81_FR_45228 81 FR 45095 - Disruptions to Communications

81 FR 45095 - Disruptions to Communications

FEDERAL COMMUNICATIONS COMMISSION

Federal Register Volume 81, Issue 133 (July 12, 2016)

Page Range45095-45118
FR Document2016-16273

In this document, the Federal Communications Commission (Commission) seeks comment on: A proposal to update the Commission's outage reporting requirement rules to address broadband network disruptions, including packet-based disruptions based on network performance degradation; proposed changes to the rules governing interconnected voice over Internet protocol (VoIP) outage reporting to include disruptions based on network performance degradation, update our outage definition to address incidents involving specified network components; and modify the reporting process to make it consistent with other services; reporting of call failures in the radio access network and local access network, and on geography-based reporting of wireless outages in rural areas; and, refining the covered critical communications at airports subject to the Commission's outage reporting requirements.

Federal Register, Volume 81 Issue 133 (Tuesday, July 12, 2016)
[Federal Register Volume 81, Number 133 (Tuesday, July 12, 2016)]
[Proposed Rules]
[Pages 45095-45118]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-16273]


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

FEDERAL COMMUNICATIONS COMMISSION

47 CFR Part 4

[PS Docket No. 15-80, 11-82; FCC 16-63]


Disruptions to Communications

AGENCY: Federal Communications Commission.

ACTION: Proposed rule.

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

SUMMARY: In this document, the Federal Communications Commission 
(Commission) seeks comment on: A proposal to update the Commission's 
outage reporting requirement rules to address broadband network 
disruptions, including packet-based disruptions based on network 
performance degradation; proposed changes to the rules governing 
interconnected voice over Internet protocol (VoIP) outage reporting to 
include disruptions based on network performance degradation, update 
our outage definition to address incidents involving specified network 
components; and modify the reporting process to make it consistent with 
other services; reporting of call failures in the radio access network 
and local access network, and on geography-based reporting of wireless 
outages in rural areas; and, refining the covered critical 
communications at airports subject to the Commission's outage reporting 
requirements.

DATES: Submit comments on or before August 26, 2016, and reply comments 
on or before September 12, 2016.

ADDRESSES: You may submit comments, identified by PS Docket No. 15-80 
and 11-82, by any of the following methods:
     Federal Communications Commission's Web site: http://fjallfoss.fcc.gov/ecfs2/. Follow the instructions for submitting 
comments.
     Filings can be sent by hand or messenger delivery, by 
commercial overnight courier, or by first-class or overnight U.S. 
Postal Service mail. See the SUPPLEMENTARY INFORMATION Section for more 
instructions.
     People with Disabilities: Contact the FCC to request 
reasonable accommodations (accessible format documents, sign language 
interpreters, CART, etc.) by email: [email protected] or phone: 202-418-
0530 or TTY: 202-418-0432.
    For detailed instructions for submitting comments and additional 
information on the rulemaking process, see the SUPPLEMENTARY 
INFORMATION Section of this document.

FOR FURTHER INFORMATION CONTACT: Brenda D. Villanueva, Attorney 
Advisor, Public Safety and Homeland Security Bureau, (202) 418-7005, or 
[email protected].

SUPPLEMENTARY INFORMATION: This is a summary of the Commission's 
Further Notice of Proposed Rulemaking (FNPRM), FCC 16-63, adopted May 
25, 2016, and released May 26, 2016. The full text of this document is 
available for inspection and copying during normal business hours in 
the FCC Reference Center (Room CY-A257), 445 12th Street SW., 
Washington, DC 20554 or

[[Page 45096]]

via ECFS at http://fjallfoss.fcc.gov/ecfs/ ecfs/. The full text may also be 
downloaded at: https://apps.fcc.gov/edocs_public/attachmatch/FCC-16-63A1.pdf.
    Pursuant to sections 1.415 and 1.419 of the Commission's rules, 47 
CFR 1.415, 1.419, interested parties may file comments and reply 
comments on or before the dates indicated on the first page of this 
document. Comments may be filed using the Commission's Electronic 
Comment Filing System (ECFS). See Electronic Filing of Documents in 
Rulemaking Proceedings, 63 FR 24121 (1998).
     Electronic Filers: Comments may be filed electronically 
using the Internet by accessing the ECFS: http://apps.fcc.gov/ecfs/.
     Paper Filers: Parties who choose to file by paper must 
file an original and one copy of each filing. If more than one docket 
or rulemaking number appears in the caption of this proceeding, filers 
must submit two additional copies for each additional docket or 
rulemaking number.
    Filings can be sent by hand or messenger delivery, by commercial 
overnight courier, or by first-class or overnight U.S. Postal Service 
mail. All filings must be addressed to the Commission's Secretary, 
Office of the Secretary, Federal Communications Commission.
     All hand-delivered or messenger-delivered paper filings 
for the Commission's Secretary must be delivered to FCC Headquarters at 
445 12th St. SW., Room TW-A325, Washington, DC 20554. The filing hours 
are 8:00 a.m. to 7:00 p.m. All hand deliveries must be held together 
with rubber bands or fasteners. Any envelopes and boxes must be 
disposed of before entering the building.
     Commercial overnight mail (other than U.S. Postal Service 
Express Mail and Priority Mail) must be sent to 9300 East Hampton 
Drive, Capitol Heights, MD 20743.
     U.S. Postal Service first-class, Express, and Priority 
mail must be addressed to 445 12th Street SW., Washington, DC 20554.
    People with Disabilities: To request materials in accessible 
formats for people with disabilities (braille, large print, electronic 
files, audio format), send an email to [email protected] or call the 
Consumer & Governmental Affairs Bureau at 202-418-0530 (voice), 202-
418-0432 (tty).

Synopsis of Further Notice of Proposed Rulemaking

    In this document, the Federal Communication Commission (Commission) 
seeks comment on proposals to modernize its outage reporting rules to 
increase its ability to detect adverse outage trends and facilitate 
industrywide network improvements. The Commission seeks comment on 
whether and how to update its part 4 outage reporting requirements to 
address broadband, an increasingly essential element in our nation's 
communications networks, along with other streamline proposals. This 
action seeks to ensure that the outage reporting system keeps pace with 
technological change and addresses evolving consumer preference impact 
in order to be better equipped to promote the safety of life and 
property through the use of wire and radio communication.
    In a companion document, a Report and Order and Order on 
Reconsideration in PS Docket No. 15-80, and ET Docket No. 04-35, 
respectively, the Commission adopts several proposals in a Notice of 
Proposed Rulemaking in 2015, and resolves several outstanding matters 
related to its adoption of the part 4 rules in a Report and Order in 
2004.

I. Further Notice of Proposed Rulemaking

    1. As service providers transition from legacy network facilities 
to IP-based networks, the Commission must continue to safeguard the 
reliability and resiliency of all of these interrelated systems. As we 
have observed before, broadband networks and services increasingly 
characterize the environment for the nation's 9-1-1 and NG911 emergency 
communications and, thus, are central to the nation's emergency 
preparedness, management of crises, and essential public safety-related 
communications. To meet the challenge of assuring broadband networks in 
order to carry out its foundational public safety mission, the 
Commission must maintain visibility into TDM-based networks while 
simultaneously ensuring similar visibility into commercial IP and 
hybrid networks. Our current part 4 rules establish outage reporting 
requirements that are in many ways centered on ``circuit-switched 
telephony'' and circuits that involve a ``serving central office.'' The 
proposals in this FNPRM, among other things, aim to update the part 4 
rules to ensure reliability of broadband networks used to deploy 
critical communications services, used both for emergency and non-
emergency purposes. As discussed below, we believe the part 4 rules can 
likely provide the Commission with the necessary situational awareness 
about these broadband networks by updating them to (1) extend their 
application to broadband Internet access services (BIAS), and (2) 
revising the manner in which they apply to existing and future 
dedicated services to ensure a broadband emphasis. In this FNPRM, we 
propose to use the term ``dedicated service'' to refer to those 
services defined in 2013's Special Access Data Collection 
Implementation Order, i.e., ``service that `transports data between two 
or more designated points, e.g., between an End User's premises and a 
point-of-presence, between the central office of a local exchange 
carrier (LEC) and a point-of-presence, or between two End User 
premises, at a rate of at least 1.5 Mbps in both directions (upstream/
downstream) with prescribed performance requirements that include 
bandwidth, latency, or error-rate guarantees or other parameters that 
define delivery under a Tariff or in a service-level agreement.' 
'').These actions, we believe, will ensure that the Commission's 
ability to monitor communications reliability and resiliency keeps pace 
with technological change and the broadband-based capabilities and uses 
of today's evolving networks.
    2. More specifically, we: (i) Seek comment on proposed reporting 
requirements, metrics, and narrative elements for both BIAS and 
dedicated services outages and disruptions, including for network 
performance degradation; and (ii) propose to amend the Commission's 
existing outage reporting requirements for interconnected VoIP to 
reflect disruptions resulting from network performance degradation. In 
addition, we seek further comment on two proposals raised in the Notice 
and aimed at increasing our awareness of certain outages: (i) Reporting 
call failures in both the wireless and wireline/interconnected VoIP 
access networks; and (ii) reporting outages that affect large 
geographic areas but do not trigger the user-minute threshold because 
of sparse population. We also seek comment on establishing outage 
reporting triggers for certain airport communications assets (``special 
offices and facilities'') designated as TSP Level 3 and Level 4 
facilities. Finally, we seek to determine the most cost-effective 
approaches to accomplish these objectives, and accordingly seek comment 
on potential costs and benefits associated with each proposal in the 
FNPRM. To that end, commenters should provide specific data and 
information, such as actual or estimated dollar figures, and include 
any supporting documents and descriptions

[[Page 45097]]

of how any data was gathered and analyzed.
    3. The nation's transition from legacy (i.e., TDM-based) 
communications platforms to IP for communications services has been 
steadily progressing since the last time the Commission expanded its 
outage reporting requirements to include ``newly emerging forms of 
communication'' in 2004. For one thing, consumers have significantly 
increased their dependence on broadband networks. Beyond consumer 
technologies, important sectors are relying increasingly on 
interconnected VoIP and broadband services. Indeed, in 2016, broadband 
service is a central part of most Americans' lives.
    4. Reliance by enterprise customers on dedicated services also 
continues to increase, reflecting the rapid transition of the nation's 
businesses and governmental institutions to broadband powered 
communications. As we recently observed in the Special Access 
proceedings, such services are ``an important building block for 
creating private or virtual private networks across a wide geographic 
area and enabling the secure and reliable transfer of data between 
locations.'' They can also ``provide dedicated access to the Internet 
and access to innovative broadband services.'' They are used by mobile 
wireless providers to backhaul voice and data traffic from cell sites 
to their mobile telephone switching offices. Branch banks and gas 
stations use such connections for ATMs and credit card readers. 
Businesses, governmental institutions, hospitals and medical offices, 
and even schools and libraries use them to create their own private 
networks and to access other services such as Voice over IP (VoIP), 
Internet access, television, cloud-based hosting services, video 
conferencing, and secure remote access. Carriers buy them as a critical 
input for delivering their own customized, advanced service offerings 
to end users. We believe it is critical that our outage reporting 
rules, long applicable to communications services such as special 
access, continue to provide an appropriate measure of network 
resiliency, reliability and security assurance for today's and 
tomorrow's broadband network services.
    5. The Commission has long recognized the importance of these 
trends for outage reporting. In 2010, the National Broadband Plan 
called on the Commission to extend part 4 outage reporting rules to 
broadband Internet service providers and interconnected VoIP service 
providers, citing a ``lack of data [that] limited our understanding of 
network operations and of how to prevent future outages.'' The 
following year, the Commission proposed to safeguard reliable 911 
service by extending outage reporting rules to broadband Internet 
access service (BIAS) and backbone Internet service as well as 
interconnected VoIP service. In the 2012 Part 4 VoIP Order, the 
Commission adopted rules to extend reporting requirements to 
interconnected VoIP service providers for outages resulting in a 
complete loss of service, but deferred action on the remaining 
proposals. At the time, the Commission indicated that its proposals to 
extend outage reporting obligations to broadband providers ``deserve[d] 
further study.''
    6. Numerous commenters in this and other proceedings have urged the 
Commission to closely monitor changes in network reliability as 911 
networks migrate to IP, and others assert that some communities are 
increasingly dependent upon robust mobile broadband connectivity to 
deliver, in part, public safety services necessary for modern life. As 
federal funds are spent to ensure deployment of broadband, e.g., 
through programs such as the Connect America Fund, we expect recipients 
of these funds to build out networks that serve the public interest 
through reliable access to critical communications, e.g., 911. The U.S. 
Government Accountability Office (GAO) recognized that ``[t]he 
communications sector is transitioning from legacy networks to an all-
Internet Protocol (IP) environment, leading consumer and public safety 
groups, among others, to question how reliably the nation's 
communications networks will function during times of crisis.'' Echoing 
the Broadband Opportunity Council, in its 2015 report GAO questioned 
whether the Commission can currently fulfill its information needs 
through existing efforts to collect comprehensive, nationwide data on 
technology transitions, and recommended that we develop a strategy and 
gather information on the ``IP transition to assess its potential 
effects on public safety and consumers.'' It also noted that this 
``would help [the Commission] address these areas of uncertainty as it 
oversees the IP transition,'' and enable ``data-driven decisions.'' We 
agree and seek comment below on mechanisms to improve the quantity and 
quality of data collected on the impact of increased broadband 
availability and usage.
    7. In the fulfillment of its public safety responsibilities, no 
context is more important for the Commission to research and monitor 
the technology transition than in the deployment of IP-based Next 
Generation 911 (NG911) networks. NENA's i3 architecture has become the 
de facto standard for NG911 network design, in which voice, text, and 
data communications to, from, and between PSAPs operate over an 
Emergency Services IP network (ESINet). The Commission has observed 
that ``new capabilities will enhance the accessibility of 911 to the 
public (e.g., by enabling video and text-to-911 for persons with speech 
and hearing disabilities), and will provide PSAPs with enhanced 
information that will enable emergency responders to assess and respond 
to emergencies more quickly.'' Service providers typically market such 
improvements to 911 as a way to offer better service at lower cost and 
an opportunity to phase out obsolete technologies.
    8. Nevertheless, we acknowledge that ``evolving technology, while 
providing many benefits to PSAPs and the public, also has introduced 
new and different risks.'' For example, 911 service can now be 
disrupted by software malfunctions, database failures, and errors in 
conversion from legacy to IP-based network protocols, and such 
disruptions can occur in unique parts of the IP network that lack 
analogous counterparts in legacy architecture. Moreover, the 
consolidation of critical resources in a small number of databases 
increases the risk of a 911 service failure that affects many PSAPs at 
once, even across state lines or potentially impacting all of a service 
provider's customers nationwide. Given the growing deployment of 
ESINets and the Commission's specific interest in monitoring the 
reliability and resiliency of PSAP connectivity, we believe that it is 
critical for the Commission to have visibility into the networks of all 
providers supporting ESINet service and other critical infrastructure 
to fully understand reliability and resiliency factors associated with 
public safety and critical infrastructure communications.
    9. For both emergency and non-emergency services, broadband is now 
(or rapidly is becoming) the communications sector's essential 
transmission technology and, thus, ``an integral component of the U.S. 
economy, underlying the operations of all businesses, public safety 
organizations, and government.'' These communications sector 
developments, both in NG911 deployment and in the nation's 
communications sector more broadly, illustrate how important it is that 
the Commission's outage reporting requirements evolve at a similar pace 
as the communications sector. As 911 services evolve toward NG911 
combinations of voice, data, and video,

[[Page 45098]]

and as voice and data are exchanged over the same infrastructure, it is 
necessary for the Commission to refocus its lens for outage reporting 
and re-examine its part 4 reporting metrics to ensure that they collect 
the necessary data on the reliability of broadband networks. Access to 
such objective information would ensure that the evolution of critical 
communications services does not pose an obstacle to the Commission's 
established consumer protection, public safety, and national security 
statutory missions.

A. Broadband Network Outage Reporting

1. The Need for Updated Broadband Network Disruption and Outage 
Reporting
    10. Broadband networks now provide an expanding portion of today's 
emergency and non-emergency communications and have technological 
flexibility that allows service providers to offer both old and new 
services over a single architecture. We observe that broadband networks 
come with their own advantages and challenges; particularly, outages 
and service disruptions can occur at both at the physical 
infrastructure and the service levels. We recognize that network outage 
or service disruptions at the application level in which various 
services are provided (e.g., streaming video, video teleconferencing) 
have different performance and network management requirements than 
those at the physical network infrastructure level. Broadband networks 
are just as vulnerable to physical outages and service disruptions as 
the public-switched telephone network (PSTN), but are also susceptible 
to attacks at the application layer, which may not affect the 
underlying physical infrastructure. We seek comment on these 
observations as they relate to our proposed broadband outage reporting 
requirements.
    11. We further observe that broadband networks' interrelated 
architectural makeup renders them more susceptible to large-scale 
service outages. Growing reliance on remote servers and software-
defined control has increased the scale of outages, as compared to 
those in the legacy circuit switched-environment. Through news 
accounts, we have observed recent outage events impacting customers 
across several states. Moreover, broadband networks' architectural 
efficiencies can actually magnify the impact of customer service-
affecting outages that do occur. For example, ``sunny day'' outages--
caused by technical issues rather than by environmental ones--have been 
shown to jeopardize 911 communications services, sometimes across 
several states. Indeed, broadband networks can support centralized 
services, but, if not engineered well, they can harm resiliency 
objectives. We believe that these challenges will likely become more 
pronounced as broadband increasingly comes to define the nation's 
communication networks. This new paradigm of larger, more impactful 
outages suggests that there would be significant value in collecting 
data on outages and disruptions to commercial broadband service 
providers. We seek comment on this view.
    12. Given the potential for broad-scale, highly-disruptive outages 
in the broadband environment--and particularly those impacting 911 
service--the adoption of updated broadband reporting requirements would 
likely provide the Commission with more consistent and reliable data on 
critical communications outages and enable it to perform its mission 
more effectively in light of evolving technologies and service 
offerings. Over the past decade, review and analysis of outage reports 
have enabled the Commission to facilitate and promote systemic 
improvements to reliability, both through industry outreach, the CSRIC, 
and formal policy initiatives. The analysis of trends identified from 
our authoritative outage report repository has proven to be a useful 
tool for the Commission in working with providers to address outages 
and facilitate sector-wide improvements. As NG911 functionality becomes 
centralized within broadband networks, network vulnerabilities specific 
to emergency services will emerge, and the Commission should be well-
informed of such vulnerabilities. We seek comment on this position.
a. Mandatory vs. Voluntary Reporting
    13. In the 2011 Part 4 Notice, the Commission asked whether and how 
outage reporting should to be extended to broadband. At the time 
numerous commenters challenged the idea, with some suggesting that 
mandatory outage reporting is not suitable for broadband packet-
switched networks given built in redundancies, and the complexity of 
tracing disruptions to a single cause.
    14. Where the Commission has required mandatory reporting of 
disruptions to IP communications (such as interconnected VoIP 
communications), 47 CFR 4.3(h), 4.9(g), we have found substantial value 
from that reporting. We believe that the same is true for other IP-
based networks and services that have become such a typical feature of 
our communications networks. Additionally, in the 2012 Part 4 Order, 
the Commission observed that ``the record . . . reflect[ed] a 
willingness on the part of broadband Internet service providers to 
participate in a voluntary process'' to improve the Commission's 
awareness of broadband outages and their impact on public safety. Over 
the past four years, broadband providers have not come forward with 
concrete proposals for such a process or even expressed such an 
interest in voluntary reporting. As with previous attempts at voluntary 
reporting, we are concerned that any voluntary regime for broadband 
outages would be unsuccessful in achieving a level of participation 
necessary to make the program effective. We seek comment on this 
position, and how to apply the lessons learned from our previous 
voluntary outage reporting regime. Finally, as the Commission observed 
in 2011, ``even if incentives did motivate individual market 
participants to optimize their own reliability, they do not necessarily 
optimize systemic reliability.'' We believe that mandatory reporting of 
broadband network outages would motivate such optimization, and, thus, 
would advance the public interest. We seek comment on this view.
    15. For the reasons set out above, we reaffirm our belief that 
mandatory reporting requirements would have a positive effect on the 
reliability and resiliency of broadband networks. Therefore, we 
tentatively conclude that broadband network outage reporting should be 
mandatory. We seek comment on this tentative conclusion and seek 
further comment on the issues first raised generally in the 2011 Part 4 
Notice.
2. Proposed Coverage of Broadband Outages
    16. In proposing updated broadband outage reporting rules, we must 
identify the appropriate set of broadband--and broadband-constituent--
services, facilities, and infrastructure that are reasonably 
appropriate for reporting requirements. In the 2015 Open Internet 
Order, we described the broadband communications environment to include 
a number of different market segments and services, including 
arrangements underlying those services. Among other things, we drew a 
distinction between networks and services deploying broadband 
capabilities provided to consumers, those deploying such capabilities 
to businesses and other enterprises, and those providing Internet 
backbone services. And we specifically excluded from broadband Internet 
access service

[[Page 45099]]

(BIAS) enterprise service offerings such as ``special access services'' 
and their functional equivalents and other non-BIAS services, e.g., 
Internet access, interconnection, backbone service, traffic exchange, 
non-BIAS data services.
    17. In the Business Data Services/Special Access NPRM, including 
its adjunct 2015 Data Collection, we further described the ``special 
access'' or ``dedicated services'' that form critical portions of the 
broadband ecosystem, i.e.,--links that ``enabl[e] secure and reliable 
transfer of data between locations.'' Although such services are 
already addressed in part 4 to some extent, which as noted above 
broadly defines those ``communications services'' subject to these 
rules, our part 4 reporting standards do not ensure that outage 
reporting illuminates broadband issues critical to functionality of 
these services. We believe that the public safety goals to be 
accomplished through Part 4 assurance for today's broadband 
communications world can best be advanced if we extend the scope of our 
rules to BIAS, for the first time, and update and clarify those 
requirements for dedicated services so that we receive broadband-
specific outage information for those services, and that we ensure our 
requirements apply equally and neutrally regardless of technology or 
provider type. We seek comment on this view.
    18. For broadband outage reporting purposes, we believe developing 
reporting metrics that clearly address this functionality to be 
critical to our continued ability to obtain situational awareness with 
respect to reliability of the Nation's most important communications 
services. For the reasons set forth below, we tentatively conclude that 
the public safety goals to be accomplished through Part 4 assurance for 
today's broadband communications world can most reasonably be advanced 
by extending those rules to cover BIAS, and by updating those 
requirements for measuring the reliability of dedicated services. In 
our view, these steps are likely to provide us with most if not all of 
the information reasonably necessary for purposes of our Part 4 
mission, while avoiding the need to subject other service providers 
(such as Internet backbone providers) to these reporting requirements. 
Our proposal will also ensure that our requirements apply equally and 
neutrally regardless of technology or provider type. We seek comment on 
these views. By taking the actions now proposed, we believe we will 
have the ability to ensure greater broadband network reliability, 
resiliency, and security. We believe, thus, that this approach would 
ensure comprehensive outage reporting that, for BIAS and dedicated 
services, would encompass: (i) All customer market segments to 
include--mass market, small business, medium size business, specific 
access services, and enterprise-class (including PSAPs, governmental 
purchasers, carriers, critical infrastructure industries, large 
academic institutional users, etc.); (ii) all providers of such 
services on a technology neutral basis; and (iii) all purchasers (end 
users) of those services without limitation. We seek comment on this 
view.
a. Broadband Internet Access Service (BIAS)
    19. The Commission defines BIAS in 47 CFR 8.2(a) as:

[a] mass-market retail service by wire or radio that provides the 
capability to transmit data to and receive data from all or 
substantially all Internet endpoints, including any capabilities 
that are incidental to and enable the operation of the 
communications service, but excluding dial-up Internet access 
service. This term also encompasses any service that the Commission 
finds to be providing a functional equivalent of the service 
described in the previous sentence . . . .

