
                                                  expectations will evolve along with                                                                           power obligations that we adopt herein
                                                                                                          C. Congressional Review Act                           will be overly burdensome for any
                                                  advances in technology so that adequate
                                                  backup power solutions and availability                   95. The Commission will send a copy                 provider, we agree with ACA’s
                                                  will become commonplace. In light of                    of this Report and Order to Congress                  suggestion that providers with a small
                                                  this prediction, we will sunset the                     and the Government Accountability                     number of lines are more resource-
                                                  requirements adopted in this Report and                 Office pursuant to the Congressional                  constrained and would benefit from
                                                  Order on September 1, 2025. We                          Review Act, see 5 U.S.C. 801(a)(1)(A).                additional time to obtain any necessary
                                                  anticipate that this ten-year period will               D. Implementation                                     equipment and prepare materials and
                                                  allow sufficient time for a ‘‘cultural and                                                                    processes for disclosure, and prepare
                                                                                                             96. In this Report and Order, we                   materials and processes for disclosure.
                                                  educational shift’’ in consumer                         require that providers of non-line-
                                                  expectations, along with marketplace                                                                          We note that ACA asserts that smaller
                                                                                                          powered, facilities-based, fixed, voice               operators should be defined as those
                                                  and technological development.                          residential service, including fixed
                                                  Consumers will then be empowered to                                                                           with fewer than 100,000 voice service
                                                                                                          wireless service intended as POTS                     customers, and cites the Rural Call
                                                  assume primary responsibility over their                replacement, offer new subscribers at
                                                  backup power, similar to the                                                                                  Completion Report and Order in
                                                                                                          the point of sale, at the subscriber’s                support of its position. However, we
                                                  responsibility consumers now bear for                   option and expense, a backup power
                                                  mobile devices they may rely on for 911                                                                       observe that the Rural Call Completion
                                                                                                          solution that provides 911 access for 8               Report and Order did not define smaller
                                                  access during an emergency. If,                         hours during a commercial power loss.
                                                  however, we determine after ten years                                                                         providers in terms of the number of
                                                                                                          Except as noted below, this provision of              customers, but subscriber lines. We find
                                                  that the marketplace and expectations                   our rules will become effective 120 days
                                                  have not evolved in the predicted                                                                             that providing an accommodation to
                                                                                                          after publication of this Report and                  providers on the basis of subscriber
                                                  manner we may take appropriate action                   Order in the Federal Register. Within
                                                  designed to extend and/or modify the                                                                          lines, rather than subscribers, is
                                                                                                          three years of the foregoing effective                reasonably designed to minimize
                                                  requirements contained herein.                          date of the 8-hour obligation, providers              burdens on smaller providers without
                                                  IV. Procedural Matters                                  must also offer a 24-hour backup power                compromising the effectiveness of the
                                                                                                          solution. We seek to ensure that the                  rules. The number of lines better reflects
                                                  A. Final Regulatory Flexibility Act                     measures we adopt are timely                          a provider’s size and share of traffic
                                                  Analysis                                                implemented so that consumers can                     than does the number of subscribers. We
                                                    92. Pursuant to the Regulatory                        begin to realize the benefits as soon as              find that limited, additional time to
                                                  Flexibility Act of 1980, as amended                     feasible, while allowing a reasonable                 comply with these aspects of our rules
                                                  (RFA), an Initial Regulatory Flexibility                time for providers to prepare. Except as              strikes the right balance between the
                                                  Analysis (IRFA) was included in the                     noted below, the disclosure provisions                particular circumstances and resource
                                                  NPRM in PS Docket No. 14–174. The                       of the rules will become effective 120                constraints of providers that serve fewer
                                                  Commission sought written comment on                    days after the Commission notifies the                customers and ensuring that consumers
                                                  the proposals in this docket, including                 public that approval has been received                have backup power options available in
                                                  comment on the IRFA. This Final                         from the Office of Management and                     a timely manner.
                                                  Regulatory Flexibility Analysis                         Budget.                                                  99. For this purpose, we rely on the
                                                  conforms to the RFA.                                       97. We delay the effective date of two             standard adopted in the 2013 Rural Call
                                                                                                          of the rules we adopt herein for                      Completion proceeding. In the Rural
                                                  B. Paperwork Reduction Act Analysis                     providers that have fewer than 100,000                Call Completion Report and Order, the
                                                    93. This document contains new                        domestic retail subscriber lines for an               Commission applied the requirements
                                                  information collection requirements                     additional 180 days to afford ample time              to providers of long-distance voice
                                                  subject to the Paperwork Reduction Act                  to modify their current practices as                  service who make the initial long-
                                                  of 1995 (PRA), Public Law 104–13. It                    necessary to come into compliance with                distance call path choice for more than
                                                  will be submitted to the Office of                      our rules. The obligation of these                    100,000 domestic retail subscriber lines.
                                                  Management and Budget (OMB) for                         providers to offer 8 hours of backup                  Accordingly, in this proceeding, in an
                                                  review under Section 3507(d) of the                     power will become effective 300 days                  effort to ensure a reasonable burden of
                                                  PRA. OMB, the general public, and                       after publication of this Report and                  compliance, we give providers with
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  other Federal agencies are invited to                   Order in the Federal Register. The                    fewer than 100,000 domestic retail
                                                  comment on the new or modified                          disclosure obligations for these                      subscriber lines an additional 180 days
                                                  information collection requirements                     providers will become effective 300                   to comply with the obligations adopted
                                                  adopted in this Report and Order.                       days after the Commission notifies the                in this Report and Order
                                                    94. In addition, we note that pursuant                public that approval has been received
                                                  to the Small Business Paperwork Relief                  from the Office of Management and                     V. Ordering Clauses
                                                  Act of 2002, Public Law 107–198, see 44                 Budget. The obligation of such                          100. Accordingly, it is ordered,
                                                  U.S.C. 3506(c)(4), we previously sought                 providers to offer 24 hours of backup                 pursuant to sections 1, 4(i), and


                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00047   Fmt 4700   Sfmt 4700   E:\FR\FM\16OCR1.SGM   16OCR1


                                                  62486             Federal Register / Vol. 80, No. 200 / Friday, October 16, 2015 / Rules and Regulations

                                                  251(e)(3) of the Communications Act of                  offered as a residential service, that is             duration of failing to adhere to proper
                                                  1934, as amended, 47 U.S.C. 151, 154(i),                not line powered.                                     usage and storage;
                                                  251(e)(3); section 101 of the NET 911                      (b) Obligations of providers of a                     (vi) Subscriber backup power self-
                                                  Improvement Act of 2008, Public Law                     Covered Service to offer backup power.
                                                                                                                                                                testing and -monitoring instructions;
                                                  110–283, 47 U.S.C. 615a–1; and section                  Providers of a Covered Service shall, at
                                                                                                                                                                and
                                                  106 of the Twenty-First Century                         the point of sale for a Covered Service,
                                                  Communications and Video                                offer subscribers the option to purchase                 (vii) Backup power warranty details,
                                                  Accessibility Act of 2010, Public Law                   backup power for the Covered Service                  if any.
                                                  111–260, 47 U.S.C. 615c, that this                      as follows:                                              (2) Disclosure reasonably calculated
                                                  Report and Order in PS Docket No. 14–                      (1) Eight hours. Providers shall offer             to reach each subscriber. A provider of
                                                  174 is adopted.                                         for sale at least one option with a                   a Covered Service shall make
                                                    101. It is further ordered that part 12               minimum of eight hours of standby                     disclosures required by this rule in a
                                                  of the Commission’s Rules, 47 CFR part                  backup power.                                         manner reasonably calculated to reach
                                                  12, is hereby amended as set forth in                      (2) Twenty-four hours. By February
                                                                                                                                                                individual subscribers, with due
                                                  Appendix C of the full Report and                       13, 2019, providers of a Covered Service
                                                                                                                                                                consideration for subscriber preferences.
                                                  Order.                                                  shall offer for sale also at least one
                                                                                                          option that provides a minimum of                     Information posted on a provider’s
                                                    102. It is further ordered that the                                                                         public Web site and/or within a
                                                  requirements of this Report and Order                   twenty-four hours of standby backup
                                                                                                          power.                                                subscriber portal accessed by logging
                                                  will become effective as specified in                                                                         through the provider’s Web site are not
                                                  paragraphs 96–99 herein.                                   (3) At the provider’s discretion, the
                                                                                                          options in paragraphs (b)(1) and (2) of               sufficient to comply with these
                                                    103. It is further ordered that,                                                                            requirements.
                                                  pursuant to Section 801(a)(1)(A) of the                 this section may be either:
                                                                                                             (i) A complete solution including                     (3) The disclosures required under
                                                  Congressional Review Act, the
                                                                                                          battery or other power source; or                     this paragraph are in addition to, but
                                                  Commission shall send a copy of this
                                                                                                             (ii) Installation by the provider of a             may be combined with, any disclosures
                                                  Report and Order to Congress and to the
                                                                                                          component that accepts or enables the                 required under § 9.5(e) of this chapter.
                                                  Government Accountability Office.
                                                                                                          use of a battery or other backup power
                                                    104. It is further ordered that the                   source that the subscriber obtains                       (e) Obligation with respect to existing
                                                  Commission’s Consumer and                               separately. If the provider does not offer            subscribers. Providers are not obligated
                                                  Governmental Affairs Bureau, Reference                  a complete solution, the provider shall               to offer for sale backup power options
                                                  Information Center, shall send a copy of                install a compatible battery or other                 to or retrofit equipment for those who
                                                  this Report and Order, including the                    power source if the subscriber makes it               are subscribers as of the effective date
                                                  Final Regulatory Flexibility Analysis, to               available at the time of installation and             listed in paragraph (f) of this section for
                                                  the Chief Counsel for Advocacy of the                   so requests. After service has been                   the obligations in paragraph (b)(1) of
                                                  Small Business Administration.                          initiated, the provider may, but is not               this section, but shall provide such
                                                  List of Subjects 47 CFR Part 12                         required to, offer to sell any such                   subscribers with the annual disclosures
                                                                                                          options directly to subscribers.                      required by paragraph (d) of this
                                                   Communications equipment, Security                        (c) Backup power required. The
                                                  measures.                                                                                                     section.
                                                                                                          backup power offered for purchase
                                                    Federal Communications Commission.                                                                             (f) Effective dates of obligations. (1)
                                                                                                          under paragraph (b) of this section must
                                                  Marlene H. Dortch,                                      include power for all provider-furnished              Except as noted in paragraphs (b)(2) and
                                                                                                          equipment and devices installed and                   (f)(2) of this section, the obligations
                                                  Secretary.
                                                                                                          operated on the customer premises that                under paragraph (b) of this section are
                                                  Final Rules                                             must remain powered in order for the                  effective February 16, 2016, and the
                                                    For the reasons set forth in the                      service to provide 911 access.                        obligations under paragraph (d) of this
                                                  preamble, the Federal Communications                       (d) Subscriber disclosure. (1) The                 section are effective 120 days after the
                                                  Commission amends 47 CFR part 12 as                     provider of a Covered Service shall                   Commission announces approval from
                                                  follows:                                                disclose to each new subscriber at the                the Office of Management and Budget.
                                                                                                          point of sale and to all subscribers to a                (2) For a provider of a Covered
                                                  PART 12—RESILIENCY,                                     Covered Service annually thereafter:                  Service that (together with any entities
                                                  REDUNDANCY AND RELIABILITY OF                              (i) Capability of the service to accept            under common control with such
                                                  COMMUNICATIONS                                          backup power, and if so, the availability             provider) has fewer than 100,000
                                                                                                          of at least one backup power solution                 domestic retail subscriber lines, the
                                                  ■ 1. The authority citation for part 12 is              available directly from the provider, or
                                                  revised to read as follows:                                                                                   obligations in paragraph (b)(1) of this
                                                                                                          after the initiation of service, available
                                                                                                                                                                section are effective August 11, 2016,
                                                    Authority: 47 U.S.C. 151, 154(i), 154(j),             from either the provider or a third party.
                                                  154(o), 155(c), 218, 219, 251(e)(3), 301,               After the obligation to offer for purchase            the obligations in paragraph (b)(2) of
                                                  303(g), 303(j), 303(r), 332, 403, 621(b)(3),            a solution for twenty-four hours of                   this section are effective as prescribed
                                                  621(d); 47 U.S.C. 615a–1; and 47 U.S.C. 615c,           standby backup power becomes                          therein, and the obligations under
                                                  unless otherwise noted.                                 effective, providers must disclose this               paragraph (d) of this section are
                                                  ■ 2. Section 12.5 is added to read as                   information also for the twenty-four-                 effective 300 days after the Commission
asabaliauskas on DSK5VPTVN1PROD with RULES