BIAS includes those services offered over facilities leased or owned, 
wireless or wireline, to residences and individuals, small businesses, 
certain schools and libraries and rural health entities. BIAS does not 
include enterprise service offerings, which are typically offered to 
larger organizations through customized or individually-negotiated 
arrangements, or special access (``dedicated'') services. Some NG911 
systems use BIAS to support critical functions like transmission of 
location information, making it of particular interest to the 
Commission as NG911 is rolled out. BIAS is also increasingly integral 
for everyday life; according to the Commission's latest broadband 
subscribership data, over 250,000,000 Americans purchase wireline or 
wireless (or both, typically) BIAS to meet an ever-expanding array of 
their communications needs. These services are essential for work, 
family and community activities, social engagements and leisure, and 
are increasingly vital for emergency services communications whether as 
voice, texting or other data transmission. Given BIAS' ubiquitous 
penetration throughout the American landscape and the multiple 
important emergency and non-emergency uses for which Americans consume 
BIAS, we recognize the same, if not higher, need for assurance through 
outage reporting under part 4 as we have long recognized for other 
communications services. We seek comment on this understanding and 
approach.
    20. Existing part 4 rules define relevant providers to include 
``affiliated and non-affiliated entities that maintain or provide 
communications networks or services used by the provider,'' and require 
reporting of ``all pertinent information on the outage.'' We seek 
specific comment on whether BIAS providers could be used as a central 
reporting point for all broadband network outages, i.e., whether our 
part 4 assurance goals for broadband outage reporting can be 
effectuated through, or should be limited to, an approach in which only 
BIAS providers (as opposed to other entities providing networks or 
services) would be required to report. We ask commenters to address 
BIAS providers' services relationships with other providers (i.e., 
entities that provide IP transport underlying the BIAS offering), and 
particularly whether, and the extent to which they share information 
(formally or informally) relevant to outage reporting. Do providers 
typically discuss or notify each other in the event of disruptions? Do 
or can BIAS providers enter into service level or other agreements that 
contain requirements that enable them to obtain adequate information 
concerning the source of outages that originate with such other 
providers? Should our rules impose an obligation on BIAS providers to 
provide such information in their part 4 reports?
    21. In what way is the Commission's experience with entities that 
``maintain or provide communications networks or services used by the 
provider'' (e.g., for legacy voice communications or interconnected 
VoIP service) instructive in its consideration of these issues 
associated with BIAS outage reporting? Or, are there sufficient 
technical or operational differences between BIAS and entities already 
covered by part 4 as to warrant a new approach? If so, what are those 
differences and how should the Commission approach BIAS outage 
reporting to address those differences in ways that promote effective 
outage reporting? What actions could the Commission take to ensure that 
BIAS providers can obtain sufficient information in the event of a 
service outage about the source and cause of the outage? We also seek 
comment on whether a BIAS-only approach would sufficiently capture 
critical communications, i.e., communications involving critical 
infrastructure, needed for NS/EP, or otherwise associated with public 
safety or emergency preparedness. If it does not, should the

[[Page 45100]]

Commission extend its reporting requirements directly to other entities 
that maintain or provide communications networks or services used by 
the BIAS provider?
b. Dedicated Services
    22. In our Dedicated Services/Special Access proceeding, we have 
closely examined the evolving (in terms of scope, array and use of 
services) and expanding (in terms of participants, including new 
entrants) market for IP- and other data protocol-based packet services 
to enterprises and other segments and purchasers not included within 
the mass market level served by BIAS providers. These dedicated 
services power the fullest range of large data pipe (high capacity) 
services, e.g., circuit-based TDM facilities like DS3s, or data network 
transmission (packet-based) facilities such as ``Ethernet'', and are 
deployed without geographic restraint (i.e., in use for ``last mile'', 
``middle mile'', ``long haul'', etc.). Although DS3s and DS1s, both of 
which are longstanding dedicated services ``warhorses'', have always 
been subject to outage reporting (as have other ``two-way voice and/or 
data communications'', 47 CFR 4.3(b)), our reporting rules may provide 
insufficient clarity as to non-TDM dedicated services such as 
``Ethernet.'' We seek to provide both broadband-specific reporting 
emphasis and scope of covered services clarity in this FNPRM. In the 
past, our rules and reporting emphasis under part 4 have been framed 
mostly by reference to legacy TDM special access circuits, which is 
certainly a segment of the services and infrastructure properly 
classified as ``dedicated services.'' In this FNPRM, we now place 
clearer emphasis on broadband outages through new proposed metrics, 
thresholds and triggers, and also take steps to ensure all dedicated 
services providers--old and new--understand their compliance 
obligations under our rules.
    23. To achieve this clarity and emphasis, we first seek comment on 
the following definition of ``dedicated services'' for outage reporting 
purposes:

    Services that transport data between two or more designated 
points, e.g., between an end user's premises and a point-of-
presence, between the central office of a local exchange carrier 
(LEC) and a point-of-presence, or between two end user premises, at 
a rate of at least 1.5 Mbps in both directions (upstream/downstream) 
with prescribed performance requirements that include bandwidth, 
latency, or error-rate guarantees or other parameters that define 
delivery under a Tariff or in a service-level agreement.

In addition to commenting on this proposed definition for part 4's 
purposes, we ask commenters whether there are any other descriptors 
needed to ensure both the clarity and breadth of the services that 
should be included within dedicated services for part 4 reporting 
assurance purposes.

    24. Dedicated services are important components for creating 
private or virtual private networks across a wide geographic area, and 
for enabling the secure and reliable transfer of data between 
locations, including the provision of dedicated Internet access and 
access to innovative broadband services. Dedicated services, however,

[are] distinctly different from the mass marketed, ``best efforts'' 
[BIAS] provided to residential end users, such as AT&T's U-verse or 
Comcast's XFINITY. Dedicated services typically provide dedicated 
symmetrical transmission speeds with performance guarantees, such as 
guarantees for traffic prioritization, guarantees against certain 
levels of frame latency, loss, and jitter to support real-time IP 
telephony and video applications, or guarantees on service 
availability and resolving outages. As such, dedicated services 
tends to cost substantially more than ``best efforts'' services and 
are offered to businesses, non-profits, and government institutions 
who need to support mission critical applications and have greater 
demands for symmetrical bandwidth, increased reliability, security, 
and service to more than one location.

    25. As with BIAS, we seek comment on the extent to which those who 
provide dedicated services are in a position to inform the Commission 
of the source and cause of reportable outages. We believe that such 
providers are reasonably likely to be well-informed about these 
questions. Dedicated services providers also provision service 
``solutions'' for other communications providers; for example, mobile 
providers use dedicated services to backhaul voice and data traffic.
    26. With respect to negotiated terms and conditions for assurance, 
is it standard industry practice to inform dedicated services customers 
about the nature of any particular outage or performance issue that 
triggers assurance guarantees (i.e., credits)? Does this also extend to 
inform such customers about any non-service impacting outages, 
regardless of the seriousness of the outages, or to inform customers as 
to the provider's overall performance using an established set of 
metrics? For example, are dedicated service customers interested in 
non-service impacting outages whose notification helps inform 
resiliency decisions or helps inform predictive risk mitigation actions 
based on a larger data set of observed failure modes? If so, how are 
such customer needs addressed through contract negotiations or, post-
contract, through course of dealing between parties or by other means 
(e.g., Industry Data Breach Annual Summaries, academic research, etc.)?
    27. We recognize that variation between and among dedicated 
services providers, the services they provide, their customers' service 
needs and profiles, and other factors may indicate differences that we 
should consider with respect to the benefits and burdens of dedicated 
services outage reporting. Accordingly, we seek comment on such 
differences, and particularly their impact on relative costs and 
burdens for outage reporting.
    28. In sum, to ensure the Commission can effectively discharge its 
public safety mandates and mission with respect to the communications 
networks and services upon which America's citizens, businesses and 
governmental organizations rely, we propose that BIAS providers be 
required to report outages pursuant to the Commission's part 4 rules, 
and we propose to update existing outage reporting metrics to reflect 
broadband disruptions involving dedicated services and provide clarity 
as to scope of covered services. We recognize that this approach may 
not capture the full scope of communications services, but we believe, 
at this time, that the costs of extending our outage reporting 
requirements beyond these services may exceed the benefits. We seek 
comment on this view. To the extent commenters believe that there are 
other communications providers that provide broadband-related services 
warranting part 4 outage reporting, we invite commenters to elaborate 
in detail.
3. Proposed Reporting Process for Broadband Providers
    29. Three-part submission process. We seek comment on whether to 
apply the three-part structure used by other reporting entities under 
part 4 to covered broadband service providers. This process would 
require the provider to file a notification to the Commission within 
120 minutes of discovering a reportable outage as further defined in 
Section V.B.; an initial report within 72 hours of discovery of the 
reportable outage; and a final report within 30 days of discovering the 
outage, similar to the process described in 47 CFR 4.9(a), (c)-(f) for 
cable, satellite, SS7, wireless, and wireline providers. Covered 
providers would submit all reports electronically to the Commission and 
include all of the information required by Section 4.11 of the 
Commission's rules. A notification would include: The name of

[[Page 45101]]

the reporting entity; the date and time of the onset of the outage; a 
brief description of the problem, including root cause information and 
whether there were any failures of critical network elements, if known; 
service effects; the geographic area affected by the outage and a 
contact name and telephone number for the Commission's technical staff. 
We note that this notification requirement is distinct from a covered 
911 service provider's obligation to notify PSAPs in the event of an 
outage impacting 911 service, 47 CFR 4.9(h), and we defer discussion of 
those notification requirements to PS Docket Nos. 13-75 and 14-193. The 
initial reports would include the same information, and in addition, 
any other pertinent information then available on the outage, as 
submitted in good faith. Further, the provider's final report would 
include all other pertinent information available on the outage, 
including root cause information where available and anything that was 
not contained in or changed from the initial report.
    30. Reporting requirements concerning critical network elements. 
Pursuant to the requirements of Section 4.11 of our rules, once an 
outage triggers a reporting requirement, there is certain information 
that we expect providers, acting in good faith, to include in their 
reports to the extent such matters are at issue in a given reportable 
event and the provider, through the exercise of reasonable due 
diligence, knows or should know the facts. We believe our concept of 
reportable outages must evolve as new events threaten the reliability 
and resiliency of communications in ways that can expose end users to 
serious risks, to that end we routinely update the NORS data fields to 
reflect changes in technology and seek to do so here. Specifically, we 
expect providers to include information in their reports concerning (1) 
the failure of facilities that might be considered critical network 
elements, and (2) unintended changes to software or firmware or 
unintended modifications to a database to the extent relevant to a 
given outage or service disruption that is otherwise reportable. We 
seek comment on this approach.
    31. We propose to consider a network element ``critical'' if its 
failure would result in the loss of any user functionality that a 
covered broadband provider's service provides to its end users. For 
example, Call Agents, Session Border Controllers, Signaling Gateways, 
Call Session Control Functions (CSCF), and Home Subscriber Server (HSS) 
could be considered ``critical'' network elements. And, we believe that 
information concerning such failures uniquely provides a sharper 
network and service vulnerability focus that would further the 
Commission's public safety and related missions by enhancing the 
Commission's situational awareness and network operating status 
awareness. We seek comment on this assessment. We seek comment on these 
views and on this reporting approach. Additionally, we propose that to 
the extent unintended changes to software or firmware or unintended 
modifications to a database are revealed as part of reportable 
disruptions, we should be apprised of those facts through the outage 
reports providers submit.
    32. As with events involving critical network element failure, we 
propose to modify the NORS interface to support information regarding 
outages and disruptions that are associated with unintended changes to 
software or firmware or unintended modifications to a database. This is 
consistent with our customary practice of updating NORS information 
fields as technologies and services evolve. Thus, if unintended changes 
to software or firmware or unintended modifications to a database 
played a role in causing an otherwise reportable outage, we would 
expect providers' reports to include specific detail about the nature 
of the associated facts. The Commission seeks comment on what 
information would be useful to understand these exploitations. Would it 
be helpful for us to use open fields so that outages can be described 
in terms defined by the provider acknowledging that these may differ 
from provider to provider? We seek comment on this approach. We 
recognize that unintended changes to software and firmware and 
unintended modifications to a database may not always manifest 
themselves in the form of reportable communications ``outages'' as 
traditionally defined by the Commission or as we propose for broadband 
outage reporting. Are there additional data drop-down menu fields we 
should consider beyond those proposed above that would provide 
significant information about broadband outages? Would it be useful to 
establish pre-defined elements in the reporting metrics that would 
provide the Commission with more consistent failure information that 
would improve long-term analysis about unintended changes to software 
and firmware or unintended modifications to a database that would not 
otherwise be reported to the Commission? For example should the 
Commission receive information on distributed denial of service (DDoS) 
attacks in order to support an improved correlation should multiple 
outages involve DDoS as a contributing factor?
    33. Should we expand our definition of Part 4 outages to include 
failures that are software-related or firmware-induced, or unintended 
modifications to a database that otherwise do not trigger hard-down 
outages or performance degradations as described below? For example, 
should a route hijacking that diverts packets to another country, but 
still delivers the packets to the consumer be a reportable outage? If 
so, we seek comment on this position. What process should be followed 
to make the Commission aware of such disruptions? Would such a 
requirement be unnecessary were the Commission to adopt proposed data 
breach reporting requirement proposed in the Broadband Privacy Notice 
of Proposed Rulemaking, WC Docket No. 16-106?
    34. We seek broad comment on updates to our traditional NORS 
reporting processes and expectations when reportable broadband outages 
involving unintended software or firmware changes or unintended 
modifications to a database occur. We ask commenters to address whether 
valid public safety, national security, economic security or other 
reasons support the kind of granular reporting features we now describe 
for broadband, and whether such reasons justify treating broadband 
outage reporting differently from non-broadband outage reporting. Do 
commenters believe that alternative approaches should be explored that 
could ensure that the Commission receives all useful outage and 
disruption causation information in a timely and cost-effective manner?
    35. Also, as discussed below, we propose to adopt the same 
reporting approach for interconnected VoIP providers as we have for 
legacy service providers (i.e., a notification, interim report and 
final report). We seek comment on this proposal. Alternatively, we seek 
comment on whether all reporting (i.e., legacy, broadband and 
interconnected VoIP) should be adjusted to a two-step process. Are 
there other similar steps that we should consider that would ensure 
adequate reporting in reasonable, appropriate time intervals across the 
various technologies at issue for reporting?
    36. We seek comment on other steps the Commission can take to make 
providers' reporting obligations consistent across services or 
otherwise streamline the process. As with other covered providers in 
Sec.  4.9, we seek comment on whether 9-1-1 special facilities are 
served by BIAS and dedicated services providers such that a

[[Page 45102]]

reporting requirement when 9-1-1 special facilities experiences a 
reportable outage or communications disruption would be warranted. 
Similarly, each covered provider in part 4 is required to report 
outages and communications disruptions to special offices and 
facilities (in accordance to Sec.  4.5(a) through (d)). We seek comment 
on whether special offices and facilities are served by BIAS and 
dedicated services providers such that a reporting requirement when 
these experience a reportable outage or communications disruption would 
be warranted. One potential benefit of the transition to more advanced 
communications technologies is the ability to automate processes that 
historically have required a significant amount of manual processing. 
We seek comment on whether there are ways of automating the outage 
reporting process beyond what has been possible or has been attempted 
in the context of legacy communications services. How could such 
automated reporting be accomplished? What are the advantages of such a 
reporting mechanism? What are the disadvantages? What cost savings 
would result from any such automation?
4. Proposed Metrics and Thresholds for Broadband Network Outage 
Reporting
a. ``Hard Down'' Outage Events Metrics and Thresholds
    37. By ``hard down'' outage events, we refer to outages that result 
in loss of service, as opposed to performance degradations discussed 
below. In determining the appropriate metrics and thresholds for our 
broadband outage reporting proposals, we initially sought comment on 
the method for calculating the ``user minutes'' potentially affected by 
a broadband outage. In the 2011 Part 4 Notice, we proposed using 
potentially-affected IP addresses as a proxy for the number of 
potentially affected users. At least one commenter claimed using IP 
addresses would tend to overstate the impact of an outage, and 
advocated using subscriber counts instead. More recently, in response 
to our proposal for major transport facility outage reporting, Comcast 
recommended using a ``bandwidth-based standard'' as a potential 
replacement for our user-minute metric used for major transport 
facility outage reporting. In light of technological advances, we now 
seek to revisit this issue.
    38. We further propose a throughput-based metric and threshold for 
``hard down'' outage events. We propose to define ``throughput'' as the 
amount of information transferred within a system in a given amount of 
time. In light of significant changes in technology and the 
characteristics of broadband networks generally, we believe that it is 
appropriate to tailor our approach with respect to the identification 
of a threshold event for hard-down outages. Since part 4 was first 
enacted, the communications network architecture and elements, and the 
services carried over those networks, have grown more diverse and 
require increased throughput. The Commission currently uses DS3 as the 
unit of throughput with which to calibrate our reporting threshold for 
major transport facility outages. The companion document, Report and 
Order, adopts an updated metric, changing the standard from DS3 to OC3. 
Given the accumulating amount of throughput required to deliver today's 
broadband services, we believe that 1 Gbps would function as a modern-
day equivalent of the DS3 (45 Mbps) unit originally adopted in 2004, we 
now calculate that a gigabit can support nearly 24DS3s or 16,000 DS0s 
(64 Kbps voice or data circuits). This can be seen in the increased 
deployments of residential communications services offering up to 1 
Gbps in download speeds. As such, we tentatively conclude that the 
threshold reporting criterion for outages should be based on the number 
of Gbps minutes affected by the outage because Gb is a common 
denominator used throughout the communications industry as a measure of 
throughput for high bandwidth services. We further propose to introduce 
a broadband metric calibrated with the current 900,000 user minute 
threshold. In today's broadband environment, a typical user requesting 
```advanced telecommunications capability' requires access to actual 
download speeds of at least 25 Mbps.'' Accordingly, we calculate that 
if a facility with throughput totaling 1 Gbps providing individual 
users 25 Mbps of broadband capacity each, experienced a disruption to 
communications resulting in a complete outage, 40 individual users 
would be impacted. We calculate that 1Gbps in throughput total, which 
is converted to 1,000 Mbps, is divided by 25 Mbps as the download speed 
for each user, would result in a total of 40 individual users impacted 
by an outage event. In establishing a gigabit per second user minute 
threshold, we calculate that 900,000 user minutes divided by the 40 
individual users impacted by the outage, results in 22,500 Gbps user 
minutes. The 22,750 Gbps user minute figure was derived from the 
current threshold-reporting criterion of ``900,000 user minutes.'' 
Assuming a 25 Mbps broadband user connection, as stated in the 2015 
Broadband Progress America report, being delivered over a 1 Gbps 
facility, we compute: 1 Gbps divided by 25 Mbps equals 40 broadband 
user connections. Then, 900,000 user minutes divided by the number of 
impacted broadband user connections, 40, equals 22,750 Gbps user 
minutes. This means that an outage event would become reportable when 
it resulted in 1 Gbps of throughput affected in which the event exceeds 
22,500 Gbps user minutes. To determine whether an outage event is 
reportable using this threshold, we multiply the size of the facility 
measured in Gbps, by the duration of the event measured in minutes, and 
this total generates a Gbps user minute number. If this user minute 
number exceeds 22,500, then the outage event is reportable to the 
Commission. So for example, if a 1 Tbps (terabits per second) facility 
experienced a disruption for 45 minutes, we would multiply 1000 by 45 
minutes to get 45,000 Gbps user minutes, and since this figure exceeds 
22,500 Gbps user minutes, the outage event would be reportable. We seek 
comment on the analysis presented, which would establish a reporting 
threshold of an outage of 1 Gbps (gigabit per second) lasting for 30 
minutes or more.
    39. We seek comment on a throughput-based metric and its advantages 
or disadvantages over a user-based metric, for example, a 900,000 user-
minute metric that treats broadband users for measurement purposes as 
those broadband end users that have no service. We also seek comment on 
whether a throughput-based metric would be more appropriate for some 
networks rather others. For instance, would our proposed 1 Gbps 
throughput threshold be appropriate for both BIAS and dedicated 
services? If not, why not? Should we consider a throughput-based metric 
for BIAS networks set at a lower threshold, such as 25 megabits per 
second (Mbps)? Would this result in an unacceptably small number of 
outages reports? How well would a threshold of 1 Gbps or greater 
lasting for 30 minutes or more reflect the geographic scope and impact 
of an outage and the number of subscribers impacted by an outage? Would 
a user-minute based threshold better capture the geographic scope and 
impact of an outage and the number of subscribers impacted? Does using 
a throughput metric in lieu of potentially-affected IP addresses, or 
that of subscriber count, as described below,

[[Page 45103]]

provide better information to the Commission? Would a throughput metric 
be less or more burdensome for providers than a user-based one? If so, 
why? How might the increasing availability of Gbps services affect the 
usefulness of throughput as an outage indicator? Is there a better 
throughput threshold than 1 Gbps or greater lasting for 30 minutes or 
more? If so, what would it be?
    40. In addition, we revisit the 2011 proposal to use potentially-
affected IP addresses as a proxy for the number of potentially affected 
users. If we were to adopt the 2011 proposal, would the metric 
overstate the impact of an outage? If so, by how much would the outage 
impact be overstated? How well could a potentially-affected IP 
addresses threshold effectively communicate the geographic scope and 
impact of an outage and the numbers of subscribers impacted? Would the 
increasing deployment of IPv6 addresses affect the utility or accuracy 
of this proposed metric, and if so, how? Would using subscriber counts 
as a proxy for number of users be a more accurate metric to determine 
the impact of an outage? In what ways do providers measure the number 
of subscribers now? Do providers measure broadband subscribers apart 
from other types of subscribers? If so, why? Which new subscribers 
would be counted under the proposed rules that were not previously 
counted? Should we consider unique subscriber-based metrics for BIAS 
and dedicated services provider? In instances of outage events lasting 
less than 30 minutes, should we consider whether subscriber-based 
metrics should be more indicative of a network outage impacting a large 
metropolitan area or geographic region? What benefit would this add to 
our proposed broadband outage reporting rules? Do current provider 
subscriber counts measure the total number of subscribers served at any 
given time? Are provider subscriber counts verified at the occurrence 
of an outage or disruption? What difficulties, if any, would covered 
broadband providers experience in applying a subscriber-based metric?
b. Performance Degradation Outage Events Metrics and Thresholds
    41. The following section addresses requirements to report outage 
events in cases of significant degradation of communication. We 
tentatively conclude that outage events are reportable when there is a 
loss of ``general useful availability and connectivity,'' even if not a 
total loss of connectivity. We propose a series of metrics and 
thresholds that we believe could identify outage events that 
significantly degrade communications: (1) A combination of packet loss 
and latency metrics and thresholds, and (2) a throughput-based metric 
and threshold. Finally, we seek comment on the appropriate locations 
for significant degradation of communication measurements.
(i) ``Generally Useful Availability and Connectivity''
    42. Consistent with the part 4 definition of an ``outage,'' in 47 
CFR 4.5(a) (defining an ``outage'' as ``a significant degradation in 
the ability of an end user to establish and maintain a channel of 
communications as a result of failure or degradation in the performance 
of a communications provider's network), we again seek comment on 
whether covered broadband providers should be required to report 
disruptions that significantly degrade communications, including losses 
of ``generally useful availability and connectivity'' as measured by 
specific metrics. We propose to define ``generally useful availability 
and connectivity'' to include the availability of functions that are 
part of the service provided (i.e., ``service functionality''). We 
tentatively conclude that outage events experiencing significantly 
degraded communications include those events with a loss of generally 
useful availability and connectivity, and seek comment on this 
tentative conclusion.
    43. In 2011, ATIS stated that losses of ``generally useful 
availability and connectivity'' not resulting in a complete loss of 
service should not be reportable under the part 4 rules, arguing that 
such events are ``more akin to static/noise on legacy communications 
systems or error rates in DS3 lines . . .'' However, the loss of 
``generally useful availability and connectivity'' in the broadband 
context would appear to be more akin to a legacy voice call during 
which the users cannot hear or make themselves understood, tantamount 
to a complete loss of service. This threshold may be even more 
recognizable in a digital context where effective bandwidth minimums 
are well understood. Accordingly, we reintroduce the Commission's 2011 
proposal to require covered broadband providers to report on losses of 
`generally-useful availability and connectivity' to capture analogous 
incidents where customers are effectively unable to use their broadband 
service. We seek comment on this proposal.
    44. We also seek comment on possible alternatives or additional 
metrics of generally-useful availability and connectivity. For 
instance, should the Commission create a reporting metric based on loss 
of network capacity? If so, how should the Commission quantify a loss 
of a network capacity for reporting purposes, and what would be an 
appropriate reporting threshold? Should we consider a metric measuring 
the average relative bandwidth, where providers would compare the 
active bandwidth against the provider's bandwidth advertised or 
offered? Could such a metric be quantified for reporting purposes? If 
so, what would be an appropriate reporting threshold? What other 
metrics should the Commission consider?
(ii) Metrics for Performance Degradation
    45. In addition to the metrics for generally-useful availability 
and connectivity, we seek comment on potential broadband outage 
reporting metrics to measure significant performance degradation in 
communications. In this regard, we propose two sets of proposals. We 
propose a throughput metric and seek comment on the appropriate 
thresholds; or, propose an alternative metric based in a combination of 
three core metrics, throughput, packet loss, and latency, and seek 
comment on the appropriate thresholds. Moreover, we seek comment on the 
extent potential metrics for generally-useful availability and 
connectivity may overlap with the proposed metrics for significant 
performance degradation in communications.
    46. First, given that throughput is widely recognized as a key 
metric for measuring network performance, we propose using a throughput 
metric threshold at 1 Gbps for a network outage or service disruption 
event lasting 30 minutes or more. In addition to the use of a 
throughput metric for hard down outages described above, a throughput 
metric can also determine when a significant degradation occurs in a 
network, as transmission rates decline as network congestion increases. 
In addition to throughput, we seek comment on the utility of two other 
metrics to indicate broadband network performance degradation: Packet 
loss and latency. Can a proposed 1 Gbps event lasting for 30 minutes 
threshold capture instances in which the network suffers an outage or 
experience degradation in network performance? Would it be more 
appropriate to maintain the 900,000 user-minute threshold for 
throughput? If so, why? How would it be determined and calculated to be 
equivalent to a throughput-based metric of 1 Gbps threshold? How would 
maintaining the

[[Page 45104]]

900,000 user-minute threshold capture and account for the complexities 
found in broadband networks and the outages occurring on those 
networks? We also seek comment on whether a throughput threshold for 
performance degradation should require a carrier's average throughput 
to drop a nominal percentage, say 25 percent, below normal levels. How 
would such a threshold be measured and reported should this threshold 
be reached? Would this effectively capture the impact to network 
subscribers and facilities? Is a nominal drop of 25 percent in average 
throughput thresholds indicative of noticeable network performance 
degradation? We seek comment on this approach.
    47. We seek comment on a second proposal looking at these proposed 
core metrics--packet loss, latency, and throughput. To what extent do 
covered broadband providers already collect information on packet loss, 
latency, and throughput? Are any of the metrics better suited than 
others at measuring loss of generally-useful availability and 
connectivity of broadband service? Are there any alternate performance 
metrics that would more effectively capture network outages or 
performance degradation? If so, what are they and do these providers 
already capture these metrics? Are any of the metrics more cost-
effective to monitor than others, and if so, which are they and why?
    48. We further propose to limit the scope of outage filings to 
those events that affect customer communications. We seek comment on 
this approach. In addition to packet loss, latency, and throughput, we 
seek comment on whether there are other metrics and thresholds that 
would be indicative of events impacting customer communications, and 
comment about other appropriate indicators that might better reflect 
when these communication services are disrupted. Are there existing 
measurement efforts regarding network performance and assurance 
conducted by the Commission that would provide better guidance in 
determining reporting thresholds for broadband network outage 
reporting? How are these other performance and assurance measurements 
aligned with our proven public safety and reliability efforts in our 
current part 4 outage reporting efforts? How does the use of these 
network performance metrics complement or conflict with other efforts 
at the Commission? The Commission is providing guidance across a number 
of areas regarding network performance metrics and measurements 
ensuring users receive adequate and expected network performance from 
their service subscriptions.
    49. Alternatively, should we consider adopting more specific, 
absolute thresholds for packet loss, latency, and throughput to measure 
significant performance degradation of communications? In 2011, the 
Commission proposed that service degradation occurs whenever there is a 
noticeable decline in a network's average packet loss; or average 
round-trip latency; or average throughput of 1 Gbps, with all packet 
loss and latency measurements taken in each of at least six consecutive 
five-minute intervals from source to destination host. If absolute 
thresholds are preferable, how would these particular thresholds be 
calculated and determined? Would an absolute threshold still be 
appropriate with current broadband systems? How could the reporting 
thresholds for packet loss, latency, and throughput be set at 
appropriate levels? If any of these thresholds should be adjusted, what 
is an appropriate threshold? Should the requirement to take performance 
measurements in six consecutive five-minute intervals be modified? If 
so, how?
    50. We also seek comment on whether these metrics support a 
consistent reporting standard across all broadband provider groups. The 
Commission recognizes that there may be different metrics for 
performance degradation for different services and that a ``one size 
fits all'' approach to determining appropriate metrics and thresholds 
indicating the health and performance of broadband networks and 
services may not be appropriate depending on underlying quality of 
service and network performance requirements. Are these metrics (packet 
loss, latency, and throughput) appropriate to evaluate performance for 
both BIAS and dedicated services? Alternatively, are these metrics 
unique to either BIAS or dedicated services, but not appropriate for 
both? We also seek comment on whether and how the proposed metrics 
should differentiate mobile broadband from fixed broadband. Are there 
unique attributes of mobile broadband that we should consider for our 
outage reporting purposes? For example, will application of these 
metrics to mobile broadband result in too many instances where, 
although a threshold is passed, there is no major problem with the 
network? Why or why not? Are other network performance metrics more 
suitable for mobile broadband than fixed broadband, and if so, what are 
they?
(iii) Measurement of Performance Degradation
    51. We also seek comment on the end points from which covered 
broadband providers would measure whether there is performance 
degradation. In the case of BIAS providers, we believe that these 
metrics should be measured from customer premises equipment to the 
destination host. For dedicated services providers, we believe that the 
metrics should be measured from the closest network aggregation point 
in the access network (e.g., DSLAM serving DSL subscribers) to the 
closest network facility routing communications traffic or exchanging 
traffic with other networks (e.g., PoP, gateway).
    52. We seek comment on these tentative conclusions, and on whether 
these end-points for measurement are appropriate for their 
corresponding services, as well as the use of the term ``destination 
host'' for all providers. Does ``destination host'' appropriately cover 
the various types of network facilities used by covered broadband 
providers to connect to their customers and/or exchange traffic with 
other networks? Where in a BIAS network should the measurements take 
place to record the measurements most accurately? In a dedicated 
services network? At what level of aggregation should the measurements 
be taken in the BIAS and dedicated services networks? What is the best 
way to determine the measurement clients and servers are correctly 
chosen to accurately measure the proposed metrics? Are there other 
terms that would better describe the point where network traffic is 
routed and aggregated from several endpoints (e.g., network aggregation 
point) for either type of service? For example, should we follow the 
performance metrics established under the Measuring Broadband America 
program or other broadband measurement metrics developed by the 
Commission? We also seek comment on a scenario in which the 
``destination host'' is on another BIAS provider's network. In that 
case, how would the original BIAS provider detect an outage on its 
network path? We seek comment on this scenario and anything else the 
Commission should consider with respect to network end-points.
5. Broadband Reporting Confidentiality and Part 4 Information Sharing
    53. Currently, outage reports filed in NORS are withheld from 
routine public inspection and treated with a presumption of 
confidentiality. We propose to extend this same presumptive 
confidential treatment to

[[Page 45105]]

any reports filed under rules adopted pursuant to this FNPRM, including 
broadband outage reporting filings. We recognize, however, that this 
approach of presumed confidentiality may need to evolve as networks, 
and consumer expectations about transparency, also evolve. Accordingly, 
we seek comment on the value and risk of increased transparency with 
respect to information about, or select elements of NORS reports filed 
under the current part 4 rules and any additional rules adopted 
pursuant to this FNPRM.
    54. As noted in the Report and Order companion document, we believe 
that the proposal of sharing NORS information with state and other 
federal entities requires further investigation, including where state 
law would need to be preempted to facilitate information sharing. The 
Commission currently only shares access to the NORS database with DHS.
    55. To assist the Commission, we direct the Bureau to study these 
issues, and develop proposals for how information could be shared 
appropriately with state entities and federal entities other than DHS. 
Accordingly, we seek comment on the current reporting and information 
sharing practices of broadband and interconnected VoIP providers with 
state governments and other federal agencies. To which agencies and 
States do providers already report? To what extent is reporting 
mandatory? What information on outages or communications disruptions do 
providers report to other federal and state government bodies? What 
triggers the reporting process? What are the strengths and weaknesses 
of any existing reporting and information sharing processes? Could any 
such processes provide an avenue for the Commission to acquire data 
that it would otherwise receive under the proposed rules? If so, how? 
What else should the Commission consider regarding the current 
reporting and information sharing practices of broadband or 
interconnected VoIP providers? Commenters should address the impact of 
any other information sharing activities on the part 4 mandates 
proposed herein, and how these requirements might be tailored to ensure 
compliance without undue imposition on those other information sharing 
activities.
    56. We seek comment on how the Commission can strike the right 
balance between facilitating an optimal information sharing environment 
and protecting proprietary information. Our goal is to foster 
reciprocal sharing of information on broadband network outages with 
federal and state partners, while maintaining confidentiality among 
those partners and of information contained in the outage reports. To 
ensure that the Commission benefits from information that providers 
make available to other federal agencies or state governments, should 
we encourage covered broadband and interconnected VoIP providers to 
provide the Commission with copies of any outage reporting that they 
currently provide to states or other federal agencies, to be treated in 
the same manner (i.e., confidential or non-confidential) as the entity 
receiving the original report? Are there alternative methods toward 
sharing this information? Should we ask our federal and state 
government partners to provide a preferred path toward sharing this 
information? We recognize that other federal and state agencies may 
have different requirements for licensees and FCC regulated entities, 
and we seek comment on the wider regulatory landscape in which 
broadband providers may or may not already be reporting outages. Are 
there special considerations required for the new filings or 
information collected that the Commission has not previously 
accommodated for part 4 providers? If so, what adjustments to our 
original information sharing proposals in the Notice should be made for 
these new NORS filings and information collected?
6. Cost-Benefit Analysis for Broadband Network Outage Reporting
    57. In the 2012 Part 4 Order, the Commission deferred action on 
several broadband outage proposals because they were ``sharply opposed 
by industry on several bases, but especially based on the expected 
costs.'' In this FNPRM, we seek to update the record on the costs of 
implementing broadband outage reporting, and also seek comment on the 
costs of compliance with any additional reporting requirements 
considered herein. We also seek comment on the costs associated with 
any alternative proposals or unintended modifications to proposals set 
out by commenters. Specifically, we invite comment on the incremental 
costs of detecting and collecting information on the outage thresholds 
described above; the costs of filing reports in NORS; and the costs 
associated with any additional reporting or other requirements the 
Commission may adopt to promote network reliability and security. 
Comments in this area should not focus on new equipment but on the cost 
of modifying existing outage detection systems to detect and notify the 
Commission on observed outages meeting reporting thresholds proposed in 
this FNPRM.
a. Costs of Detecting and Reporting Outages
    58. We first consider the costs associated with detecting and 
collecting information on reportable outages under the proposed rules. 
As a general matter, we agree with the 2011 comments of the National 
Association of State Utility Consumers Advocates (NASUCA) and the New 
Jersey Division of Rate Counsel, who observe that VoIP and ``broadband 
[providers] should already be collecting outage-related data in the 
normal course of conducting their businesses and operations.'' We 
believe this to be as true today as it was in 2011 in light of service 
providers' public assurances of network performance and reliability. If 
covered broadband providers already collect internal data to support 
claims of high network reliability through advertising, we anticipate 
that they would be able to provide the Commission with similar 
information at minimal incremental cost. For this reason and others 
discussed below, we do not believe that requiring covered broadband 
providers to submit outage data would create an unreasonable burden.
(i) Outages Defined by Threshold Events
    59. To begin, we note that nearly all providers already have 
mechanisms in place for determining when an outage occurs and when it 
surpasses a certain threshold, and if a provider does not, in today's 
wired world it would not impose significant cost to install such a 
mechanism. In fact, the record reflects that providers routinely 
monitor the operational status of their network as part of the normal 
course of business. Verizon, for instance, explained in 2011 that it 
``has significant visibility into its broadband networks.'' We believe 
that any provider with ``significant visibility'' into its network 
already has the ability to detect network failures or degradations that 
result in a total loss of service for a large number of customers. 
Commenters appear to concede this view. Both ATIS and AT&T proposed 
alternative reporting schemes that would require reporting on total 
losses of broadband service, and AT&T submits that its proposed scheme 
would be ``unambiguous and easy-to-apply.'' CenturyLink likewise admits 
that ``reporting by a broadband Internet access service provider where 
there is a loss of connectivity to the Internet by end-users is 
reasonable.'' Comments like these, along with ubiquitous advertising on 
network reliability and performance generally, suggest that the regime

[[Page 45106]]

described above to report total losses of broadband service would not 
impose significant additional burdens on providers. We seek comment on 
this discussion.
(ii) Outages of ``Generally Useful and Available Connectivity''
    60. In 2011, industry commenters identified data collection costs 
as the most significant cost burden of the proposed rules for 
performance degradation events. However, we note that the proposed 
reporting based on loss of ``generally-useful availability and 
connectivity'' does not concern every degradation in performance an 
individual user experiences, but is instead designed to capture 
incidents in which service is effectively unusable for a large number 
of users or when critical facilities are affected. We seek further 
comment on the extent to which providers already collect performance 
degradation data for internal business purposes. In 2011, covered VoIP 
and broadband providers were already monitoring QoS metrics, like 
packet loss, latency and jitter, to assess network performance for 
certain customers. Today, providers collect network performance 
information as a necessary part of fulfilling their SLA duties for 
particular customers, and more generally, providers have significant 
incentives to track these metrics as part of their network, service, 
and business risk assurance models. In other words, providers' existing 
approaches for network data collection for premium customers likely 
already captures losses of ``generally-useful availability and 
connectivity,'' and we believe similar techniques could be expanded to 
monitor network performance on a broader scale. By building on existing 
provider practices and harnessing technological developments in network 
monitoring, we believe that the proposals for broadband reporting 
requirements described herein would not be unduly costly.
    61. Because providers already routinely collect much of this data, 
we believe that the cost of compliance of additional rules would be 
only the cost of filing additional reports. We seek comment on this 
discussion. If providers do not collect this data, is there similar or 
comparable data that providers already collect, or could collect at 
minimal expense, that would be as cost-effective as data they would 
report under the proposals outlined above? If so, what data, and would 
it provide the Commission with adequate visibility into events that 
cause a loss of generally-useful availability and connectivity for 
significant numbers of broadband users? What would the cost be of this 
comparable data?
    62. We seek comment on whether we should implement a prototype 
phase of two years whereby providers would be given significant 
latitude to determine a qualifying threshold for the ``generally useful 
availability and connectivity'' standard. While mandatory reporting 
would remain, the data collected would positively inform standards in 
this category that would be broadly applicable to the Commission's 
needs in this area yet closer to what the reporting companies use for 
their own operations, thereby reducing potential costs for providers. 
We seek comment on this analysis.
b. Costs of Filing Outage Reports
    63. While we anticipate that the costs of filing reports under the 
proposed rules--i.e., of reformatting and uploading information in the 
NORS database--would not impose an unreasonable burden on covered 
broadband providers, we seek comment on the specific costs. Outage 
reports are currently filed in the Commission's web-based NORS database 
using simple and straightforward ``fill-in-the-blank'' templates. NORS 
currently accepts reports for legacy service outages (wireline, 
wireless, etc.), as well as interconnected VoIP ``hard down'' outages. 
We expect that any reports from covered broadband providers pursuant to 
rules ultimately adopted in this proceeding would adhere to the same 
efficient and streamlined process.
    64. In light of growing overlap in corporate ownership of 
telecommunications network and service offerings, we expect that the 
inclusion of broadband service under part 4 would largely extend 
reporting obligations to providers already familiar with reporting via 
NORS and with internal processes in place for filing reports. We 
recognize that entities without prior experience reporting in NORS, 
either themselves or through affiliates, may incur some startup costs, 
i.e., of establishing a NORS account and training personnel in the use 
of NORS. We seek comment on this analysis and what specific startup 
costs would be.
    65. Furthermore, we believe the overall cost to providers of filing 
disruption reports is a function of the number of reports that are 
filed and the costs of filing each report. Previously, the Commission 
has estimated that the filing of each three-stage outage report (i.e., 
notification, initial report, and final report) requires two hours of 
staff time, compensated at $80 per hour, amounting to a $160 total cost 
for the provider. We believe that this estimate remains valid. 
Moreover, we estimate that adoption of the proposed rules for covered 
broadband providers would result in the filing of 1,083 reports per 
year, based on the likely correlation of broadband Internet access 
service outages with interconnected VoIP outages, in which there were 
750 reports in 2015, and of broadband backbone outages with interoffice 
blocking outages, in which there were 330 reports in 2015. In other 
words, based on 2015 figures, we estimate that there would be 
approximately 750 reportable VoIP outages, added to the 330 reportable 
broadband outages independent of VoIP, results in 1,083 total reports. 
Accordingly, we estimate that adoption of the rules proposed in this 
FNPRM would create $173,280 in reporting costs; calculated by adding 
the number of VoIP and broadband outages in 2015, and multiplying by 
the expected cost of $160. We seek comment on this cost estimate.
c. Benefits of Proposed Network Outage Reporting
    66. On balance, we believe that the proposals of this FNPRM would 
ultimately produce substantial benefits for the public. As noted above, 
the nation is increasingly reliant on broadband communications, and 
disasters, pandemics, and cyber attacks can lead to sudden disruptions 
of normal broadband traffic flows. Adopted prior to widespread adoption 
of broadband, the current part 4 outage reporting rules have played a 
significant role in the Commission's successful efforts to promote 
reliable and resilient communications networks. The Commission's 
receipt of data on broadband service (and expanded interconnected VoIP 
service) disruptions would enable it to adapt this established practice 
to a world in which IP-based networks are increasingly relied on for 
critical communications--including 911 service--as well as for 
financial transactions, health care delivery and management, and the 
operation of our nation's critical infrastructure.
    67. Given the large and rising volume of communications that occur 
over broadband networks--and the overall economic value these 
communications represent--even minor increases in network reliability 
that result from outage reporting could have a significant public 
benefit. We believe that the benefits of the proposed reporting 
requirements will be substantial, as increases in network reliability 
can improve not only business continuity, but also the availability of 
emergency response,

[[Page 45107]]

thereby saving many lives. We therefore expect that, even if only a few 
lives are saved each year, the annual benefit from these proposed 
changes will far exceed the costs they impose on affected parties. We 
have noted throughout this FNPRM that the harm from not requiring 
broadband outage reporting could be substantial, and we believe that 
the benefits of the proposals would far exceed the costs. We seek 
comment on other harms that consumers or providers face currently or 
may face in the future as a result of loss of connectivity that could 
have been avoided if industry outage trends had been spotted earlier 
and addressed more constructively through NORS reporting. We seek 
comment on the total expected benefit of the proposed reporting 
requirements for broadband providers.

B. Interconnected VoIP Outage Reporting

    68. In 2012, the Commission adopted limited outage reporting 
requirements for interconnected VoIP providers. The rules apply to both 
facilities-based and non-facilities-based interconnected VoIP services. 
Since extending outage reporting to interconnected VoIP, however, the 
Commission has not received consistent, timely, or sufficiently 
detailed reporting needed to promote greater interconnected VoIP 
service. This causes us now to raise questions about how to stimulate 
granular and consistent reporting for interconnected VoIP providers 
that aids the Commission in its efforts to ensure reliable, resilient, 
and secure interconnected VoIP service for America's consumers and 
businesses. Accordingly, we propose to modify the existing reporting 
process for interconnected VoIP to hew closer to the process for other 
providers. Lastly, we seek comment on whether there are any differences 
between interconnected VoIP services and other foregoing broadband 
services that weigh in favor of establishing different outage reporting 
rules for the two kinds of service providers.
1. Interconnected VoIP Outage Reporting Process
    69. We propose to amend the reporting process for outages involving 
interconnected VoIP service to harmonize it with the ``legacy'' 
services and the proposed reporting process for broadband outages. 
However, because the current outage reporting rules for interconnected 
VoIP allow a 24-hour notification period and do not require interim 
reports, the Commission rarely learns of interconnected VoIP network 
outages in near real time, and often has to wait almost a month until 
the final report is submitted to get outage event root causes or other 
useful information.
    70. Under the part 4 rules for legacy services, specifically 47 CFR 
4.11, initial reports provide the Commission with timely access to more 
detailed information about an outage than was available to the provider 
at the time of the notification, in many cases confirming the existence 
of an outage that was only tentatively reported at the notification 
stage. However, such initial reports are not required of interconnected 
VoIP providers, and what's more, the 24-hour notification period has 
resulted in notifications being filed well after an outage has 
commenced, in some cases after the outage has concluded. In one recent 
instance, an interconnected VoIP outage that affected close to 1 
million users across nearly a dozen states was first reported to the 
Commission twenty-three hours after its discovery. Consequently, for 
certain interconnected VoIP outages, the Commission must wait until a 
final report is filed--up to thirty days after the notification is 
filed--to receive any information about the underlying cause of an 
interconnected VoIP outage, or even to verify that a reportable outage 
in fact occurred. Providers also do not report information on the 
duration of the outage in the notification, and are currently only 
required to give this information 30 days later in the final report. 
Thus, we believe that the abridged reporting adopted for interconnected 
VoIP ``hard down'' outages creates significant gaps in the Commission's 
visibility into such outages and hinders its ability to take 
appropriate remedial actions.
    71. We recognize that a lack of visibility into underlying 
broadband networks may pose challenges to interconnected VoIP 
providers, in providing information as the cause of the outage. As with 
BIAS and dedicated services providers, we seek comment on whether 
interconnected VoIP providers can, do, or should take steps 
contractually or otherwise to address these problems. At a minimum, we 
believe that providers should make reasonable efforts to learn about 
the causes of any reportable outages and thus to be in a position to 
include such information in their reports, irrespective of whether the 
affected facility is within their control. Moreover, because 
interconnected VoIP services often rely on networks that provide BIAS 
services, we believe that the proposed rules for broadband outage 
reporting discussed supra largely eliminate this concern and 
essentially place interconnected VoIP providers on the equal footing 
with other part 4 entities. Accordingly, we propose to replace the 
existing reporting structure for interconnected VoIP with the three-
report structure used by all other reporting entities, as originally 
proposed in the 2011 Part 4 Notice. Specifically, we propose to tighten 
the timeframe for interconnected VoIP providers to notify the 
Commission of an outage from 24 hours to 120 minutes; to require 
providers to file an initial report with additional information within 
72 hours; and to file a final report within 30 days of the outage that 
includes all pertinent information about the outage, including any 
information available that was not contained in or changed from the 
initial report. All reports would be filed electronically with the 
Commission.
    72. Furthermore, although not independent triggers for part 4 