                                                  follows:                                                hour solution;                                        announces approval from the Office of
                                                                                                             (ii) Service limitations with and                  Management and Budget.
                                                  § 12.5   Backup power obligations.
                                                                                                          without backup power;                                    (g) Sunset date. The requirements of
                                                     (a) Covered service. For purposes of                    (iii) Purchase and replacement                     this section shall no longer be in effect
                                                  this section, a Covered Service is any                  information, including cost;                          as of September 1, 2025.
                                                  facilities-based, fixed voice service                      (iv) Expected backup power duration;
                                                                                                             (v) Proper usage and storage                       [FR Doc. 2015–24845 Filed 10–15–15; 8:45 am]
                                                  offered as residential service, including
                                                  fixed applications of wireless service                  conditions, including the impact on                   BILLING CODE 6712–01–P




                                             VerDate Sep<11>2014   16:45 Oct 15, 2015   Jkt 238001   PO 00000   Frm 00048   Fmt 4700   Sfmt 9990   E:\FR\FM\16OCR1.SGM   16OCR1



Document Created: 2015-12-14 15:23:49
Document Modified: 2015-12-14 15:23:49
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
ContactPublic Safety and Homeland Security Bureau, Linda M. Pintro, at (202) 418-7490 or [email protected] For additional information concerning the Paperwork Reduction Act information collection requirements contained in this document, contact Nicole Ongele at (202) 418-2991 or send an email to [email protected]
FR Citation80 FR 62470 
CFR AssociatedCommunications Equipment and Security Measures

2025 Federal Register | Disclaimer | Privacy Policy
USC | CFR | eCFR