reporting, we expect providers to include information in their reports 
concerning (1) the failure of facilities that might be considered 
critical network elements (we consider a network element ``critical'' 
if the failure of that network element would result in the loss of any 
user functionality that an interconnected VoIP provider provides to its 
consumers, for example, Call Agents, Session Border Controllers, 
Signaling Gateways, Call Session Control Functions (CSCF), and Home 
Subscriber Server (HSS)), and (2) unintended changes to software or 
firmware or unintended modifications to a database to the extent 
relevant to a given outage or service disruption that is otherwise 
reportable. As described fully in the broadband reporting process 
above, reports should include specific details.
    73. At this time we believe adopting a three-part reporting 
structure for interconnected VoIP outages is appropriate, however, as 
raised for broadband outage reporting above, we seek comment on other 
steps the Commission can take to make providers' reporting obligations 
consistent across services or otherwise streamline the process. We seek 
comment on whether there are ways of automating the outage reporting 
process for interconnected VoIP service providers beyond what has been 
possible or has been attempted in the context of legacy communications 
services. How could such automated reporting be accomplished? What are 
the advantages of such a reporting mechanism? What are the 
disadvantages? What cost savings would result from any such automation? 
Alternatively, we seek comment on maintaining the two-step process for 
interconnected VoIP outages.

[[Page 45108]]

2. Proposed Interconnected VoIP Outage Metrics
a. Outages Defined by Performance Degradation
(i) Metrics for Performance Degradation
    74. We also propose to require interconnected VoIP providers to 
report outages, per 47 CFR 4.5(a), that reflect losses of ``generally 
useful availability and connectivity'' as defined by specific metrics. 
Similar to our proposal for covered broadband providers, we propose to 
base performance degradation on packet loss and latency for any network 
facility used to provide interconnected VoIP service. We also seek 
comment on whether it would be appropriate to adopt a throughput-based 
outage metric for interconnected VoIP outage reporting in addition to 
the throughput metric discussed above with respect to broadband 
providers, i.e., providers would be required to report an outage of 
1Gbps or more of interconnected VoIP service for 30 minutes or more. 
Are the proposed metrics--relating to packet loss, latency and 
throughput--well-suited for interconnected VoIP? Would this approach 
provide better methods for detecting and reporting outages on 
interconnected VoIP networks?
    75. We recognize that adopting performance degradation metrics may 
result in an increased burden on VoIP providers than their legacy voice 
counterparts. We ask whether interconnected VoIP's unique technology 
justifies a departure from a pure ``hard down'' reporting metric 
currently required for interconnected VoIP providers and that of legacy 
counterparts, to the adoption of significant performance degradation 
reporting metrics? Are there throughput-related issues associated with 
interconnected VoIP calling? For example, where the service might be up 
and running, yet be degraded to a point that emergency call information 
exchange is negatively impacted? Or, given interconnected VoIP's 
dependence on broadband connectivity, are there vulnerabilities 
associated with that technology that introduce threat scenarios (i.e., 
attack vectors) that justify the added reporting burden? Are there 
other considerations we should take into account on the question of 
adding a performance degradation element to interconnected VoIP 
providers' obligations under part 4?
    76. As with our current ``hard down'' outage reporting for 
interconnected VoIP, we propose to apply any new rules to both 
facilities-based and non-facilities-based interconnected VoIP. Do 
interconnected VoIP providers have differing standards for network 
performance? Are non-facilities-based interconnected VoIP providers 
able to measure and/or access packet loss, latency, and/or throughput 
measurements? If not, why? How are non-facilities-based interconnected 
VoIP providers able to determine the network performance requirements 
for their service? Should the Commission instead adopt a single metric 
beyond which voice service is so degraded that it is no longer 
functional? If so, what is that metric and how and where is it 
measured? Would multiple metrics be required? If so, what would those 
metrics and how and where would they be measured? We seek comment on 
these proposals. We also seek comment on how the proposed metrics apply 
to mobile VoIP. Will application of these metrics to mobile VoIP result 
in too many instances where, although the threshold is passed, there is 
no major problem with the network? Are there other metrics that are 
better suited for mobile VoIP service? If so, why? Should the 
monitoring period and metrics adopted for interconnected VoIP outage 
reporting be consistent with the monitoring period and metrics adopted 
for broadband outage reporting, or are there differences between the 
two types of services that warrant different monitoring period and 
metrics?
    77. Alternatively, as with our proposed broadband outage reporting, 
we could adopt more specific, absolute thresholds for performance 
degradation, like those proposed in the 2011 Part 4 Notice for 
broadband providers, e.g., service degradation occurs whenever there 
is: (i) An average packet loss of 0.5 percent or greater; or (ii) 
average round-trip latency of 100 ms or greater, with all measurements 
taken in each of at least six consecutive five-minute intervals from 
source to destination host. If absolute thresholds are preferable, are 
these reporting thresholds for packet loss and latency set at 
appropriate levels for interconnected VoIP service? Should the 
Commission adjust any of these thresholds and, if so, what is an 
appropriate threshold? Should the Commission modify the requirement to 
take performance measurements in six consecutive five-minute intervals? 
If so, how?
(ii) Measurement of Performance Degradation
    78. Moreover, we seek comment on the end-points from which 
interconnected VoIP providers will need to measure these metrics. We 
recognize that it is important to consider the methods used to measure 
the proposed metrics and account for the location of the network 
elements within the interconnected VoIP networks. This will help to 
ensure accurate and reliable measurements of the proposed metrics to 
indicate network performance. We propose that these metrics be measured 
from ``source to the destination host.'' The term ``source'' would 
refer to the network elements responsible for the setting up the VoIP 
call (e.g., call manager, user agent, client) while the term 
``destination'' would refer to the endpoints routing and executing the 
call (e.g., VoIP router, softphone). We seek comment on the use of the 
terms ``source'' and ``destination host'' and ask if these terms 
appropriately cover the various types of network facilities (e.g., 
CSCF, HSS, AAA servers, SIP servers, Session Border Controllers, Media 
Gateway Controllers) used by interconnected VoIP providers to connect 
to their customers and/or exchange network traffic with other 
interconnected VoIP networks? Are there other terms that would better 
convey the network elements from which interconnected VoIP providers 
will need to measure the proposed reporting metrics?
b. Benefits and Costs of Proposed Reporting
    79. We seek comment on whether the benefits of this additional 
reporting would outweigh the incremental burden on providers. We 
estimate that the three-part reporting of an outage--including the 
filing of a notification, initial report, and final report--imposes 
only a $300 cost burden on the provider. In 2015, the Commission 
reviewed 750 interconnected VoIP outages. We expect to review an 
additional 750 filings for the same number of outages received in 2015, 
and an additional 75 filings as a result of our performance degradation 
proposal discussed above. Therefore, 750 plus 75 initial reports 
multiplied by 0.75 hours it takes to complete an initial report, 
multiplied by the cost of $80 employee hourly rate, results in $49,500 
added cost. We therefore do not believe that expanding the reporting 
process from two reporting stages to three would significantly increase 
burdens for providers. We seek comment on this tentative conclusion. To 
the extent that commenters disagree, we seek comment on alternative, 
least costly methods. Is there similar or comparable data that 
providers already collect, or could collect at minimal expense given 
current data collection practices, that would be more cost-effective to 
report than the data they would report under the proposed rules? If so, 
what data, and

[[Page 45109]]

would it provide the Commission with adequate visibility into events 
that cause a loss of generally-useful availability and connectivity for 
significant numbers of interconnected VoIP users? What would the cost 
be of this comparable data?
    80. We believe that the benefits of the proposed rules would exceed 
the costs. Absent the rules proposed in this FNPRM, the Commission 
lacks sufficient visibility into the reliability and security of 
interconnected VoIP networks. We believe that relevant data is already 
routinely collected by interconnected VoIP providers (in real time), so 
the cost of compliance would be only the cost of filing additional 
reports where necessary. Moreover, we believe that many of the proposed 
outage reporting triggers for interconnected VoIP, including those 
based on performance degradation, are likely to be covered by outages 
to the underlying broadband networks. Therefore, we do not believe the 
number of additional reports filed annually pursuant to the proposed 
rules for interconnected VoIP to be significant. We seek comment on 
this discussion.

C. Call Failures in Radio Access Networks

    81. In the 2015 Part 4 Notice, we sought comment on the reporting 
of call failures that result from congestion in wireless radio access 
networks (RAN), and in non-wireless (i.e., wireline and VoIP) local 
access networks. We noted that the inability of the access network to 
support excess demand may not be considered reportable as a ``failure 
or degradation'' under our current rules, but the inability of 
consumers to make calls still undermines the reliability of networks. 
Nevertheless, we are concerned about the impact of such events on the 
reliability of 911 service. Because this appears to be predominantly an 
issue with wireless networks, we proposed to amend our part 4 rules to 
require reporting of systemic wireless call failures that results from 
overloading in the RAN.
    82. Requiring reporting of overloading in the access network 
(wireless radio or non-wireless local access) should not be interpreted 
to mean that providers must engineer their networks to account for 
sporadic spikes in calls. Instead, the reports would provide the 
Commission with data to identify any trends in network overloading. 
This could include identifying, for example, a particular network 
equipment that may be more susceptible to failure in mass calling 
events. Moreover, analysis of this data allows the Commission to work 
with industry to address situations where the network consistently 
fails to address ``bursty'' call patterns similar to those generated 
after disaster and wide-scale emergencies. While we recognize the point 
made by several commenters that networks should not be engineered to be 
able to transmit every single call if everyone in an area attempted to 
use the network at once, we believe that it would be in the interest of 
the public for the Commission to receive information on those 
situations, so that we can determine if, when, and where, blocking is 
consistently happening.
    83. Verizon argues that such reporting that would be collecting 
information ``for the sake of it,'' but that point ignores the premise 
behind our outage reporting rules. Although situational awareness is 
one goal of outage reporting, another key objective is to provide data 
to the Commission so that it can detect adverse outage trends and 
facilitate industry-wide network improvements. Moreover, even though we 
continue to believe that outage reporting encourages providers to fix 
problems in their networks, we note that many outage reports do not 
always result in permanent fixes to the network, as the outage may be a 
``one-off'' event. However, as Public Knowledge observes, we will not 
know that such events are indeed ``one-off,'' if the Commission is not 
aware of them in the first place.
    84. Commenters also note that mass calling events are often 
unpredictable and typically short-lived, so they question the value of 
reporting on such events. However, because a mass calling event can be 
the consequence of a widespread disaster, we see significant value in 
collecting information on such events, as these are the incidents where 
reliable, resilient communications are most needed. Indeed, 
understanding failure patterns in moments of network saturation can 
help identify best practices for network management, as well as help 
certain communities realize a need for greater detail in emergency 
management plans. We recognize that reporting on mass calling events 
will not prevent them from occurring in the future, but we believe 
there is substantial value in analyzing such events in hindsight, as 
individual providers are unlikely to be able to see how such an event 
fits into broader industry practices and performance levels. With such 
data, the Commission would be in a better position to work with 
providers to address industry-wide problems and share industry-wide 
mitigation solutions.
    85. With respect to wireless RANs, we propose to consider a cell 
site to be ``out'' whenever a cell tower operates at full capacity 
(i.e., is unable to process any additional calls) for 75 percent of the 
time during a period of at least 30 minutes. If the number of 
potentially-affected wireless user-minutes exceeds 900,000 for the cell 
sites considered ``out,'' the outage would be reportable. Similarly, 
for non-wireless local access networks, we propose to amend our outage 
reporting rules to consider a loop carrier system or remote switch to 
be ``out'' whenever a remote terminal or the group of channels 
connecting a remote switch to a host operates at full capacity (i.e., 
is unable to process any additional calls) for 75 percent of the time 
during a period of at least 30 minutes. If the number of user-minutes 
exceeds 900,000 for the loop carrier systems and remote switches that 
are considered ``out,'' the outage would be reportable.
    86. We seek comment on these proposals. Is 30 minutes an 
appropriate time period to measure call blockages? If not 30 minutes, 
what should be the appropriate interval of measurement for averaging 
purposes? Is 75 percent of that time at full capacity the right 
percentage of time? Alternatively, what percentage of calls blocked 
during that period constitutes congestion of the access network? To the 
extent that commenters oppose our proposal, we encourage them to 
propose an alternative, workable metric that addresses our concern. Is 
there a better way to measure persistent, widespread call failures in 
the RAN or local access network?
    87. With respect to wireless RANs, we seek comment on how providers 
currently measure call failures. Would providers know of, and therefore 
have a way to measure, call attempts when a cell site is fully 
congested and not accepting call origination information? Also, given 
that wireless calls are constantly initiated and terminated within any 
given cell site, could some percentage below full capacity constitute 
congestive RAN failure for purposes of reporting? For congested cell 
sites, should the usual methods for calculating the total number of 
customers affected be used, or should some account be taken of the fact 
that more than the usual number are trying to use the towers during 
these periods?
    88. In the Notice, we estimated that under our proposal for 
reporting of widespread call failures in wireless RANs, providers would 
need to file approximately 420 reports per year, thus increasing their 
annual reporting costs by $67,200. We based this estimate on the 
assumption that wireless networks and interoffice networks are 
engineered to achieve comparably low rates of call

[[Page 45110]]

failure and would have a comparable rate of calls blocked.
    89. We seek further comment on the specific costs to implement some 
type of reporting on call failures in both the RAN and the local access 
network. With regard to the RAN, CCA disagrees with an assumption in 
the Notice that providers are already technically capable of tracking 
call failures at each cell site, asserting that some of its members 
``do not currently collect and preserve this information in an ongoing 
manner.'' We seek more specific information about the data that 
providers already have about call failures and the costs of adding 
equipment to track call failures at cell sites. To what extent do 
providers already track call failures in the RAN and the local access 
network? What other parameters do operators use to determine when new 
towers or equipment must be installed to meet increasing demand? 
Commenters should be specific as to the information that their networks 
can track. Commenters should be specific and realistic in their costs 
estimates as well.
    90. Moreover, we ask if some type of delayed implementation or 
exemption for smaller and/or rural providers would be helpful, 
particularly given that we expect network overloading is less likely to 
be an issue in rural areas. If we were to delay implementation of this 
type of reporting for a certain subset of providers, what would be a 
reasonable amount of time? What definition of smaller and/or rural 
carrier would be most appropriate?

D. Geography-Based Wireless Outage Reporting

    91. In the 2015 Part 4 Notice, we sought comment on a separate and 
additional wireless outage reporting requirement based on the 
geographical scope of an outage, irrespective of the number of users 
potentially affected. Wireless outages that may not meet our 900,000 
user-minute threshold but cover large geographic areas may be important 
because wireless service may be the only option in many areas, 
particularly as the percentage of calls to 911 from wireless devices 
continues to increase. It may be possible that large geographic areas 
are regularly losing service, but we are not aware of them (other than 
by press reports) because they do not meet the 900,000 user-minute 
threshold. Nonetheless, these outages are especially important to areas 
where service (wireless or otherwise) is minimal, and when an outage 
occurs, those in an emergency would have to travel far to make a 911 
call.
    93. We propose to amend the part 4 reporting requirements to 
include wireless outages significantly affecting rural areas. We seek 
comment on this proposal. Specifically, we propose to require a 
wireless provider serving a rural area to file outage reports whenever 
one-third or more of its macro cell sites serving that area are 
disabled such that communications services cannot be handled through 
those sites, or are substantially impaired due to the outage(s) or 
other disruptions affecting those sites. We seek comment on, 
alternatively, requiring such reporting upon the disabling of one-half 
of the macro cell sites in the rural area. In regard to the definition 
of ``rural area,'' while the Communications Act does not include a 
statutory definition of what constitutes a rural area, the Commission 
has used a ``baseline'' definition of rural as a county with a 
population density of 100 persons or fewer per square mile. We propose 
to use this same definition for purposes of determining wireless 
outages affecting predominantly rural areas. We ask, however, whether 
other alternative definitions might be of better use in aiding our 
visibility into rural-specific outages. For example, should we focus on 
areas designated for the Universal Service Mobility Fund support? Are 
there other rural area designation tools or proxies that should be 
considered (e.g., defining areas by rural exchange operating carrier 
designations--OCNs)? We seek comment on these questions and proposals.
    94. Is there a geographic area designation other than ``rural 
area,'' as defined above, that aligns better with the way wireless 
providers measure their own service? For example, is there a subset of 
any licensed service area (e.g., Cellular Market Area) that wireless 
carriers could more easily use to identify outages in predominantly 
rural areas? Or, would the use of zip codes, such as when one hundred 
percent of a zip code is impacted be an appropriate measurement? Also, 
we seek comment on whether an outage of at least one-third, or one-
half, of cell sites within the rural area would indicate an outage that 
would be of a nature that it substantially affects wireless coverage 
for a large geographic area.
    95. We recognize that this issue may become less critical as 
wireless providers begin to comply with the new standardized method, 
adopted in the above Report and Order, for calculating the number of 
potentially affected users during a wireless outage. By using a 
national average to determine the potentially affected users per site, 
will adoption and implementation of this new formula for the number of 
potentially-affected users increase the reporting of outages in low 
population areas? We also seek comment on alternative measurements for 
outages in rural areas. For example, could we adopt a lower user-minute 
threshold for rural areas to increase the reporting of events affecting 
rural communities? For example, would a threshold of 300,000 user-
minutes in rural areas increase our chances of receiving information on 
outages that affect rural communities? Conversely, for example, would 
clear geographic criteria, such as a county-based threshold, for 
wireless outage reporting simplify the M2M rules for automated outage 
reporting and eliminate the need for manual interpretations of 
thresholds?
    96. In the Notice, we estimated that adoption of a geography-based 
outage reporting requirement would result in the filing of an 
additional 1,841 reports per year, thereby increasing reporting costs 
by $294,560 (i.e., 1,841 reports x $160 staff costs per report). To 
reach this estimate, we subtracted the number of additional outage 
reports that would be generated by geography-based reporting from the 
number of reports that would be submitted for outages that meet the 
current 900,000 user-minute threshold. We estimated that geography-
based reporting would generate additional reports in counties where a 
wireless provider has fifteen or fewer cell sites. The number of 
counties with fifteen or fewer cell sites represents 2.7 percent of the 
total number of cell sites nationwide, based on analysis of data 
collected from companies given to the Commission during activations 
from the Disaster Information Reporting System (DIRS) in 2012. Using as 
a guide counties with fifteen or fewer cell sites, we calculated that a 
disruption to communications would be reportable under a geographic 
coverage standard if one or two cell sites in the county are down. 
Based on historical NORS data, we then estimated that each cell site 
has a 22.6 percent chance of experiencing an outage within a given 
year, and using CTIA's estimate that 301,779 cell sites were in 
operation nationwide as of the end of 2012, we tentatively conclude 
that adoption of a geography-based reporting requirement would likely 
result in the filing of 1,841 additional reports per year, creating an 
estimate of $294,560 cost burden.
    97. We seek further comment on the costs of implementing a new 
geography-based outage reporting requirement for wireless carriers. 
Sprint and Verizon argue that carriers would need to develop and deploy 
additional automation tools and monitoring

[[Page 45111]]

mechanisms. We estimate that, based on our proposal here, our estimate 
of 1,841 additional reports per year from the Notice will be the same. 
We seek further comment on a way in which we could capture outages 
affecting large geographic areas without being overly burdensome for 
providers. If, for example, we were to adopt an outage reporting 
requirement when 33 percent of cell sites become disabled within a 
county, would such a calculation require additional tools or monitoring 
mechanisms? We assume carriers would already know when (and why) their 
cell sites become disabled, and would know the number of cell sites per 
county. Therefore, we believe it would be a relatively easy and 
inexpensive calculation for providers to determine if a certain 
threshold of cell sites in a county have become disabled. Is one-third 
(33 percent) the appropriate threshold?
    98. NTCA comments that the burden would be greater on smaller 
carriers, where the failure of one tower may trigger a reporting 
obligation. While we could consider some type of exemption for smaller 
carriers, we believe smaller and rural carriers cover precisely the 
areas targeted by this proposal. Therefore, we do not propose to exempt 
any carriers. We seek comment on this approach.

E. Refining the Definition of ``Critical Communications'' at Airports

    99. Commercial aviation increasingly depends on information systems 
that are not collocated with airport facilities, and that may carry 
critical information. We seek comment on requiring reporting of outages 
affecting critical aviation information facilities that are not 
airport-based, either as a function of their status as TSP Level 3 or 4 
facilities (facilities are eligible for TSP Level 3 or 4 prioritization 
if they (3) support public health, safety, and maintenance of law and 
order activities or (4) maintains the public welfare and the national 
economic system), or upon some other basis. In particular, we seek 
comment on whether it is correct to assume that some information 
systems critical to safe commercial aviation are not located within an 
airport's facility. If the assumption is accurate, we invite discussion 
of the architecture of such external systems, including the safeguards 
currently established for those systems. Were the Commission to explore 
outage reporting requirements for these systems and facilities, what 
reporting criteria should it establish? For outage reporting purposes, 
should the Commission distinguish between facilities enrolled in the 
TSP program and those facilities that are not? If so, on what basis 
should the different treatment be premised? What, if any, additional 
costs might be associated with expanding the reporting obligation to 
such facilities, whether or not enrolled in TSP?

F. Legal Authority

1. 911 and Emergency Communications
    101. Following the evolution in the country's commercial 
communications networks, the nation's emergency communications systems 
are in the process of a critical transition from legacy systems using 
time-division multiplex (TDM)-based technologies to Next Generation 911 
(NG911) systems that utilize IP-based technologies.
    102. As a result of this transition, the nation's 911 system will 
increasingly include the BIAS and dedicated services, which will 
support a new generation of 911 call services that may be vulnerable to 
a similarly new generation of disruptions that may not have existed on 
legacy 911 networks. Indeed, as NG911 services are increasingly 
provisioned through broadband network elements, disruptions to 
broadband could impact the provision and reliability of local 911 voice 
and other shared services essential to emergency response. Accordingly, 
we believe that monitoring the resiliency of broadband networks 
supporting that communication is vital to ensure the reliable 
availability and functionality of 911 services.
    103. Regarding our proposal to update the outage reporting rules 
for interconnected VoIP service providers, 47 U.S.C. 615a-1 instructs 
the Commission to ``take into account any technical, network security, 
or information privacy requirements that are specific to IP-enabled 
voice services'' and to update regulations ``as necessitated by changes 
in the market or technology, to ensure the ability of an IP-enabled 
voice service provider to comply with its obligations.'' The proposed 
reporting process seeks to modernize the outage reporting system in 
light of technology advances and greater consumer adoption of 
interconnected VoIP service, considering the potential for degradations 
of service to impact 911 call completion. We seek comment on how 
Section 615a-1 provides authority to adopt such proposals with respect 
to interconnected VoIP.
    104. We also believe that our proposals to extend outage reporting 
to the classes of broadband providers and services described in this 
FNPRM are authorized by or reasonably ancillary to our statutorily 
mandated responsibility under Section 615a-1 to ensure that ``IP-
enabled voice service provider[s] provide 9-1-1 service and enhanced 9-
1-1 service.'' As noted above, broadband services are now and will 
continue to be key for delivery of 911 call information (including not 
only voice but also data and video) from the end-user to a PSAP. 
Therefore, to ensure broadband-enabled voice service providers comply 
with their 911 obligations, we seek comment on how our proposals better 
equip the Commission to meet its Section 615a-1 mandates. Moreover, in 
light of our obligation to identify capabilities necessary to support 
911 and E911 service for interconnected VoIP, 47 U.S.C. 615a-1(6)(c), 
how would our proposals here enable us to determine if there are 
capabilities currently not captured by our rules? We seek comment on 
whether networks, facilities, databases or other components to the 
extent these are elements that support a ``seamless transmission, 
delivery, and completion of 911 and E-911 calls and associated E-911 
information'' have changed sufficiently to warrant further 
consideration, or because ``critical components of the 911 
infrastructure may reside with an incumbent carrier, a PSAP, or some 
other entity.'' How should the Commission analyze these considerations 
in our Section 615a-1 analysis? In addition, we seek comment as to 
whether these proposals are authorized by or reasonably ancillary to 
our statutory mandates to develop best practices that promote 
consistency and appropriate procedures for defining network diversity 
requirements for IP-enabled 911 and E911 call delivery.
    105. Additionally, under the Twenty-First Century Communications 
and Video Accessibility Act of 2010 (CVAA), the Commission may 
``promulgate regulations to implement the recommendations proposed by 
the [Emergency Access Advisory Committee (EAAC)], as well as any other 
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.'' The 
CVAA has served as the basis for Commission actions with respect to 
text-to-911 and 911 relay services, and we now seek comment on the 
application of the CVAA to our proposed disruption reporting rules for 
broadband.

[[Page 45112]]

    106. In this vein, the EAAC has recommended that the Commission 
``issue regulations as necessary to require that target entities, in 
the development and deployment of NG9-1-1 systems, take appropriate 
steps to support features, functions and capabilities to enable 
individuals with disabilities to make multimedia NG9-1-1 emergency 
calls.'' The EAAC enumerated a list of goals for the Commission related 
to 911 accessibility, including enabling consumers to call 911 using 
different forms of data, text, video, voice, and/or captioned telephony 
individually or any combination thereof; ensuring direct access to 911 
using IP-based text communications (including real-time text, IM, and 
email); and facilitating the use of video multimedia calls into a PSAP. 
The EAAC also recommended that users have the option to call 911 via 
voice or text service, as well as video and any other emerging 
technology; that is, callers should be able to access 911 using both 
old and new communications services--something that a single broadband 
network can support. We note that these technologies are commonly 
supported by broadband networks, and to ensure access to 911 for 
individuals with disabilities, the Commission must be able to assess 
how those technologies are performing. The EAAC also made clear that 
its recommendations should evolve with the technology. Perhaps most 
importantly, the EAAC recommended that the Commission ``adopt 
requirements that ensure that the quality of video, text and voice 
communications is sufficient to provide usability and accessibility to 
individuals with disabilities based on industry standards for the 
environment.''
    107. Given that video, text, and voice communications to 911 
already traverse broadband networks and will continue to do so as the 
deployment of Real-Time Text and other NG911 multimedia applications 
grows, we believe that the CVAA's mandate for ensuring equal access to 
911 provides an additional legal basis for the broadband reporting 
rules proposed herein. We seek comment on this tentative conclusion. Is 
disruption reporting the optimal mechanism for the Commission to the 
quality of video, text and voice communications is sufficient to 
provide usability and accessibility to individuals with disabilities? 
Are there alternative measures the Commission could take to ensure 
broadband network availability for non-traditional 911 calls (i.e., 911 
text messages or relay calls)? We believe the proposed reporting 
requirements are an ``achievable and technically feasible'' way to 
ensure access to 911 for the deaf and hard of hearing, as required 
under the CVAA, and we seek comment on this approach.
2. Title II
    108. The Commission has classified BIAS and dedicated services as 
telecommunications services under Title II of the Act. As such, we 
tentatively conclude that the Commission has ample authority under 
Title II to support the outage reporting requirements proposed in this 
FNPRM. We seek comment on this tentative conclusion, and on the 
relevance of Sections 201, 202, 214, 218, and any other provisions of 
Title II for supporting the outage reporting requirements proposed here 
for BIAS and dedicated services.
    As we observed in the 2015 Open Internet Order, [S]ection 201 
imposes a duty ``on common carriers to furnish communications services 
subject to Title II `upon reasonable request,' '' and to ensure that 
their practices are ``just and reasonable.'' We also noted that the 
general conduct standard ``represents our interpretation of [S]ections 
201 and 202 in the broadband Internet access context.'' We seek comment 
on the interplay between the 2015 Open Internet Order and the 
Commission's authority under [S]ection 201 to ``prescribe rules and 
regulations as may be necessary in the public interest to carry out the 
provisions of this chapter'', as such authority relates to BIAS. We 
also seek comment generally on other provisions of Title II and legal 
theories under those provisions to support outage reporting in the 
dedicated services and BIAS contexts.
3. Title III
    109. With respect to the rules proposed herein for wireless voice 
and broadband providers, we believe the Commission has further legal 
authority to support the rules proposed herein under Title III of the 
Communications Act. The Supreme Court has long recognized that Title 
III grants the Commission ``expansive powers'' and a ``comprehensive 
mandate'' to regulate the use of spectrum in the public interest, Nat'l 
Broad. Co. v. United States, 319 U.S. 190, 219 (1943) (recognizing the 
FCC's ``expansive powers'' and ``comprehensive mandate'').
    110. We believe that 47 U.S.C. 303(b) and (r), and 316 provide the 
Commission with authority to apply outage reporting requirements to 
mobile BIAS and dedicated services providers and to CMRS providers in 
instances of call failures in the radio access network. We seek comment 
on this view.
    111. For example, Section 303(b) authorizes the Commission to 
``[p]rescribe the nature of the service to be rendered by each class of 
licensed stations and each station within any class.'' Addressing the 
scope of this provision in Cellco Partnership v. FCC, 700 F.3d 534 
(D.C. Cir. 2012), the D.C. Circuit recognized that Section 303(b) 
authorizes the Commission to ``lay[ ] down a rule about `the nature of 
the service to be rendered' by entities licensed'' by the Commission. 
The court further explained in Cellco that, while a provider may choose 
not to offer a wireless service, Section 303(b) authorizes the 
Commission to ``define[ ] the form'' that the ``service must take for 
those who seek a license to offer it.''
    112. We also believe 47 U.S.C. 316 authorizes the Commission to 
impose new conditions on existing licenses if we think such action 
``will promote the public interest, convenience, and necessity.'' The 
D.C. Circuit in Celtronix Telemetry, Inc. v. FCC, 272 F.3d 585 (D.C. 
Cir. 2001), recognized as ``undisputed that the Commission always 
retain[s] the power to alter the term of existing licenses by 
rulemaking.'' Accordingly, we believe that the outage reporting 
requirements proposed here for mobile service providers of BIAS or 
dedicated services, as conditions imposed on existing licenses, fall 
within the Commission's Section 316 authority, and we seek comment on 
this view.
4. Section 706 of the Telecommunications Act
    113. It is the established policy of the United States to ``promote 
the continued development of the Internet and other interactive 
computer services and other interactive media . . . [and] to encourage 
the development of technologies which maximize user control over what 
information is received by individuals, families, and schools who use 
the Internet and other interactive computer services, '' 47 U.S.C. 
230(b). Furthering this policy, in 1996 Congress adopted Section 706 of 
the Telecommunications Act of 1996, which instructs the Commission to 
``encourage the deployment on a reasonable and timely basis of advanced 
telecommunications capability to all Americans,'' and further provides 
if the Commission finds advanced telecommunications capability is not 
being deployed on a reasonable and timely basis, it must ``take 
immediate action to accelerate deployment of such capability.'' 
Advanced telecommunications capability, as

[[Page 45113]]

defined in the statute, 47 U.S.C. 1302(d)(1), includes a subset of 
broadband Internet access. Thus, under Section 706(b), the Commission 
conducts an annual inquiry as to whether advanced telecommunications 
capability is being deployed to all Americans on a reasonable and 
timely basis.
    114. We seek comment on the contours of Section 706 as the basis 
for broadband-related outage reporting under part 4. We believe 
broadband network reliability, resiliency, and security are germane to 
the Commission's effort to achieve Section 706's policy objectives. 
Mandatory outage reporting could provide the Commission with a 
dependable stream of objective data to further inform its annual 
inquiry under Section 706. We seek comment on the value of the proposed 
broadband outage reporting to our annual Section 706 inquiry, and on 
our more general view that such disruption and outage data may aid the 
Commission's efforts to ensure the deployment of advanced 
telecommunications capabilities to all Americans.
    115. Further, the 2016 Broadband Progress Report found that 
advanced telecommunications capability is not being deployed to all 
Americans in a reasonable and timely fashion, requiring the Commission 
to take immediate action to accelerate broadband deployment by removing 
barriers to infrastructure investment and promoting competition. We 
seek comment on whether broadband outage reporting would aid the 
Commission in its efforts to identify where infrastructure investment 
and effective competition may be lacking and thus enable the Commission 
to take steps to remove any barriers to infrastructure investment that 
may prevail or otherwise to promote competition in affected areas. For 
instance, we observed in the 2016 Broadband Progress Report that there 
are indications of a ``correlation between non-adoption of broadband 
and security and privacy concerns.'' We also have stated that ``privacy 
and network security are among the factors that can affect the quality 
and reliability of broadband services,'' and that ``[c]ommunications 
security, integrity, and reliability must be maintained as providers 
transition to IP-supported networks.'' Does the proposed disruption 
reporting facilitate the 706(b) mandate to take immediate action to 
accelerate broadband deployment by providing valuable information on 
broadband infrastructure and service vulnerabilities, risks and 
disruptions that dampen consumer adoption and, thus, dis-incent 
broadband investment and deployment? Would the proposed reporting guide 
us to remove barriers to infrastructure investment and promote 
competition? Would broadband reporting promote Section 706's goals by 
enabling us to view sustained availability over time, providing a 
comprehensive view of performance-related metrics data? Of long-term 
advanced capability deployment? Could the Commission use the proposed 
outage reporting to spot areas of decreased investment or barriers to 
competition that we might need to stimulate or remove? We seek comment 
on whether the reliability of broadband service and its underlying 
network infrastructure can advance Section 706 availability goals as 
well as bring a real-time measure of the services that are available in 
a given area. For example, Form 477 supports Section 706 goals through 
non-outage data submitted by providers on a semiannual basis. Although 
those collections facilitate Section 706 availability driven 
considerations, we ask whether more granular data submitted in Part 4's 
time intervals may be of additional value to the Commission in the 
execution of Section 706's mandates. We think that these insights can 
be added to our Broadband Progress Report analyses without compromising 
the objectives now achieved through Part 4's confidentiality treatment 
(as further discussed below), and we seek comment on this view.
5. Universal Service Fund Mandates Under Section 254
    116. In addition, we believe that the Commission's universal 
service funding mandates, underlying principles and goals, as set forth 
in Section 254 of the Act, authorize us to require broadband disruption 
and outage reporting, as proposed, where the data from such reports 
could promote, or provide assurance (e.g., of ``maximum value'') to, 
the Commission's universal service funding efforts under Section 254. 
Sections 254 and 1 operate dynamically to ensure an appropriately broad 
scope of Commission authority to promote and safeguard universal 
service, thus, Section 1, as a policy statement, ``illuminates'' 
Section 254 which, in turn, ``builds upon'' Section 1. Comcast, 600 
F.3d at 654. We seek comment on this observation and analysis.
    117. Certain broadband providers receive significant federal 
universal service high-cost broadband funding support through the USF's 
Connect America Fund (CAF) program. To the extent that covered 
broadband providers receive (or have received) such funding, it is 
logical to require a certain level of assurance in behalf of the end 
users who fund it. Accordingly, we tentatively conclude that such part 
4 reporting is an appropriate assurance expectation from CAF 
recipients, and we seek comment on this tentative conclusion.
    118. On that basis, we now ask how part 4 disruption reporting 
concerning the broadband services funded through CAF support can best 
be used to assure these services and infrastructure? Specifically, 
should such assurance measurements be sought through our part 4 
disruption reporting, or through some other mechanism? How might the 
collection and analysis of CAF recipient outage information help inform 
our Section 254-related considerations and assist us in achieving our 
universal service goals? Should the Commission adopt standards for 
network health to be made part of CAF funding considerations? If so, 
what mechanisms should be used by the Commission to effectuate that 
approach? Should the Commission, for example, condition CAF support on 
standards that take into account a provider's network health as 
revealed through outage reporting?
    119. Section 4(o). As noted above, Section 4(o), 47 U.S.C. 154(o), 
states that ``[f]or the purpose of obtaining maximum effectiveness from 
the use of radio and wire communications in connection with safety of 
life and property, the Commission shall investigate and study all 
phases of the problem and the best methods of obtaining the cooperation 
and coordination of these systems.'' We believe that in order for the 
Commission to fulfill this mandate in today's transitioning world and 
beyond, it must be able to obtain relevant data--including BIAS and 
dedicated services outage reporting--to investigate and study all 
aspects of broadband communications. We also believe Section 4(o) 
authorizes the Commission to gather broadband network outage data to 
help ensure NS/EP communications continue to obtain maximum 
effectiveness, e.g., to receive appropriate levels of priority, be 
delivered over robust and resilient infrastructure, and function as 
required. Indeed, we believe that the ability to collect information on 
major disruptions to broadband communications supporting NS/EP priority 
services is essential to the Commission in fulfilling its national 
security/defense assurance role under the Act. We seek comment on these 
views.

[[Page 45114]]

II. Procedural Matters

    120. As required by the Regulatory Flexibility Act of 1980 (RFA), 
the Commission has prepared an Initial Regulatory Flexibility Analysis 
(IRFA) of the possible significant economic impact on small entities of 
the proposals addressed in the FNPRM. Written public comments are 
requested on the IRFA. Comments must be identified as responses to the 
IRFA and must be filed by the deadlines for comments indicated on the 
first page of this FNPRM. In addition, the FNPRM and its IRFA (or 
summaries thereof) will be published in the Federal Register.
    121. The proceeding this FNPRM initiates shall be treated as a 
``permit-but-disclose'' proceeding in accordance with the Commission's 
ex parte rules. Persons making ex parte presentations must file a copy 
of any written presentation or a memorandum summarizing any oral 
presentation within two business days after the presentation (unless a 
different deadline applicable to the Sunshine period applies). Persons 
making oral ex parte presentations are reminded that memoranda 
summarizing the presentation must (1) list all persons attending or 
otherwise participating in the meeting at which the ex parte 
presentation was made, and (2) summarize all data presented and 
arguments made during the presentation. If the presentation consisted 
in whole or in part of the presentation of data or arguments already 
reflected in the presenter's written comments, memoranda or other 
filings in the proceeding, the presenter may provide citations to such 
data or arguments in his or her prior comments, memoranda, or other 
filings (specifying the relevant page and/or paragraph numbers where 
such data or arguments can be found) in lieu of summarizing them in the 
memorandum. Documents shown or given to Commission staff during ex 
parte meetings are deemed to be written ex parte presentations and must 
be filed consistent with rule 1.1206(b). In proceedings governed by 
rule 1.49(f) or for which the Commission has made available a method of 
electronic filing, written ex parte presentations and memoranda 
summarizing oral ex parte presentations, and all attachments thereto, 
must be filed through the electronic comment filing system available 
for that proceeding, and must be filed in their native format (e.g., 
.doc, .xml, .ppt, searchable .pdf). Participants in this proceeding 
should familiarize themselves with the Commission's ex parte rules.

III. Initial Regulatory Flexibility Analysis

    122. As required by the Regulatory Flexibility Act of 1980, as 
amended (RFA), the Commission has prepared this present Initial 
Regulatory Flexibility Analysis (IRFA) of the possible significant 
economic impact on a substantial number of small entities by the 
policies and rules proposed in this Further Notice of Proposed Rule 
Making (FNPRM). Written public comments are requested on this IRFA. 
Comments must be identified as responses to the IRFA and must be filed 
by the deadlines for comments provided in ``Comment Period and 
Procedures'' of this FNPRM. The Commission will send a copy of this 
FNPRM, including this IRFA, to the Chief Counsel for Advocacy of the 
Small Business Administration (SBA). In addition, the FNPRM and IRFA 
(or summaries thereof) will be published in the Federal Register.
    123. The FNPRM seeks additional comment on various proposals first 
issued in a Notice of Proposed Rulemaking in PS Docket 11-80, adopted 
in 2011 and in a Notice of Proposed Rulemaking in PS Docket No. 15-80, 
adopted in 2015.
    124. The FNPRM seeks comment on:
     A proposal to require the filing of outage reports for 
broadband network disruptions (BIAS and dedicated service), including 
disruptions based on network performance degradation;
     proposed updates to the rules governing interconnected 
VoIP outage reporting to (i) include disruptions based on network 
performance degradation, and (ii) modify the VoIP outage reporting 
process to make it consistent with other services;
     reporting of call failures in wireless radio access 
networks and wireline local access networks, and on geography-based 
reporting of wireless outages in rural areas;
     refining the definition of ``critical communications'' at 
airports.
    125. The Commission traditionally has addressed network resiliency 
and reliability issues by working with communications service providers 
to develop and promote best practices that address network 
vulnerabilities, and by measuring the effectiveness of best practices 
through outage reporting. Under the Commission's current rules, the 
outage reporting process has been effective in improving the 
reliability, resiliency and security of legacy networks and the 
services delivered over them. Commission staff collaborate with 
individual providers and industry organizations to review outage 
results and address areas of concern. These efforts have resulted in 
significant reductions in outages affecting legacy services, including 
interconnected VoIP. The aim of extending outage reporting to cover 
broadband providers is to achieve a similar result: Enhance the 
reliability, resiliency and security of their services utilizing an 
approach--tailored as appropriate to account for broadband's unique 
aspects--that has produced significant benefits with respect to legacy 
networks and services.
    126. The legal bases for the rule changes proposed in this FNPRM 
are contained in sections 1, 4(i), 4(j), 4(o), 201(b), 214(d), 218, 
222, 251(e)(3), 254, 301, 303(b), 303(g), 303(r), 307, 309(a), 309(j), 
316, 332, 403, 615a-1, and 615c, 706 of the Communications Act of 1934, 
as amended, 47 U.S.C. 151, 154(i)-(j) & (o), 201(b), 214(d), 218, 222, 
251(e)(3), 254, 301, 303(b), 303(g), 303(r), 307, 309(a), 309(j), 316, 
332, 403, 615a-1, and 615c, 1302(a) and 1302(b).

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

    127. The RFA directs agencies to provide a description of, and, 
where feasible, an estimate of, the number of small entities that may 
be affected by the proposed rules adopted herein. The RFA generally 
defines the term ``small entity'' the same as the terms ``small 
business,'' ``small organization,'' and ``small governmental 
jurisdiction.'' In addition, the term ``small business'' has the same 
meaning as the term ``small business concern'' under the Small Business 
Act, 5 U.S.C. 601(3). A small business concern is one which: (1) Is 
independently owned and operated; (2) is not dominant in its field of 
operation; and (3) satisfies any additional criteria established by the 
Small Business Administration (SBA), Small Business Act, 15 U.S.C. 632.
1. Total Small Entities
    128. Our action may, over time, affect small entities that are not 
easily categorized at present. We therefore describe here, at the 
outset, three comprehensive, statutory small entity size standards. 
First, nationwide, there are a total of approximately 28.2 million 
small businesses, according to the SBA. In addition, a ``small 
organization'' is generally ``any not-for-profit enterprise which is 
independently owned and operated and is not dominant in its field.'' 
Nationwide, as of 2007, there were approximately 1, 621,315 small 
organizations. Finally, the term ``small governmental jurisdiction'' is 
defined generally as ``governments of cities, towns, townships, 
villages, school districts, or special districts, with a

[[Page 45115]]

population of less than fifty thousand.'' Census Bureau data for 2011 
indicate that there were 89,476 local governmental jurisdictions in the 
United States. We estimate that, of this total, as many as 88,506 
entities may qualify as ``small governmental jurisdictions.'' Thus, we 
estimate that most governmental jurisdictions are small.
2. Interconnected VoIP and Broadband ISPs Services
    129. The 2007 Economic Census places Internet Service Providers, 
the services of which might include Voice over Internet protocol 
(VoIP), in either of two categories, depending on whether the service 
is provided over the provider's own telecommunications facilities 
(e.g., cable and DSL ISPs), which are considered within the Wired 
Telecommunications Carriers category. Or, depending on whether the VoIP 
service is provided over client-supplied telecommunications connections 
(e.g., dial-up ISPs), which are considered within the All Other 
Telecommunications category. To ensure that this IRFA describes the 
universe of small entities that our action might affect, we discuss 
several different types of entities that might be currently providing 
interconnected VoIP service, broadband Internet access service, or 
business data services. In the document, https://apps.fcc.gov/edocs_public/attachmatch/FCC-16-63A1.pdf, we provide a thorough 
discussion of VoIP service provided over the provider's own 
telecommunications facilities; and VoIP service provided over client-
supplied telecommunications connections, and to the extent applicable, 
whether each listed are considered ``small businesses.''
3. Wireline Providers
    130. Neither the Commission nor the SBA has developed a small 
business size standard specifically for incumbent local exchange 
services, providers of interexchange services, or operator service 
providers. The appropriate size standard under SBA rules is for the 
category Wired Telecommunications Carriers. This industry comprises 
establishments primarily engaged in operating and/or providing access 
to transmission facilities and infrastructure that they own and/or 
lease for the transmission of voice, data, text, sound, and video using 
wired telecommunications networks. Transmission facilities may be based 
on a single technology or a combination of technologies. Establishments 
in this industry use the wired telecommunications network facilities 
that they operate to provide a variety of services, such as wired 
telephony services, including VoIP services; wired (cable) audio and 
video programming distribution; and wired broadband Internet services. 
By exception, establishments providing satellite television 
distribution services using facilities and infrastructure that they 
operate are included in this industry.'' In the document, https://apps.fcc.gov/edocs_public/attachmatch/FCC-16-63A1.pdf, we provide a 
thorough discussion of Incumbent Local Exchange Services, Providers of 
Interexchange Services, or Operator Service Providers, and to the 
extent applicable, whether each of these listed are considered ``small 
businesses.''
4. Wireless Providers--Fixed and Mobile
    131. To the extent the wireless services listed below are used by 
wireless firms for fixed and mobile broadband Internet access services, 
the NPRM's proposed rules may have an impact on those small businesses 
as set forth above and further below. Accordingly, for those services 
subject to auctions, we note that, as a general matter, the number of 
winning bidders that claim to qualify as small businesses at the close 
of an auction does not necessarily represent the number of small 
businesses currently in service. Also, the Commission does not 
generally track subsequent business size unless, in the context of 
assignments and transfers or reportable eligibility events, unjust 
enrichment issues are implicated. In the document, https://apps.fcc.gov/edocs_public/attachmatch/FCC-16-63A1.pdf, we provide a 
thorough discussion of Wireless Telecommunications Carriers (except 
Satellite); Wireless Communications Services (WCS); 1670-1675 MHz 
Services; Wireless Telephony; Broadband Personal Communications 
Service; Specialized Mobile Radio Licenses; Lower 700 MHz Band 
Licenses; Upper 700 MHz Band Licenses; 700 Mhz Guard Band Licensees; 
Air-Ground Radiotelephone Service; AWS Services (1710-1755 Mhz and 
2110-2155 Mhz Bands (AWS-1); 1915-1920 Mhz, 1995-2000 Mhz, 2020-2025 
Mhz and 2175-2180 Mhz Bands (AWS-2); 2155-2175 Mhz Band (AWS-3)); 3650-
3700 MHz Band; Fixed Microwave Services; Local Multipoint Distribution 
Service; Broadband Radio Service and Educational Broadband Service; and 
to the extent applicable, whether each of these listed are considered 
``small businesses.''
5. Satellite Service Providers
    132. Two economic census categories address the satellite industry. 
The first category has a small business size standard of $32.5 million 
or less in average annual receipts, under SBA rules. The category of 
Satellite Telecommunications category comprises firms ``primarily 
engaged in providing telecommunications services to other 
establishments in the telecommunications and broadcasting industries by 
forwarding and receiving communications signals via a system of 
satellites or reselling satellite telecommunications.'' The second 
category has a size standard of $32.5 million or less in annual 
receipts. The second category, i.e., ``All Other Telecommunications'' 
``comprises establishments primarily engaged in providing specialized 
telecommunications services, such as satellite tracking, communications 
telemetry, and radar station operation. This industry also includes 
establishments primarily engaged in providing satellite terminal 
stations and associated facilities connected with one or more 
terrestrial systems and capable of transmitting telecommunications to, 
and receiving telecommunications from, satellite systems. 
Establishments providing Internet services or voice over Internet 
protocol (VoIP) services via client-supplied telecommunications 
connections are also included in this industry.'' In the document, 
https://apps.fcc.gov/edocs_public/attachmatch/FCC-16-63A1.pdf, we 
provide a thorough discussion of Satellite Telecommunications firms, 
and All Other Telecommunications establishments; and to the extent 
applicable, whether each of these listed are considered ``small 
businesses.''
6. Cable Service Providers
    133. Because Section 706 requires us to monitor the deployment of 
broadband regardless of technology or transmission media employed, we 
know that some broadband service providers do not provide voice 
telephony service. Accordingly, we describe below other types of firms 
that may provide broadband services, including cable companies, MDS 
providers, and utilities, among others. Wired Telecommunications 
Carriers comprise of establishments primarily engaged in operating and/
or providing access to transmission facilities and infrastructure that 
they own and/or lease for the transmission of voice, data, text, sound, 
and video using wired telecommunications networks. Transmission 
facilities may be based on

[[Page 45116]]

a single technology or a combination of technologies. Establishments in 
this industry use the wired telecommunications network facilities that 
they operate to provide a variety of services, such as wired telephony 
services, including VoIP services; wired (cable) audio and video 
programming distribution; and wired broadband Internet services. By 
exception, establishments providing satellite television distribution 
services using facilities and infrastructure that they operate are 
included in this industry.'' For Cable Companies and Systems, the 
Commission has also developed its own small business size standards, 
for the purpose of cable rate regulation. Under the Commission's rules, 
a ``small cable company'' is one serving 400,000 or fewer subscribers 
nationwide. Industry data indicate that all but ten cable operators 
nationwide are small under this size standard. In addition, under the 
Commission's rules, a ``small system'' is a cable system serving 15,000 
or fewer subscribers. For Cable System Operators, the Communications 
Act of 1934, as amended, also contains a size standard for small cable 
system operators, which is ``a cable operator that, directly or through 
an affiliate, serves in the aggregate fewer than 1 percent of all 
subscribers in the United States and is not affiliated with any entity 
or entities whose gross annual revenues in the aggregate exceed 
$250,000,000.'' The Commission has determined that an operator serving 
fewer than 677,000 subscribers shall be deemed a small operator, if its 
annual revenues, when combined with the total annual revenues of all 
its affiliates, do not exceed $250 million in the aggregate. In the 
document, https://apps.fcc.gov/edocs_public/attachmatch/FCC-16-63A1.pdf, we provide a thorough discussion of Wired Telecommunications 
Carriers; Cable Companies and Systems; and Cable System Operators; and 
to the extent applicable, whether each of these listed are considered 
``small businesses.''

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

    134. The rules proposed in the FNPRM would require broadband 
Internet access providers and dedicated service providers as well as 
interconnected VoIP providers, to report outages or disruptions to 
communications according to specified metrics and thresholds, of at 
least 30 minutes. These providers as proposed, would need to specify 
when the outage is related unintended changes to or failures of 
software or firmware, unintended modifications to databases, or 
attributed to a critical network element. Reporting requirements would 
align the reporting process and timing with that of legacy reporting 
currently required in the part 4 rules.
    135. Further, the rules proposed in the FNPRM would require 
interconnected VoIP service providers to submit Initial Reports, in 
addition to the Notifications and Final Reports currently required. 
These reporting requirements would align the reporting process and 
timing with that of legacy reporting currently required in the part 4 
rules.
    136. Moreover, the rules proposed in the FNPRM would require 
wireless and wireline providers to report outages that exceed proposed 
specified technical thresholds in the wireless radio access network and 
the wireline local access network respectively. The rules proposed in 
the FNPRM would also require wireless providers serving rural areas to 
file outage reports whenever one-third or more of its macro cell sites 
serving that area are disabled such that communications services cannot 
be handled through those sites, or are substantially impaired due to 
the outage(s) or other disruptions affecting those sites.
    137. Under the Commission's current outage reporting rules, which 
apply only to legacy circuit-switched voice and/or paging 
communications over wireline, wireless, cable, and satellite 
communications services and interconnected VoIP, about 11,000 outage 
reports per year from all reporting sources combined are filed with the 
Commission. As a result of the rules proposed, we anticipate that fewer 
than 2,000 additional outage reports will be filed annually. Hence, we 
estimate that if the proposed rules are adopted, the total number of 
reports from all outage reporting sources filed, pursuant to the 
current and proposed rules, combined would be fewer than 13,000 
annually. We note that, occasionally, the proposed outage reporting 
requirements could require the use of professional skills, including 
legal and engineering expertise. As a consequence, we believe that in 
the usual case, the only burden associated with the proposed reporting 
requirements contained in this FNPRM would be the time required to 
complete the initial and final reports. We anticipate that electronic 
filing, through the type of template that we are proposing (similar to 
the type that other service providers currently subject to outage 
reporting requirements are employing) should minimize the amount of 
time and effort that will be required to comply with the rules that we 
propose in this proceeding.
    138. The FNPRM's proposal to require outage reporting would be 
useful in refining voluntary best practices and in developing new ones. 
In each case for the reporting thresholds proposed, we have chosen 
specific circumstances, applicable to the specific service that, in our 
view, warrant reporting as a significant outage, leading to FCC 
analysis and, possibly, the application of existing best practices or 
the development and refinement of best practices in the future. There 
may be additional thresholds that should also be included to improve 
the process of developing and improving best practices. We encourage 
interested parties to address these issues in the context of the 
applicable technologies and to develop their comments in the context of 
ways in which the proposed information collection would facilitate best 
practices development and increased communications security, 
reliability and resiliency throughout the United States and its 
Territories.

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

    139. The RFA requires an agency to describe any significant 
alternatives that it has considered in reaching its proposed approach, 
which may include (among others) the following four alternatives: (1) 
The establishment of differing compliance or reporting requirements or 
timetables that take into account the resources available to small 
entities; (2) the clarification, consolidation, or simplification of 
compliance or reporting requirements under the rule for small entities; 
(3) the use of performance, rather than design, standards; and (4) an 
exemption from coverage of the rule, or any part thereof, for small 
entities.
    140. Over the past decade, the proportion of communications 
services provided over a broadband platform has increased dramatically, 
and the U.S. increasingly relies on broadband-based services not only 
for day-to-day consumer use but also for Homeland Defense and National 
Security. Over the past three years, the number of outages reported 
each year has remained relatively steady at about 11,000. We believe 
that the proposed outage reporting requirements are the minimum 
necessary to assure that we receive adequate information to perform our 
statutory responsibilities with respect to 911 services and ensure the 
reliability of communications and critical infrastructures. Also, we 
believe that the magnitude of the outages

[[Page 45117]]

needed to trigger the proposed reporting requirements (e.g., outages of 
at least 30 minutes duration that potentially affect at least 900,000 
user minutes) is set sufficiently high as to make it unlikely that 
small businesses would be impacted significantly by the proposed rules. 
We also believe the choice of performance-based, as opposed to design-
based, degradation characteristics (e.g., packet loss and round-trip 
latency) and the corresponding thresholds chosen to trigger the outage 
reporting will not unduly burden smaller entities because of their 
objective, readily ascertainable nature. We have also carefully 
considered the notion of a waiver for small entities from coverage of 
the proposed rules, but declined to propose one, as a waiver of this 
type would unduly frustrate the purpose of the proposed requirements 
and run counter to the objectives of the FNPRM. Further, we believe 
that the proposed requirement that outage reports be filed 
electronically would significantly reduce the burdens and costs 
currently associated with manual filing processes.
    141. The proposed rules in the FNPRM are generally consistent with 
current industry practices, so the costs of compliance should be small. 
For a number of reasons, we believe that the costs of the reporting 
rules that we propose in the FNPRM are outweighed by the expected 
benefits (i.e., ensuring communications reliability through outage 
reporting, trend analysis and network best practice development and 
implementation). We have excluded from the proposed requirements any 
type of competitively sensitive information, information that would 
compromise network security, and information that would undermine the 
efficacy of reasonable network management practices. We anticipate that 
the record will suggest alternative ways in which the Commission could 
increase the overall benefits for, and lessen the overall burdens on, 
small entities.
    142. We ask parties to include comments on possible alternatives 
that could satisfy the aims of the proceeding in cost-effective ways 
that do not overly burden providers, and we also seek comment on 
appropriate legal authority(ies) for the proposals under consideration. 
Moreover, we also seek comments on the relative costs and benefits 
associated with the proposed rules. We ask commenters to address 
particularly the following concerns: What are the costs, burdens, and 
benefits associated with any proposed rule? Entities, especially small 
businesses and small entities, more generally, are encouraged to 
quantify the costs and benefits of the proposed reporting requirements. 
How could any proposed rule be tailored to impose the least cost and 
the least amount of burden on those affected? What potential regulatory 
approaches would maximize the potential benefits to society? To the 
extent feasible, what explicit performance objectives should the 
Commission specify? How can the Commission best identify alternatives 
to regulation, including fees, permits, or other non-regulatory 
approaches?
    143. Further, comments are sought on all aspects of this proposal, 
including the proposed extension of such requirements, the definitions 
and proposed reporting thresholds, and the proposed reporting process 
that would follow essentially the same approach that currently applies 
to outage reporting on legacy networks and services. We ask that 
commenters address whether the proposed rules would satisfy the 
Commission's intended aims, described herein, and would promote the 
reliability, resiliency and security of interconnected VoIP, broadband 
Internet access, and dedicated services. We also ask for comments on 
our tentative conclusions that: Expanding part 4 outage reporting 
requirements currently applicable to interconnected VoIP service 
providers, and extending part 4 reporting to BIAS providers and 
dedicated service providers, (i) would allow the Commission to analyze 
outage trends related to those services; (ii) would provide an 
important tool for network operators to use in preventing future 
outages; and (iii) would help to enhance and ensure the resiliency and 
reliability of critical communications networks and services.
    144. In sum, we welcome comments on: The proposed rules themselves; 
whether they would achieve their intended objectives; whether there are 
performance objectives not mentioned that we should address; whether 
better alternatives exist that would accomplish the proceeding's 
objectives; the legal premises for the actions contemplated; and the 
costs, burdens and benefits of our proposal.

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

    145. None.

List of Subjects in 47 CFR Part 4

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

Federal Communications Commission.
Gloria J. Miles,
Federal Register Liaison Officer, Office of the Secretary.

Proposed Rules

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

PART 4--DISRUPTIONS TO COMMUNICATIONS

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

    Authority:  Sections 1, 4(i), 4(j), 4(o), 251(e)(3), 254, 301, 
303(b), 303(g), 303(r), 307, 309(a), 309(j), 316, 332, 403, 615a-1, 
and 615c of Pub. L. 73-416, 48 Stat. 1064, as amended, and section 
706 of Pub. L. 104-104, 110 Stat. 56; 47 U.S.C. 151, 154(i)-(j) & 
(o), 251(e)(3), 254, 301, 303(b), 303(g), 303(r), 307, 309(a), 
309(j), 316, 332, 403, 615a-1, 615c, and 1302, unless otherwise 
noted.

0
2. Section 4.3 is amended by redesignating paragraph (i) as paragraph 
(k) and adding new paragraphs (i) and (j) to read as follows:


Sec.  4.3  Communications providers covered by the requirements of this 
part.

* * * * *
    (i) Broadband Internet access service providers (BIAS) are 
providers of broadband Internet access service, as defined in Sec.  8.2 
of this chapter.
    (j) Dedicated Service providers are providers of service that 
transports data between two or more designated points, e.g., between an 
end user's premises and a point-of-presence, between the central office 
of a local exchange carrier (LEC) and a point-of-presence, or between 
two end user premises, at a rate of at least 1.5 Mbps in both 
directions (upstream/downstream) with prescribed performance 
requirements that include bandwidth, latency, or error-rate guarantees 
or other parameters that define delivery under a tariff or in a 
service-level agreement.
* * * * *
0
3. Section 4.7 is amended by revising the section heading and paragraph 
(e)(2), and adding paragraphs (g) through (i) to read as follows:


Sec.  4.7  Definitions of metrics used to determine reporting of 
outages and disruptions to communications.

* * * * *
    (e) * * *
    (2) The mathematical result of multiplying the duration of an 
outage, expressed in minutes, by the number of end-users potentially 
affected by the

[[Page 45118]]

outage, for all other forms of communications.
* * * * *
    (g) Packet loss is defined as the loss of one or more packets of 
data traveling across a network, which after being transmitted from a 
source, fail(s) to reach the destination point designated in the 
transmitting message.
    (h) Latency is defined as the average time delay for a packet to 
travel from a source to a destination.
    (i) Throughput is the amount of information transferred within a 
system in a given amount of time.
0
4. Section 4.9 is amended by revising the heading of paragraph (g), 
paragraphs (g)(1)(ii), (g)(2) and adding paragraph (i) to read as 
follows:


Sec.  4.9  Outage reporting requirements--threshold criteria.

* * * * *
    (g) Interconnected VoIP Service. (1) * * *
    (ii) Within 120 minutes of discovering that they have experienced 
on any facilities that they own, operate, lease, or otherwise utilize, 
an outage of at least 30 minutes duration that:
    (A) Potentially affects at least 900,000 user minutes of 
Interconnected VoIP service and results in complete loss of service;
    (B) Potentially affects 22,500 Gbps user minutes; or
    (C) Potentially affects any special offices and facilities (in 
accordance with paragraphs (a) through (d) of Sec.  4.5).
    (2) Not later than 72 hours after discovering the outage, the 
provider shall submit electronically an Initial Communications Outage 
Report to the Commission. Not later than 30 days after discovering the 
outage, the provider shall submit electronically a Final Communications 
Outage Report to the Commission. The Notification and the Initial and 
Final reports shall comply with the requirements of Sec.  4.11.
* * * * *
    (i) BIAS or Dedicated Service providers. (1) All BIAS providers and 
Dedicated Service providers, as defined in Sec.  4.3 shall submit 
electronically a Notification to the Commission within 120 minutes of 
discovering that they have experienced on any facilities that they own, 
operate, lease, or otherwise utilize, an outage of at least 30 minutes 
duration that:
    (A) Potentially affects at least 22,500 Gbps user minutes;
    (B) Potentially affects any special offices and facilities (in 
accordance with paragraphs (a) through (d) of Sec.  4.5); or
    (C) Potentially affects a 911 special facility (as defined in (e) 
of Sec.  4.5).
    (2) Not later than 72 hours after discovering the outage, BIAS 
providers and Dedicated Service providers, as defined in Sec.  4.3, 
shall submit electronically an Initial Communications Outage Report to 
the Commission. Not later than 30 days after discovering the outage, 
the broadband Internet access service provider shall submit 
electronically a Final Communications Outage Report to the Commission. 
The Notification and the Initial and Final reports shall comply with 
the requirements of Sec.  4.11.

[FR Doc. 2016-16273 Filed 7-8-16; 11:15 am]
 BILLING CODE 6712-01-P



                                                                             Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules                                            45095

                                                    impose any requirements on small                         I. National Technology Transfer and                   SUMMARY:    In this document, the Federal
                                                    entities. The agency has determined that                 Advancement Act (NTTAA)                               Communications Commission
                                                    neither of the companies affected by this                  This action involves technical                      (Commission) seeks comment on: A
                                                    proposed reconsideration document is                     standards. In the final rule for this                 proposal to update the Commission’s
                                                    considered to be a small entity.                         source category, the EPA decided to use               outage reporting requirement rules to
                                                                                                             ASTM D7520–13, Standard Test Method                   address broadband network disruptions,
                                                    D. Unfunded Mandates Reform Act                                                                                including packet-based disruptions
                                                    (UMRA)                                                   for Determining the Opacity in a Plume
                                                                                                             in an Outdoor Ambient Atmosphere, for                 based on network performance
                                                      This action does not contain an                        measuring opacity from the shop                       degradation; proposed changes to the
                                                    unfunded mandate of $100 million or                      buildings. This standard is an                        rules governing interconnected voice
                                                    more as described in UMRA, 2 U.S.C.                                                                            over Internet protocol (VoIP) outage
                                                                                                             acceptable alternative to EPA Method 9
                                                    1531–1538, and does not significantly or                                                                       reporting to include disruptions based
                                                                                                             and is available from the American
                                                    uniquely affect small governments. The                                                                         on network performance degradation,
                                                                                                             Society for Testing and Materials
                                                    action imposes no enforceable duty on                                                                          update our outage definition to address
                                                                                                             (ASTM), 100 Barr Harbor Drive, Post
                                                    any state, local, or tribal governments or                                                                     incidents involving specified network
                                                                                                             Office Box C700, West Conshohocken,
                                                    the private sector.                                                                                            components; and modify the reporting
                                                                                                             PA 19428–2959. See http://
                                                                                                                                                                   process to make it consistent with other
                                                    E. Executive Order 13132: Federalism                     www.astm.org/. For this proposed
                                                                                                                                                                   services; reporting of call failures in the
                                                                                                             reconsideration action, the EPA has
                                                      This action does not have federalism                                                                         radio access network and local access
                                                                                                             agreed to reconsider the use of ASTM
                                                    implications. It will not have substantial                                                                     network, and on geography-based
                                                                                                             D7520–13 as the only method to be used
                                                    direct effects on the states, on the                                                                           reporting of wireless outages in rural
                                                                                                             to measure opacity from the shop
                                                    relationship between the national                                                                              areas; and, refining the covered critical
                                                                                                             buildings.
                                                    government and the states, or on the                                                                           communications at airports subject to
                                                    distribution of power and                                J. Executive Order 12898: Federal                     the Commission’s outage reporting
                                                    responsibilities among the various                       Actions To Address Environmental                      requirements.
                                                    levels of government.                                    Justice in Minority Populations and                   DATES: Submit comments on or before
                                                                                                             Low-Income Populations                                August 26, 2016, and reply comments
                                                    F. Executive Order 13175: Consultation
                                                    and Coordination With Indian Tribal                         The EPA believes that this action does             on or before September 12, 2016.
                                                    Governments                                              not have disproportionately high and                  ADDRESSES: You may submit comments,
                                                                                                             adverse human health or environmental                 identified by PS Docket No. 15–80 and
                                                      This action does not have tribal                       effects on minority populations, low-                 11–82, by any of the following methods:
                                                    implications as specified in Executive                   income populations, and/or indigenous                    • Federal Communications
                                                    Order 13175. There are no ferroalloys                    peoples, as specified in Executive Order              Commission’s Web site: http://
                                                    production facilities that are owned or                  12898 (59FR 7629, February 16, 1994)                  fjallfoss.fcc.gov/ecfs2/. Follow the
                                                    operated by tribal governments. Thus,                    because it does not affect the level of               instructions for submitting comments.
                                                    Executive Order 13175 does not apply                     protection provided to human health or                   • Filings can be sent by hand or
                                                    to this action.                                          the environment. This action only                     messenger delivery, by commercial
                                                                                                             includes reconsideration of certain                   overnight courier, or by first-class or
                                                    G. Executive Order 13045: Protection of
                                                                                                             issues of the final rule that will not                overnight U.S. Postal Service mail. See
                                                    Children From Environmental Health
                                                                                                             affect the emission standards that were               the SUPPLEMENTARY INFORMATION Section
                                                    Risks and Safety Risks
                                                                                                             finalized on June 30, 2015.                           for more instructions.
                                                      This action is not subject to Executive                                                                         • People with Disabilities: Contact the
                                                    Order 13045 because it is not                            List of Subjects in 40 CFR Part 63                    FCC to request reasonable
                                                    economically significant as defined in                     Environmental protection,                           accommodations (accessible format
                                                    Executive Order 12866, and because the                   Administrative practice and procedures,               documents, sign language interpreters,
                                                    EPA does not believe the environmental                   Air pollution control, Hazardous                      CART, etc.) by email: FCC504@fcc.gov
                                                    health or safety risks addressed by this                 substances, Intergovernmental relations,              or phone: 202–418–0530 or TTY: 202–
                                                    action present a disproportionate risk to                Reporting and recordkeeping                           418–0432.
                                                    children. The health risk assessments                    requirements.                                            For detailed instructions for
                                                    completed for the final rule are                           Dated: June 30, 2016.
                                                                                                                                                                   submitting comments and additional
                                                    presented in the Residual Risk                                                                                 information on the rulemaking process,
                                                                                                             Gina McCarthy,
                                                    Assessment for the Ferroalloys Source                                                                          see the SUPPLEMENTARY INFORMATION
                                                                                                             Administrator.                                        Section of this document.
                                                    Category in Support of the 2015 Final
                                                                                                             [FR Doc. 2016–16450 Filed 7–11–16; 8:45 am]
                                                    Rule document, which is available in                                                                           FOR FURTHER INFORMATION CONTACT:
                                                                                                             BILLING CODE 6560–50–P                                Brenda D. Villanueva, Attorney Advisor,
                                                    the docket for this action (EPA–HQ–
                                                    OAR–2010–0895–0281), and are                                                                                   Public Safety and Homeland Security
                                                    discussed in section V.G of the                                                                                Bureau, (202) 418–7005, or
                                                    preamble for the final rule (80 FR                       FEDERAL COMMUNICATIONS                                brenda.villanueva@fcc.gov.
                                                    37366).                                                  COMMISSION                                            SUPPLEMENTARY INFORMATION: This is a
                                                                                                                                                                   summary of the Commission’s Further
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    H. Executive Order 13211: Actions                        47 CFR Part 4
                                                                                                                                                                   Notice of Proposed Rulemaking
                                                    Concerning Regulations That
                                                                                                             [PS Docket No. 15–80, 11–82; FCC 16–63]               (FNPRM), FCC 16–63, adopted May 25,
                                                    Significantly Affect Energy Supply,
                                                                                                                                                                   2016, and released May 26, 2016. The
                                                    Distribution, or Use                                     Disruptions to Communications                         full text of this document is available for
                                                      This action is not subject to Executive                AGENCY:  Federal Communications                       inspection and copying during normal
                                                    Order 13211 because it is not a                          Commission.                                           business hours in the FCC Reference
                                                    significant regulatory action under                                                                            Center (Room CY–A257), 445 12th
                                                                                                             ACTION: Proposed rule.
                                                    Executive Order 12866.                                                                                         Street SW., Washington, DC 20554 or


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00026   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                    45096                    Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules

                                                    via ECFS at http://fjallfoss.fcc.gov/                    (Commission) seeks comment on                         them to (1) extend their application to
                                                    ecfs/. The full text may also be                         proposals to modernize its outage                     broadband Internet access services
                                                    downloaded at: https://apps.fcc.gov/                     reporting rules to increase its ability to            (BIAS), and (2) revising the manner in
                                                    edocs_public/attachmatch/FCC-16-                         detect adverse outage trends and                      which they apply to existing and future
                                                    63A1.pdf.                                                facilitate industrywide network                       dedicated services to ensure a
                                                       Pursuant to sections 1.415 and 1.419                  improvements. The Commission seeks                    broadband emphasis. In this FNPRM,
                                                    of the Commission’s rules, 47 CFR                        comment on whether and how to update                  we propose to use the term ‘‘dedicated
                                                    1.415, 1.419, interested parties may file                its part 4 outage reporting requirements              service’’ to refer to those services
                                                    comments and reply comments on or                        to address broadband, an increasingly                 defined in 2013’s Special Access Data
                                                    before the dates indicated on the first                  essential element in our nation’s                     Collection Implementation Order, i.e.,
                                                    page of this document. Comments may                      communications networks, along with                   ‘‘service that ‘transports data between
                                                    be filed using the Commission’s                          other streamline proposals. This action               two or more designated points, e.g.,
                                                    Electronic Comment Filing System                         seeks to ensure that the outage reporting             between an End User’s premises and a
                                                    (ECFS). See Electronic Filing of                         system keeps pace with technological                  point-of-presence, between the central
                                                    Documents in Rulemaking Proceedings,                     change and addresses evolving                         office of a local exchange carrier (LEC)
                                                    63 FR 24121 (1998).                                      consumer preference impact in order to                and a point-of-presence, or between two
                                                       • Electronic Filers: Comments may be                  be better equipped to promote the safety              End User premises, at a rate of at least
                                                    filed electronically using the Internet by               of life and property through the use of               1.5 Mbps in both directions (upstream/
                                                    accessing the ECFS: http://apps.fcc.gov/                 wire and radio communication.                         downstream) with prescribed
                                                    ecfs/.                                                      In a companion document, a Report                  performance requirements that include
                                                       • Paper Filers: Parties who choose to                 and Order and Order on                                bandwidth, latency, or error-rate
                                                    file by paper must file an original and                  Reconsideration in PS Docket No. 15–                  guarantees or other parameters that
                                                    one copy of each filing. If more than one                80, and ET Docket No. 04–35,                          define delivery under a Tariff or in a
                                                    docket or rulemaking number appears in                   respectively, the Commission adopts                   service-level agreement.’ ’’).These
                                                    the caption of this proceeding, filers                   several proposals in a Notice of                      actions, we believe, will ensure that the
                                                    must submit two additional copies for                    Proposed Rulemaking in 2015, and                      Commission’s ability to monitor
                                                    each additional docket or rulemaking                     resolves several outstanding matters                  communications reliability and
                                                    number.                                                  related to its adoption of the part 4 rules           resiliency keeps pace with technological
                                                       Filings can be sent by hand or                        in a Report and Order in 2004.                        change and the broadband-based
                                                    messenger delivery, by commercial                        I. Further Notice of Proposed                         capabilities and uses of today’s evolving
                                                    overnight courier, or by first-class or                  Rulemaking                                            networks.
                                                    overnight U.S. Postal Service mail. All
                                                                                                                1. As service providers transition from               2. More specifically, we: (i) Seek
                                                    filings must be addressed to the
                                                                                                             legacy network facilities to IP-based                 comment on proposed reporting
                                                    Commission’s Secretary, Office of the
                                                                                                             networks, the Commission must                         requirements, metrics, and narrative
                                                    Secretary, Federal Communications
                                                                                                             continue to safeguard the reliability and             elements for both BIAS and dedicated
                                                    Commission.
                                                       • All hand-delivered or messenger-                    resiliency of all of these interrelated               services outages and disruptions,
                                                    delivered paper filings for the                          systems. As we have observed before,                  including for network performance
                                                    Commission’s Secretary must be                           broadband networks and services                       degradation; and (ii) propose to amend
                                                    delivered to FCC Headquarters at 445                     increasingly characterize the                         the Commission’s existing outage
                                                    12th St. SW., Room TW–A325,                              environment for the nation’s 9–1–1 and                reporting requirements for
                                                    Washington, DC 20554. The filing hours                   NG911 emergency communications and,                   interconnected VoIP to reflect
                                                    are 8:00 a.m. to 7:00 p.m. All hand                      thus, are central to the nation’s                     disruptions resulting from network
                                                    deliveries must be held together with                    emergency preparedness, management                    performance degradation. In addition,
                                                    rubber bands or fasteners. Any                           of crises, and essential public safety-               we seek further comment on two
                                                    envelopes and boxes must be disposed                     related communications. To meet the                   proposals raised in the Notice and
                                                    of before entering the building.                         challenge of assuring broadband                       aimed at increasing our awareness of
                                                       • Commercial overnight mail (other                    networks in order to carry out its                    certain outages: (i) Reporting call
                                                    than U.S. Postal Service Express Mail                    foundational public safety mission, the               failures in both the wireless and
                                                    and Priority Mail) must be sent to 9300                  Commission must maintain visibility                   wireline/interconnected VoIP access
                                                    East Hampton Drive, Capitol Heights,                     into TDM-based networks while                         networks; and (ii) reporting outages that
                                                    MD 20743.                                                simultaneously ensuring similar                       affect large geographic areas but do not
                                                       • U.S. Postal Service first-class,                    visibility into commercial IP and hybrid              trigger the user-minute threshold
                                                    Express, and Priority mail must be                       networks. Our current part 4 rules                    because of sparse population. We also
                                                    addressed to 445 12th Street SW.,                        establish outage reporting requirements               seek comment on establishing outage
                                                    Washington, DC 20554.                                    that are in many ways centered on                     reporting triggers for certain airport
                                                       People with Disabilities: To request                  ‘‘circuit-switched telephony’’ and                    communications assets (‘‘special offices
                                                    materials in accessible formats for                      circuits that involve a ‘‘serving central             and facilities’’) designated as TSP Level
                                                    people with disabilities (braille, large                 office.’’ The proposals in this FNPRM,                3 and Level 4 facilities. Finally, we seek
                                                    print, electronic files, audio format),                  among other things, aim to update the                 to determine the most cost-effective
                                                    send an email to fcc504@fcc.gov or call                  part 4 rules to ensure reliability of                 approaches to accomplish these
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    the Consumer & Governmental Affairs                      broadband networks used to deploy                     objectives, and accordingly seek
                                                    Bureau at 202–418–0530 (voice), 202–                     critical communications services, used                comment on potential costs and benefits
                                                    418–0432 (tty).                                          both for emergency and non-emergency                  associated with each proposal in the
                                                                                                             purposes. As discussed below, we                      FNPRM. To that end, commenters
                                                    Synopsis of Further Notice of Proposed                   believe the part 4 rules can likely                   should provide specific data and
                                                    Rulemaking                                               provide the Commission with the                       information, such as actual or estimated
                                                      In this document, the Federal                          necessary situational awareness about                 dollar figures, and include any
                                                    Communication Commission                                 these broadband networks by updating                  supporting documents and descriptions


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00027   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                                             Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules                                          45097

                                                    of how any data was gathered and                         prevent future outages.’’ The following               based Next Generation 911 (NG911)
                                                    analyzed.                                                year, the Commission proposed to                      networks. NENA’s i3 architecture has
                                                       3. The nation’s transition from legacy                safeguard reliable 911 service by                     become the de facto standard for NG911
                                                    (i.e., TDM-based) communications                         extending outage reporting rules to                   network design, in which voice, text,
                                                    platforms to IP for communications                       broadband Internet access service                     and data communications to, from, and
                                                    services has been steadily progressing                   (BIAS) and backbone Internet service as               between PSAPs operate over an
                                                    since the last time the Commission                       well as interconnected VoIP service. In               Emergency Services IP network
                                                    expanded its outage reporting                            the 2012 Part 4 VoIP Order, the                       (ESINet). The Commission has observed
                                                    requirements to include ‘‘newly                          Commission adopted rules to extend                    that ‘‘new capabilities will enhance the
                                                    emerging forms of communication’’ in                     reporting requirements to                             accessibility of 911 to the public (e.g.,
                                                    2004. For one thing, consumers have                      interconnected VoIP service providers                 by enabling video and text-to-911 for
                                                    significantly increased their dependence                 for outages resulting in a complete loss              persons with speech and hearing
                                                    on broadband networks. Beyond                            of service, but deferred action on the                disabilities), and will provide PSAPs
                                                    consumer technologies, important                         remaining proposals. At the time, the                 with enhanced information that will
                                                    sectors are relying increasingly on                      Commission indicated that its proposals               enable emergency responders to assess
                                                    interconnected VoIP and broadband                        to extend outage reporting obligations to             and respond to emergencies more
                                                    services. Indeed, in 2016, broadband                     broadband providers ‘‘deserve[d] further              quickly.’’ Service providers typically
                                                    service is a central part of most                        study.’’                                              market such improvements to 911 as a
                                                    Americans’ lives.                                           6. Numerous commenters in this and                 way to offer better service at lower cost
                                                       4. Reliance by enterprise customers                   other proceedings have urged the                      and an opportunity to phase out
                                                    on dedicated services also continues to                  Commission to closely monitor changes                 obsolete technologies.
                                                    increase, reflecting the rapid transition                in network reliability as 911 networks                   8. Nevertheless, we acknowledge that
                                                    of the nation’s businesses and                           migrate to IP, and others assert that                 ‘‘evolving technology, while providing
                                                    governmental institutions to broadband                   some communities are increasingly                     many benefits to PSAPs and the public,
                                                    powered communications. As we                            dependent upon robust mobile                          also has introduced new and different
                                                    recently observed in the Special Access                  broadband connectivity to deliver, in                 risks.’’ For example, 911 service can
                                                    proceedings, such services are ‘‘an                      part, public safety services necessary for            now be disrupted by software
                                                    important building block for creating                    modern life. As federal funds are spent               malfunctions, database failures, and
                                                    private or virtual private networks                      to ensure deployment of broadband,                    errors in conversion from legacy to IP-
                                                    across a wide geographic area and                        e.g., through programs such as the                    based network protocols, and such
                                                    enabling the secure and reliable transfer                Connect America Fund, we expect                       disruptions can occur in unique parts of
                                                    of data between locations.’’ They can                    recipients of these funds to build out                the IP network that lack analogous
                                                    also ‘‘provide dedicated access to the                   networks that serve the public interest               counterparts in legacy architecture.
                                                    Internet and access to innovative                        through reliable access to critical                   Moreover, the consolidation of critical
                                                    broadband services.’’ They are used by                   communications, e.g., 911. The U.S.                   resources in a small number of
                                                    mobile wireless providers to backhaul                    Government Accountability Office                      databases increases the risk of a 911
                                                    voice and data traffic from cell sites to                (GAO) recognized that ‘‘[t]he                         service failure that affects many PSAPs
                                                    their mobile telephone switching                         communications sector is transitioning                at once, even across state lines or
                                                    offices. Branch banks and gas stations                   from legacy networks to an all-Internet               potentially impacting all of a service
                                                    use such connections for ATMs and                        Protocol (IP) environment, leading                    provider’s customers nationwide. Given
                                                    credit card readers. Businesses,                         consumer and public safety groups,                    the growing deployment of ESINets and
                                                    governmental institutions, hospitals and                 among others, to question how reliably                the Commission’s specific interest in
                                                    medical offices, and even schools and                    the nation’s communications networks                  monitoring the reliability and resiliency
                                                    libraries use them to create their own                   will function during times of crisis.’’               of PSAP connectivity, we believe that it
                                                    private networks and to access other                     Echoing the Broadband Opportunity                     is critical for the Commission to have
                                                    services such as Voice over IP (VoIP),                   Council, in its 2015 report GAO                       visibility into the networks of all
                                                    Internet access, television, cloud-based                 questioned whether the Commission                     providers supporting ESINet service and
                                                    hosting services, video conferencing,                    can currently fulfill its information                 other critical infrastructure to fully
                                                    and secure remote access. Carriers buy                   needs through existing efforts to collect             understand reliability and resiliency
                                                    them as a critical input for delivering                  comprehensive, nationwide data on                     factors associated with public safety and
                                                    their own customized, advanced service                   technology transitions, and                           critical infrastructure communications.
                                                    offerings to end users. We believe it is                 recommended that we develop a                            9. For both emergency and non-
                                                    critical that our outage reporting rules,                strategy and gather information on the                emergency services, broadband is now
                                                    long applicable to communications                        ‘‘IP transition to assess its potential               (or rapidly is becoming) the
                                                    services such as special access, continue                effects on public safety and consumers.’’             communications sector’s essential
                                                    to provide an appropriate measure of                     It also noted that this ‘‘would help [the             transmission technology and, thus, ‘‘an
                                                    network resiliency, reliability and                      Commission] address these areas of                    integral component of the U.S.
                                                    security assurance for today’s and                       uncertainty as it oversees the IP                     economy, underlying the operations of
                                                    tomorrow’s broadband network services.                   transition,’’ and enable ‘‘data-driven                all businesses, public safety
                                                       5. The Commission has long                            decisions.’’ We agree and seek comment                organizations, and government.’’ These
                                                    recognized the importance of these                       below on mechanisms to improve the                    communications sector developments,
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    trends for outage reporting. In 2010, the                quantity and quality of data collected on             both in NG911 deployment and in the
                                                    National Broadband Plan called on the                    the impact of increased broadband                     nation’s communications sector more
                                                    Commission to extend part 4 outage                       availability and usage.                               broadly, illustrate how important it is
                                                    reporting rules to broadband Internet                       7. In the fulfillment of its public                that the Commission’s outage reporting
                                                    service providers and interconnected                     safety responsibilities, no context is                requirements evolve at a similar pace as
                                                    VoIP service providers, citing a ‘‘lack of               more important for the Commission to                  the communications sector. As 911
                                                    data [that] limited our understanding of                 research and monitor the technology                   services evolve toward NG911
                                                    network operations and of how to                         transition than in the deployment of IP-              combinations of voice, data, and video,


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00028   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                    45098                    Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules

                                                    and as voice and data are exchanged                      environmental ones—have been shown                    feature of our communications
                                                    over the same infrastructure, it is                      to jeopardize 911 communications                      networks. Additionally, in the 2012 Part
                                                    necessary for the Commission to refocus                  services, sometimes across several                    4 Order, the Commission observed that
                                                    its lens for outage reporting and re-                    states. Indeed, broadband networks can                ‘‘the record . . . reflect[ed] a
                                                    examine its part 4 reporting metrics to                  support centralized services, but, if not             willingness on the part of broadband
                                                    ensure that they collect the necessary                   engineered well, they can harm                        Internet service providers to participate
                                                    data on the reliability of broadband                     resiliency objectives. We believe that                in a voluntary process’’ to improve the
                                                    networks. Access to such objective                       these challenges will likely become                   Commission’s awareness of broadband
                                                    information would ensure that the                        more pronounced as broadband                          outages and their impact on public
                                                    evolution of critical communications                     increasingly comes to define the                      safety. Over the past four years,
                                                    services does not pose an obstacle to the                nation’s communication networks. This                 broadband providers have not come
                                                    Commission’s established consumer                        new paradigm of larger, more impactful                forward with concrete proposals for
                                                    protection, public safety, and national                  outages suggests that there would be                  such a process or even expressed such
                                                    security statutory missions.                             significant value in collecting data on               an interest in voluntary reporting. As
                                                                                                             outages and disruptions to commercial                 with previous attempts at voluntary
                                                    A. Broadband Network Outage                              broadband service providers. We seek                  reporting, we are concerned that any
                                                    Reporting                                                comment on this view.                                 voluntary regime for broadband outages
                                                    1. The Need for Updated Broadband                           12. Given the potential for broad-                 would be unsuccessful in achieving a
                                                    Network Disruption and Outage                            scale, highly-disruptive outages in the               level of participation necessary to make
                                                    Reporting                                                broadband environment—and                             the program effective. We seek comment
                                                                                                             particularly those impacting 911                      on this position, and how to apply the
                                                       10. Broadband networks now provide                    service—the adoption of updated                       lessons learned from our previous
                                                    an expanding portion of today’s                          broadband reporting requirements                      voluntary outage reporting regime.
                                                    emergency and non-emergency                              would likely provide the Commission                   Finally, as the Commission observed in
                                                    communications and have technological                    with more consistent and reliable data                2011, ‘‘even if incentives did motivate
                                                    flexibility that allows service providers                on critical communications outages and                individual market participants to
                                                    to offer both old and new services over                  enable it to perform its mission more                 optimize their own reliability, they do
                                                    a single architecture. We observe that                   effectively in light of evolving                      not necessarily optimize systemic
                                                    broadband networks come with their                       technologies and service offerings. Over              reliability.’’ We believe that mandatory
                                                    own advantages and challenges;                           the past decade, review and analysis of               reporting of broadband network outages
                                                    particularly, outages and service                        outage reports have enabled the                       would motivate such optimization, and,
                                                    disruptions can occur at both at the                     Commission to facilitate and promote                  thus, would advance the public interest.
                                                    physical infrastructure and the service                  systemic improvements to reliability,                 We seek comment on this view.
                                                    levels. We recognize that network                        both through industry outreach, the                      15. For the reasons set out above, we
                                                    outage or service disruptions at the                     CSRIC, and formal policy initiatives.                 reaffirm our belief that mandatory
                                                    application level in which various                       The analysis of trends identified from                reporting requirements would have a
                                                    services are provided (e.g., streaming                   our authoritative outage report                       positive effect on the reliability and
                                                    video, video teleconferencing) have                      repository has proven to be a useful tool             resiliency of broadband networks.
                                                    different performance and network                        for the Commission in working with                    Therefore, we tentatively conclude that
                                                    management requirements than those at                    providers to address outages and                      broadband network outage reporting
                                                    the physical network infrastructure                      facilitate sector-wide improvements. As               should be mandatory. We seek comment
                                                    level. Broadband networks are just as                    NG911 functionality becomes                           on this tentative conclusion and seek
                                                    vulnerable to physical outages and                       centralized within broadband networks,                further comment on the issues first
                                                    service disruptions as the public-                       network vulnerabilities specific to                   raised generally in the 2011 Part 4
                                                    switched telephone network (PSTN),                       emergency services will emerge, and the               Notice.
                                                    but are also susceptible to attacks at the               Commission should be well-informed of
                                                    application layer, which may not affect                                                                        2. Proposed Coverage of Broadband
                                                                                                             such vulnerabilities. We seek comment
                                                    the underlying physical infrastructure.                                                                        Outages
                                                                                                             on this position.
                                                    We seek comment on these observations                                                                             16. In proposing updated broadband
                                                    as they relate to our proposed                           a. Mandatory vs. Voluntary Reporting                  outage reporting rules, we must identify
                                                    broadband outage reporting                                  13. In the 2011 Part 4 Notice, the                 the appropriate set of broadband—and
                                                    requirements.                                            Commission asked whether and how                      broadband-constituent—services,
                                                       11. We further observe that broadband                 outage reporting should to be extended                facilities, and infrastructure that are
                                                    networks’ interrelated architectural                     to broadband. At the time numerous                    reasonably appropriate for reporting
                                                    makeup renders them more susceptible                     commenters challenged the idea, with                  requirements. In the 2015 Open Internet
                                                    to large-scale service outages. Growing                  some suggesting that mandatory outage                 Order, we described the broadband
                                                    reliance on remote servers and software-                 reporting is not suitable for broadband               communications environment to
                                                    defined control has increased the scale                  packet-switched networks given built in               include a number of different market
                                                    of outages, as compared to those in the                  redundancies, and the complexity of                   segments and services, including
                                                    legacy circuit switched-environment.                     tracing disruptions to a single cause.                arrangements underlying those services.
                                                    Through news accounts, we have                              14. Where the Commission has                       Among other things, we drew a
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    observed recent outage events impacting                  required mandatory reporting of                       distinction between networks and
                                                    customers across several states.                         disruptions to IP communications (such                services deploying broadband
                                                    Moreover, broadband networks’                            as interconnected VoIP                                capabilities provided to consumers,
                                                    architectural efficiencies can actually                  communications), 47 CFR 4.3(h), 4.9(g),               those deploying such capabilities to
                                                    magnify the impact of customer service-                  we have found substantial value from                  businesses and other enterprises, and
                                                    affecting outages that do occur. For                     that reporting. We believe that the same              those providing Internet backbone
                                                    example, ‘‘sunny day’’ outages—caused                    is true for other IP-based networks and               services. And we specifically excluded
                                                    by technical issues rather than by                       services that have become such a typical              from broadband Internet access service


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00029   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                                             Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules                                           45099

                                                    (BIAS) enterprise service offerings such                 resiliency, and security. We believe,                 under part 4 as we have long recognized
                                                    as ‘‘special access services’’ and their                 thus, that this approach would ensure                 for other communications services. We
                                                    functional equivalents and other non-                    comprehensive outage reporting that, for              seek comment on this understanding
                                                    BIAS services, e.g., Internet access,                    BIAS and dedicated services, would                    and approach.
                                                    interconnection, backbone service,                       encompass: (i) All customer market                      20. Existing part 4 rules define
                                                    traffic exchange, non-BIAS data                          segments to include—mass market,                      relevant providers to include ‘‘affiliated
                                                    services.                                                small business, medium size business,                 and non-affiliated entities that maintain
                                                       17. In the Business Data Services/                    specific access services, and enterprise-             or provide communications networks or
                                                    Special Access NPRM, including its                       class (including PSAPs, governmental                  services used by the provider,’’ and
                                                    adjunct 2015 Data Collection, we further                 purchasers, carriers, critical                        require reporting of ‘‘all pertinent
                                                    described the ‘‘special access’’ or                      infrastructure industries, large academic             information on the outage.’’ We seek
                                                    ‘‘dedicated services’’ that form critical                institutional users, etc.); (ii) all                  specific comment on whether BIAS
                                                    portions of the broadband ecosystem,                     providers of such services on a                       providers could be used as a central
                                                    i.e.,—links that ‘‘enabl[e] secure and                   technology neutral basis; and (iii) all               reporting point for all broadband
                                                    reliable transfer of data between                        purchasers (end users) of those services              network outages, i.e., whether our part
                                                    locations.’’ Although such services are                  without limitation. We seek comment                   4 assurance goals for broadband outage
                                                    already addressed in part 4 to some                      on this view.                                         reporting can be effectuated through, or
                                                    extent, which as noted above broadly                                                                           should be limited to, an approach in
                                                    defines those ‘‘communications                           a. Broadband Internet Access Service                  which only BIAS providers (as opposed
                                                    services’’ subject to these rules, our part              (BIAS)                                                to other entities providing networks or
                                                    4 reporting standards do not ensure that                    19. The Commission defines BIAS in                 services) would be required to report.
                                                    outage reporting illuminates broadband                   47 CFR 8.2(a) as:                                     We ask commenters to address BIAS
                                                    issues critical to functionality of these                [a] mass-market retail service by wire or radio       providers’ services relationships with
                                                    services. We believe that the public                     that provides the capability to transmit data         other providers (i.e., entities that
                                                    safety goals to be accomplished through                  to and receive data from all or substantially         provide IP transport underlying the
                                                    Part 4 assurance for today’s broadband                   all Internet endpoints, including any                 BIAS offering), and particularly
                                                    communications world can best be                         capabilities that are incidental to and enable        whether, and the extent to which they
                                                    advanced if we extend the scope of our                   the operation of the communications service,          share information (formally or
                                                    rules to BIAS, for the first time, and                   but excluding dial-up Internet access service.        informally) relevant to outage reporting.
                                                    update and clarify those requirements                    This term also encompasses any service that           Do providers typically discuss or notify
                                                                                                             the Commission finds to be providing a
                                                    for dedicated services so that we receive                functional equivalent of the service described        each other in the event of disruptions?
                                                    broadband-specific outage information                    in the previous sentence . . . .                      Do or can BIAS providers enter into
                                                    for those services, and that we ensure                                                                         service level or other agreements that
                                                    our requirements apply equally and                       BIAS includes those services offered                  contain requirements that enable them
                                                    neutrally regardless of technology or                    over facilities leased or owned, wireless             to obtain adequate information
                                                    provider type. We seek comment on this                   or wireline, to residences and                        concerning the source of outages that
                                                    view.                                                    individuals, small businesses, certain                originate with such other providers?
                                                       18. For broadband outage reporting                    schools and libraries and rural health                Should our rules impose an obligation
                                                    purposes, we believe developing                          entities. BIAS does not include                       on BIAS providers to provide such
                                                    reporting metrics that clearly address                   enterprise service offerings, which are               information in their part 4 reports?
                                                    this functionality to be critical to our                 typically offered to larger organizations               21. In what way is the Commission’s
                                                    continued ability to obtain situational                  through customized or individually-                   experience with entities that ‘‘maintain
                                                    awareness with respect to reliability of                 negotiated arrangements, or special                   or provide communications networks or
                                                    the Nation’s most important                              access (‘‘dedicated’’) services. Some                 services used by the provider’’ (e.g., for
                                                    communications services. For the                         NG911 systems use BIAS to support                     legacy voice communications or
                                                    reasons set forth below, we tentatively                  critical functions like transmission of               interconnected VoIP service) instructive
                                                    conclude that the public safety goals to                 location information, making it of                    in its consideration of these issues
                                                    be accomplished through Part 4                           particular interest to the Commission as              associated with BIAS outage reporting?
                                                    assurance for today’s broadband                          NG911 is rolled out. BIAS is also                     Or, are there sufficient technical or
                                                    communications world can most                            increasingly integral for everyday life;              operational differences between BIAS
                                                    reasonably be advanced by extending                      according to the Commission’s latest                  and entities already covered by part 4 as
                                                    those rules to cover BIAS, and by                        broadband subscribership data, over                   to warrant a new approach? If so, what
                                                    updating those requirements for                          250,000,000 Americans purchase                        are those differences and how should
                                                    measuring the reliability of dedicated                   wireline or wireless (or both, typically)             the Commission approach BIAS outage
                                                    services. In our view, these steps are                   BIAS to meet an ever-expanding array of               reporting to address those differences in
                                                    likely to provide us with most if not all                their communications needs. These                     ways that promote effective outage
                                                    of the information reasonably necessary                  services are essential for work, family               reporting? What actions could the
                                                    for purposes of our Part 4 mission,                      and community activities, social                      Commission take to ensure that BIAS
                                                    while avoiding the need to subject other                 engagements and leisure, and are                      providers can obtain sufficient
                                                    service providers (such as Internet                      increasingly vital for emergency services             information in the event of a service
                                                    backbone providers) to these reporting                   communications whether as voice,                      outage about the source and cause of the
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    requirements. Our proposal will also                     texting or other data transmission.                   outage? We also seek comment on
                                                    ensure that our requirements apply                       Given BIAS’ ubiquitous penetration                    whether a BIAS-only approach would
                                                    equally and neutrally regardless of                      throughout the American landscape and                 sufficiently capture critical
                                                    technology or provider type. We seek                     the multiple important emergency and                  communications, i.e., communications
                                                    comment on these views. By taking the                    non-emergency uses for which                          involving critical infrastructure, needed
                                                    actions now proposed, we believe we                      Americans consume BIAS, we recognize                  for NS/EP, or otherwise associated with
                                                    will have the ability to ensure greater                  the same, if not higher, need for                     public safety or emergency
                                                    broadband network reliability,                           assurance through outage reporting                    preparedness. If it does not, should the


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00030   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                    45100                    Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules

                                                    Commission extend its reporting                          In addition to commenting on this                     are such customer needs addressed
                                                    requirements directly to other entities                  proposed definition for part 4’s                      through contract negotiations or, post-
                                                    that maintain or provide                                 purposes, we ask commenters whether                   contract, through course of dealing
                                                    communications networks or services                      there are any other descriptors needed                between parties or by other means (e.g.,
                                                    used by the BIAS provider?                               to ensure both the clarity and breadth of             Industry Data Breach Annual
                                                                                                             the services that should be included                  Summaries, academic research, etc.)?
                                                    b. Dedicated Services                                    within dedicated services for part 4                     27. We recognize that variation
                                                       22. In our Dedicated Services/Special                 reporting assurance purposes.                         between and among dedicated services
                                                    Access proceeding, we have closely                         24. Dedicated services are important                providers, the services they provide,
                                                    examined the evolving (in terms of                       components for creating private or                    their customers’ service needs and
                                                    scope, array and use of services) and                    virtual private networks across a wide                profiles, and other factors may indicate
                                                    expanding (in terms of participants,                     geographic area, and for enabling the                 differences that we should consider
                                                                                                             secure and reliable transfer of data                  with respect to the benefits and burdens
                                                    including new entrants) market for IP-
                                                                                                             between locations, including the                      of dedicated services outage reporting.
                                                    and other data protocol-based packet
                                                                                                             provision of dedicated Internet access                Accordingly, we seek comment on such
                                                    services to enterprises and other
                                                                                                             and access to innovative broadband                    differences, and particularly their
                                                    segments and purchasers not included
                                                                                                             services. Dedicated services, however,                impact on relative costs and burdens for
                                                    within the mass market level served by
                                                                                                                                                                   outage reporting.
                                                    BIAS providers. These dedicated                          [are] distinctly different from the mass
                                                                                                                                                                      28. In sum, to ensure the Commission
                                                    services power the fullest range of large                marketed, ‘‘best efforts’’ [BIAS] provided to
                                                                                                             residential end users, such as AT&T’s U-              can effectively discharge its public
                                                    data pipe (high capacity) services, e.g.,                                                                      safety mandates and mission with
                                                    circuit-based TDM facilities like DS3s,                  verse or Comcast’s XFINITY. Dedicated
                                                                                                             services typically provide dedicated                  respect to the communications networks
                                                    or data network transmission (packet-                    symmetrical transmission speeds with                  and services upon which America’s
                                                    based) facilities such as ‘‘Ethernet’’, and              performance guarantees, such as guarantees            citizens, businesses and governmental
                                                    are deployed without geographic                          for traffic prioritization, guarantees against        organizations rely, we propose that
                                                    restraint (i.e., in use for ‘‘last mile’’,               certain levels of frame latency, loss, and jitter     BIAS providers be required to report
                                                    ‘‘middle mile’’, ‘‘long haul’’, etc.).                   to support real-time IP telephony and video
                                                                                                                                                                   outages pursuant to the Commission’s
                                                    Although DS3s and DS1s, both of which                    applications, or guarantees on service
                                                                                                             availability and resolving outages. As such,          part 4 rules, and we propose to update
                                                    are longstanding dedicated services                                                                            existing outage reporting metrics to
                                                                                                             dedicated services tends to cost substantially
                                                    ‘‘warhorses’’, have always been subject                  more than ‘‘best efforts’’ services and are           reflect broadband disruptions involving
                                                    to outage reporting (as have other ‘‘two-                offered to businesses, non-profits, and               dedicated services and provide clarity
                                                    way voice and/or data                                    government institutions who need to support           as to scope of covered services. We
                                                    communications’’, 47 CFR 4.3(b)), our                    mission critical applications and have greater        recognize that this approach may not
                                                    reporting rules may provide insufficient                 demands for symmetrical bandwidth,                    capture the full scope of
                                                    clarity as to non-TDM dedicated                          increased reliability, security, and service to
                                                                                                                                                                   communications services, but we
                                                    services such as ‘‘Ethernet.’’ We seek to                more than one location.
                                                                                                                                                                   believe, at this time, that the costs of
                                                    provide both broadband-specific                            25. As with BIAS, we seek comment                   extending our outage reporting
                                                    reporting emphasis and scope of                          on the extent to which those who                      requirements beyond these services may
                                                    covered services clarity in this FNPRM.                  provide dedicated services are in a                   exceed the benefits. We seek comment
                                                    In the past, our rules and reporting                     position to inform the Commission of                  on this view. To the extent commenters
                                                    emphasis under part 4 have been framed                   the source and cause of reportable                    believe that there are other
                                                    mostly by reference to legacy TDM                        outages. We believe that such providers               communications providers that provide
                                                    special access circuits, which is                        are reasonably likely to be well-                     broadband-related services warranting
                                                    certainly a segment of the services and                  informed about these questions.                       part 4 outage reporting, we invite
                                                    infrastructure properly classified as                    Dedicated services providers also                     commenters to elaborate in detail.
                                                    ‘‘dedicated services.’’ In this FNPRM,                   provision service ‘‘solutions’’ for other
                                                    we now place clearer emphasis on                         communications providers; for example,                3. Proposed Reporting Process for
                                                    broadband outages through new                            mobile providers use dedicated services               Broadband Providers
                                                    proposed metrics, thresholds and                         to backhaul voice and data traffic.                      29. Three-part submission process.
                                                    triggers, and also take steps to ensure all                26. With respect to negotiated terms                We seek comment on whether to apply
                                                    dedicated services providers—old and                     and conditions for assurance, is it                   the three-part structure used by other
                                                    new—understand their compliance                          standard industry practice to inform                  reporting entities under part 4 to
                                                    obligations under our rules.                             dedicated services customers about the                covered broadband service providers.
                                                       23. To achieve this clarity and                       nature of any particular outage or                    This process would require the provider
                                                    emphasis, we first seek comment on the                   performance issue that triggers                       to file a notification to the Commission
                                                    following definition of ‘‘dedicated                      assurance guarantees (i.e., credits)? Does            within 120 minutes of discovering a
                                                    services’’ for outage reporting purposes:                this also extend to inform such                       reportable outage as further defined in
                                                                                                             customers about any non-service                       Section V.B.; an initial report within 72
                                                       Services that transport data between two or           impacting outages, regardless of the                  hours of discovery of the reportable
                                                    more designated points, e.g., between an end             seriousness of the outages, or to inform              outage; and a final report within 30 days
                                                    user’s premises and a point-of-presence,                 customers as to the provider’s overall                of discovering the outage, similar to the
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    between the central office of a local exchange
                                                                                                             performance using an established set of               process described in 47 CFR 4.9(a), (c)–
                                                    carrier (LEC) and a point-of-presence, or
                                                    between two end user premises, at a rate of
                                                                                                             metrics? For example, are dedicated                   (f) for cable, satellite, SS7, wireless, and
                                                    at least 1.5 Mbps in both directions                     service customers interested in non-                  wireline providers. Covered providers
                                                    (upstream/downstream) with prescribed                    service impacting outages whose                       would submit all reports electronically
                                                    performance requirements that include                    notification helps inform resiliency                  to the Commission and include all of
                                                    bandwidth, latency, or error-rate guarantees             decisions or helps inform predictive risk             the information required by Section 4.11
                                                    or other parameters that define delivery                 mitigation actions based on a larger data             of the Commission’s rules. A
                                                    under a Tariff or in a service-level agreement.          set of observed failure modes? If so, how             notification would include: The name of


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00031   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                                             Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules                                           45101

                                                    the reporting entity; the date and time                  information concerning such failures                  correlation should multiple outages
                                                    of the onset of the outage; a brief                      uniquely provides a sharper network                   involve DDoS as a contributing factor?
                                                    description of the problem, including                    and service vulnerability focus that                     33. Should we expand our definition
                                                    root cause information and whether                       would further the Commission’s public                 of Part 4 outages to include failures that
                                                    there were any failures of critical                      safety and related missions by                        are software-related or firmware-
                                                    network elements, if known; service                      enhancing the Commission’s situational                induced, or unintended modifications to
                                                    effects; the geographic area affected by                 awareness and network operating status                a database that otherwise do not trigger
                                                    the outage and a contact name and                        awareness. We seek comment on this                    hard-down outages or performance
                                                    telephone number for the Commission’s                    assessment. We seek comment on these                  degradations as described below? For
                                                    technical staff. We note that this                       views and on this reporting approach.                 example, should a route hijacking that
                                                    notification requirement is distinct from                Additionally, we propose that to the                  diverts packets to another country, but
                                                    a covered 911 service provider’s                         extent unintended changes to software                 still delivers the packets to the
                                                    obligation to notify PSAPs in the event                  or firmware or unintended                             consumer be a reportable outage? If so,
                                                    of an outage impacting 911 service, 47                   modifications to a database are revealed              we seek comment on this position. What
                                                    CFR 4.9(h), and we defer discussion of                   as part of reportable disruptions, we                 process should be followed to make the
                                                    those notification requirements to PS                    should be apprised of those facts                     Commission aware of such disruptions?
                                                    Docket Nos. 13–75 and 14–193. The                        through the outage reports providers                  Would such a requirement be
                                                    initial reports would include the same                   submit.                                               unnecessary were the Commission to
                                                    information, and in addition, any other                                                                        adopt proposed data breach reporting
                                                                                                                32. As with events involving critical
                                                    pertinent information then available on                                                                        requirement proposed in the Broadband
                                                                                                             network element failure, we propose to
                                                    the outage, as submitted in good faith.                                                                        Privacy Notice of Proposed Rulemaking,
                                                                                                             modify the NORS interface to support
                                                    Further, the provider’s final report                                                                           WC Docket No. 16–106?
                                                                                                             information regarding outages and                        34. We seek broad comment on
                                                    would include all other pertinent                        disruptions that are associated with
                                                    information available on the outage,                                                                           updates to our traditional NORS
                                                                                                             unintended changes to software or                     reporting processes and expectations
                                                    including root cause information where                   firmware or unintended modifications
                                                    available and anything that was not                                                                            when reportable broadband outages
                                                                                                             to a database. This is consistent with                involving unintended software or
                                                    contained in or changed from the initial
                                                                                                             our customary practice of updating                    firmware changes or unintended
                                                    report.
                                                                                                             NORS information fields as technologies               modifications to a database occur. We
                                                       30. Reporting requirements
                                                    concerning critical network elements.                    and services evolve. Thus, if unintended              ask commenters to address whether
                                                    Pursuant to the requirements of Section                  changes to software or firmware or                    valid public safety, national security,
                                                    4.11 of our rules, once an outage triggers               unintended modifications to a database                economic security or other reasons
                                                    a reporting requirement, there is certain                played a role in causing an otherwise                 support the kind of granular reporting
                                                    information that we expect providers,                    reportable outage, we would expect                    features we now describe for broadband,
                                                    acting in good faith, to include in their                providers’ reports to include specific                and whether such reasons justify
                                                    reports to the extent such matters are at                detail about the nature of the associated             treating broadband outage reporting
                                                    issue in a given reportable event and the                facts. The Commission seeks comment                   differently from non-broadband outage
                                                    provider, through the exercise of                        on what information would be useful to                reporting. Do commenters believe that
                                                    reasonable due diligence, knows or                       understand these exploitations. Would                 alternative approaches should be
                                                    should know the facts. We believe our                    it be helpful for us to use open fields so            explored that could ensure that the
                                                    concept of reportable outages must                       that outages can be described in terms                Commission receives all useful outage
                                                    evolve as new events threaten the                        defined by the provider acknowledging                 and disruption causation information in
                                                    reliability and resiliency of                            that these may differ from provider to                a timely and cost-effective manner?
                                                    communications in ways that can                          provider? We seek comment on this                        35. Also, as discussed below, we
                                                    expose end users to serious risks, to that               approach. We recognize that unintended                propose to adopt the same reporting
                                                    end we routinely update the NORS data                    changes to software and firmware and                  approach for interconnected VoIP
                                                    fields to reflect changes in technology                  unintended modifications to a database                providers as we have for legacy service
                                                    and seek to do so here. Specifically, we                 may not always manifest themselves in                 providers (i.e., a notification, interim
                                                    expect providers to include information                  the form of reportable communications                 report and final report). We seek
                                                    in their reports concerning (1) the                      ‘‘outages’’ as traditionally defined by the           comment on this proposal.
                                                    failure of facilities that might be                      Commission or as we propose for                       Alternatively, we seek comment on
                                                    considered critical network elements,                    broadband outage reporting. Are there                 whether all reporting (i.e., legacy,
                                                    and (2) unintended changes to software                   additional data drop-down menu fields                 broadband and interconnected VoIP)
                                                    or firmware or unintended                                we should consider beyond those                       should be adjusted to a two-step
                                                    modifications to a database to the extent                proposed above that would provide                     process. Are there other similar steps
                                                    relevant to a given outage or service                    significant information about broadband               that we should consider that would
                                                    disruption that is otherwise reportable.                 outages? Would it be useful to establish              ensure adequate reporting in reasonable,
                                                    We seek comment on this approach.                        pre-defined elements in the reporting                 appropriate time intervals across the
                                                       31. We propose to consider a network                  metrics that would provide the                        various technologies at issue for
                                                    element ‘‘critical’’ if its failure would                Commission with more consistent                       reporting?
                                                    result in the loss of any user                           failure information that would improve                   36. We seek comment on other steps
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    functionality that a covered broadband                   long-term analysis about unintended                   the Commission can take to make
                                                    provider’s service provides to its end                   changes to software and firmware or                   providers’ reporting obligations
                                                    users. For example, Call Agents, Session                 unintended modifications to a database                consistent across services or otherwise
                                                    Border Controllers, Signaling Gateways,                  that would not otherwise be reported to               streamline the process. As with other
                                                    Call Session Control Functions (CSCF),                   the Commission? For example should                    covered providers in § 4.9, we seek
                                                    and Home Subscriber Server (HSS)                         the Commission receive information on                 comment on whether 9–1–1 special
                                                    could be considered ‘‘critical’’ network                 distributed denial of service (DDoS)                  facilities are served by BIAS and
                                                    elements. And, we believe that                           attacks in order to support an improved               dedicated services providers such that a


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00032   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                    45102                    Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules

                                                    reporting requirement when 9–1–1                         in a given amount of time. In light of                criterion of ‘‘900,000 user minutes.’’
                                                    special facilities experiences a                         significant changes in technology and                 Assuming a 25 Mbps broadband user
                                                    reportable outage or communications                      the characteristics of broadband                      connection, as stated in the 2015
                                                    disruption would be warranted.                           networks generally, we believe that it is             Broadband Progress America report,
                                                    Similarly, each covered provider in part                 appropriate to tailor our approach with               being delivered over a 1 Gbps facility,
                                                    4 is required to report outages and                      respect to the identification of a                    we compute: 1 Gbps divided by 25
                                                    communications disruptions to special                    threshold event for hard-down outages.                Mbps equals 40 broadband user
                                                    offices and facilities (in accordance to                 Since part 4 was first enacted, the                   connections. Then, 900,000 user
                                                    § 4.5(a) through (d)). We seek comment                   communications network architecture                   minutes divided by the number of
                                                    on whether special offices and facilities                and elements, and the services carried                impacted broadband user connections,
                                                    are served by BIAS and dedicated                         over those networks, have grown more                  40, equals 22,750 Gbps user minutes.
                                                    services providers such that a reporting                 diverse and require increased                         This means that an outage event would
                                                    requirement when these experience a                      throughput. The Commission currently                  become reportable when it resulted in 1
                                                    reportable outage or communications                      uses DS3 as the unit of throughput with               Gbps of throughput affected in which
                                                    disruption would be warranted. One                       which to calibrate our reporting                      the event exceeds 22,500 Gbps user
                                                    potential benefit of the transition to                   threshold for major transport facility                minutes. To determine whether an
                                                    more advanced communications                             outages. The companion document,                      outage event is reportable using this
                                                    technologies is the ability to automate                  Report and Order, adopts an updated                   threshold, we multiply the size of the
                                                    processes that historically have required                metric, changing the standard from DS3                facility measured in Gbps, by the
                                                    a significant amount of manual                           to OC3. Given the accumulating amount                 duration of the event measured in
                                                    processing. We seek comment on                           of throughput required to deliver                     minutes, and this total generates a Gbps
                                                    whether there are ways of automating                     today’s broadband services, we believe                user minute number. If this user minute
                                                    the outage reporting process beyond                      that 1 Gbps would function as a                       number exceeds 22,500, then the outage
                                                    what has been possible or has been                       modern-day equivalent of the DS3 (45                  event is reportable to the Commission.
                                                    attempted in the context of legacy                       Mbps) unit originally adopted in 2004,                So for example, if a 1 Tbps (terabits per
                                                    communications services. How could                       we now calculate that a gigabit can                   second) facility experienced a
                                                    such automated reporting be                              support nearly 24DS3s or 16,000 DS0s                  disruption for 45 minutes, we would
                                                    accomplished? What are the advantages                    (64 Kbps voice or data circuits). This                multiply 1000 by 45 minutes to get
                                                    of such a reporting mechanism? What                      can be seen in the increased                          45,000 Gbps user minutes, and since
                                                    are the disadvantages? What cost                         deployments of residential                            this figure exceeds 22,500 Gbps user
                                                    savings would result from any such                       communications services offering up to                minutes, the outage event would be
                                                    automation?                                              1 Gbps in download speeds. As such,                   reportable. We seek comment on the
                                                                                                             we tentatively conclude that the                      analysis presented, which would
                                                    4. Proposed Metrics and Thresholds for
                                                                                                             threshold reporting criterion for outages             establish a reporting threshold of an
                                                    Broadband Network Outage Reporting
                                                                                                             should be based on the number of Gbps                 outage of 1 Gbps (gigabit per second)
                                                    a. ‘‘Hard Down’’ Outage Events Metrics                   minutes affected by the outage because                lasting for 30 minutes or more.
                                                    and Thresholds                                           Gb is a common denominator used                          39. We seek comment on a
                                                       37. By ‘‘hard down’’ outage events, we                throughout the communications                         throughput-based metric and its
                                                    refer to outages that result in loss of                  industry as a measure of throughput for               advantages or disadvantages over a user-
                                                    service, as opposed to performance                       high bandwidth services. We further                   based metric, for example, a 900,000
                                                    degradations discussed below. In                         propose to introduce a broadband                      user-minute metric that treats
                                                    determining the appropriate metrics and                  metric calibrated with the current                    broadband users for measurement
                                                    thresholds for our broadband outage                      900,000 user minute threshold. In                     purposes as those broadband end users
                                                    reporting proposals, we initially sought                 today’s broadband environment, a                      that have no service. We also seek
                                                    comment on the method for calculating                    typical user requesting ‘‘‘advanced                   comment on whether a throughput-
                                                    the ‘‘user minutes’’ potentially affected                telecommunications capability’ requires               based metric would be more appropriate
                                                    by a broadband outage. In the 2011 Part                  access to actual download speeds of at                for some networks rather others. For
                                                    4 Notice, we proposed using potentially-                 least 25 Mbps.’’ Accordingly, we                      instance, would our proposed 1 Gbps
                                                    affected IP addresses as a proxy for the                 calculate that if a facility with                     throughput threshold be appropriate for
                                                    number of potentially affected users. At                 throughput totaling 1 Gbps providing                  both BIAS and dedicated services? If
                                                    least one commenter claimed using IP                     individual users 25 Mbps of broadband                 not, why not? Should we consider a
                                                    addresses would tend to overstate the                    capacity each, experienced a disruption               throughput-based metric for BIAS
                                                    impact of an outage, and advocated                       to communications resulting in a                      networks set at a lower threshold, such
                                                    using subscriber counts instead. More                    complete outage, 40 individual users                  as 25 megabits per second (Mbps)?
                                                    recently, in response to our proposal for                would be impacted. We calculate that                  Would this result in an unacceptably
                                                    major transport facility outage reporting,               1Gbps in throughput total, which is                   small number of outages reports? How
                                                    Comcast recommended using a                              converted to 1,000 Mbps, is divided by                well would a threshold of 1 Gbps or
                                                    ‘‘bandwidth-based standard’’ as a                        25 Mbps as the download speed for each                greater lasting for 30 minutes or more
                                                    potential replacement for our user-                      user, would result in a total of 40                   reflect the geographic scope and impact
                                                    minute metric used for major transport                   individual users impacted by an outage                of an outage and the number of
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    facility outage reporting. In light of                   event. In establishing a gigabit per                  subscribers impacted by an outage?
                                                    technological advances, we now seek to                   second user minute threshold, we                      Would a user-minute based threshold
                                                    revisit this issue.                                      calculate that 900,000 user minutes                   better capture the geographic scope and
                                                       38. We further propose a throughput-                  divided by the 40 individual users                    impact of an outage and the number of
                                                    based metric and threshold for ‘‘hard                    impacted by the outage, results in                    subscribers impacted? Does using a
                                                    down’’ outage events. We propose to                      22,500 Gbps user minutes. The 22,750                  throughput metric in lieu of potentially-
                                                    define ‘‘throughput’’ as the amount of                   Gbps user minute figure was derived                   affected IP addresses, or that of
                                                    information transferred within a system                  from the current threshold-reporting                  subscriber count, as described below,


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00033   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                                             Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules                                          45103

                                                    provide better information to the                        could identify outage events that                     connectivity. For instance, should the
                                                    Commission? Would a throughput                           significantly degrade communications:                 Commission create a reporting metric
                                                    metric be less or more burdensome for                    (1) A combination of packet loss and                  based on loss of network capacity? If so,
                                                    providers than a user-based one? If so,                  latency metrics and thresholds, and (2)               how should the Commission quantify a
                                                    why? How might the increasing                            a throughput-based metric and                         loss of a network capacity for reporting
                                                    availability of Gbps services affect the                 threshold. Finally, we seek comment on                purposes, and what would be an
                                                    usefulness of throughput as an outage                    the appropriate locations for significant             appropriate reporting threshold? Should
                                                    indicator? Is there a better throughput                  degradation of communication                          we consider a metric measuring the
                                                    threshold than 1 Gbps or greater lasting                 measurements.                                         average relative bandwidth, where
                                                    for 30 minutes or more? If so, what                                                                            providers would compare the active
                                                                                                             (i) ‘‘Generally Useful Availability and
                                                    would it be?                                                                                                   bandwidth against the provider’s
                                                      40. In addition, we revisit the 2011                   Connectivity’’
                                                                                                                                                                   bandwidth advertised or offered? Could
                                                    proposal to use potentially-affected IP                     42. Consistent with the part 4                     such a metric be quantified for reporting
                                                    addresses as a proxy for the number of                   definition of an ‘‘outage,’’ in 47 CFR                purposes? If so, what would be an
                                                    potentially affected users. If we were to                4.5(a) (defining an ‘‘outage’’ as ‘‘a                 appropriate reporting threshold? What
                                                    adopt the 2011 proposal, would the                       significant degradation in the ability of             other metrics should the Commission
                                                    metric overstate the impact of an                        an end user to establish and maintain a               consider?
                                                    outage? If so, by how much would the                     channel of communications as a result
                                                    outage impact be overstated? How well                    of failure or degradation in the                      (ii) Metrics for Performance Degradation
                                                    could a potentially-affected IP addresses                performance of a communications                          45. In addition to the metrics for
                                                    threshold effectively communicate the                    provider’s network), we again seek                    generally-useful availability and
                                                    geographic scope and impact of an                        comment on whether covered                            connectivity, we seek comment on
                                                    outage and the numbers of subscribers                    broadband providers should be required                potential broadband outage reporting
                                                    impacted? Would the increasing                           to report disruptions that significantly              metrics to measure significant
                                                    deployment of IPv6 addresses affect the                  degrade communications, including                     performance degradation in
                                                    utility or accuracy of this proposed                     losses of ‘‘generally useful availability             communications. In this regard, we
                                                    metric, and if so, how? Would using                      and connectivity’’ as measured by                     propose two sets of proposals. We
                                                    subscriber counts as a proxy for number                  specific metrics. We propose to define                propose a throughput metric and seek
                                                    of users be a more accurate metric to                    ‘‘generally useful availability and                   comment on the appropriate thresholds;
                                                    determine the impact of an outage? In                    connectivity’’ to include the availability            or, propose an alternative metric based
                                                    what ways do providers measure the                       of functions that are part of the service             in a combination of three core metrics,
                                                    number of subscribers now? Do                            provided (i.e., ‘‘service functionality’’).           throughput, packet loss, and latency,
                                                    providers measure broadband                              We tentatively conclude that outage                   and seek comment on the appropriate
                                                    subscribers apart from other types of                    events experiencing significantly                     thresholds. Moreover, we seek comment
                                                    subscribers? If so, why? Which new                       degraded communications include those                 on the extent potential metrics for
                                                    subscribers would be counted under the                   events with a loss of generally useful                generally-useful availability and
                                                    proposed rules that were not previously                  availability and connectivity, and seek               connectivity may overlap with the
                                                    counted? Should we consider unique                       comment on this tentative conclusion.                 proposed metrics for significant
                                                    subscriber-based metrics for BIAS and                       43. In 2011, ATIS stated that losses of            performance degradation in
                                                    dedicated services provider? In                          ‘‘generally useful availability and                   communications.
                                                    instances of outage events lasting less                  connectivity’’ not resulting in a                        46. First, given that throughput is
                                                    than 30 minutes, should we consider                      complete loss of service should not be                widely recognized as a key metric for
                                                    whether subscriber-based metrics                         reportable under the part 4 rules,                    measuring network performance, we
                                                    should be more indicative of a network                   arguing that such events are ‘‘more akin              propose using a throughput metric
                                                    outage impacting a large metropolitan                    to static/noise on legacy                             threshold at 1 Gbps for a network outage
                                                    area or geographic region? What benefit                  communications systems or error rates                 or service disruption event lasting 30
                                                    would this add to our proposed                           in DS3 lines . . .’’ However, the loss of             minutes or more. In addition to the use
                                                    broadband outage reporting rules? Do                     ‘‘generally useful availability and                   of a throughput metric for hard down
                                                    current provider subscriber counts                       connectivity’’ in the broadband context               outages described above, a throughput
                                                    measure the total number of subscribers                  would appear to be more akin to a                     metric can also determine when a
                                                    served at any given time? Are provider                   legacy voice call during which the users              significant degradation occurs in a
                                                    subscriber counts verified at the                        cannot hear or make themselves                        network, as transmission rates decline
                                                    occurrence of an outage or disruption?                   understood, tantamount to a complete                  as network congestion increases. In
                                                    What difficulties, if any, would covered                 loss of service. This threshold may be                addition to throughput, we seek
                                                    broadband providers experience in                        even more recognizable in a digital                   comment on the utility of two other
                                                    applying a subscriber-based metric?                      context where effective bandwidth                     metrics to indicate broadband network
                                                                                                             minimums are well understood.                         performance degradation: Packet loss
                                                    b. Performance Degradation Outage                        Accordingly, we reintroduce the                       and latency. Can a proposed 1 Gbps
                                                    Events Metrics and Thresholds                            Commission’s 2011 proposal to require                 event lasting for 30 minutes threshold
                                                       41. The following section addresses                   covered broadband providers to report                 capture instances in which the network
                                                    requirements to report outage events in                  on losses of ‘generally-useful                        suffers an outage or experience
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    cases of significant degradation of                      availability and connectivity’ to capture             degradation in network performance?
                                                    communication. We tentatively                            analogous incidents where customers                   Would it be more appropriate to
                                                    conclude that outage events are                          are effectively unable to use their                   maintain the 900,000 user-minute
                                                    reportable when there is a loss of                       broadband service. We seek comment                    threshold for throughput? If so, why?
                                                    ‘‘general useful availability and                        on this proposal.                                     How would it be determined and
                                                    connectivity,’’ even if not a total loss of                 44. We also seek comment on possible               calculated to be equivalent to a
                                                    connectivity. We propose a series of                     alternatives or additional metrics of                 throughput-based metric of 1 Gbps
                                                    metrics and thresholds that we believe                   generally-useful availability and                     threshold? How would maintaining the


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00034   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                    45104                    Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules

                                                    900,000 user-minute threshold capture                    adequate and expected network                         (iii) Measurement of Performance
                                                    and account for the complexities found                   performance from their service                        Degradation
                                                    in broadband networks and the outages                    subscriptions.                                           51. We also seek comment on the end
                                                    occurring on those networks? We also                        49. Alternatively, should we consider              points from which covered broadband
                                                    seek comment on whether a throughput                     adopting more specific, absolute                      providers would measure whether there
                                                    threshold for performance degradation                    thresholds for packet loss, latency, and              is performance degradation. In the case
                                                    should require a carrier’s average                       throughput to measure significant                     of BIAS providers, we believe that these
                                                    throughput to drop a nominal                             performance degradation of                            metrics should be measured from
                                                    percentage, say 25 percent, below                                                                              customer premises equipment to the
                                                                                                             communications? In 2011, the
                                                    normal levels. How would such a                                                                                destination host. For dedicated services
                                                                                                             Commission proposed that service
                                                    threshold be measured and reported                                                                             providers, we believe that the metrics
                                                                                                             degradation occurs whenever there is a
                                                    should this threshold be reached?
                                                                                                             noticeable decline in a network’s                     should be measured from the closest
                                                    Would this effectively capture the
                                                                                                             average packet loss; or average round-                network aggregation point in the access
                                                    impact to network subscribers and
                                                                                                             trip latency; or average throughput of 1              network (e.g., DSLAM serving DSL
                                                    facilities? Is a nominal drop of 25
                                                                                                             Gbps, with all packet loss and latency                subscribers) to the closest network
                                                    percent in average throughput
                                                                                                             measurements taken in each of at least                facility routing communications traffic
                                                    thresholds indicative of noticeable
                                                                                                             six consecutive five-minute intervals                 or exchanging traffic with other
                                                    network performance degradation? We
                                                                                                             from source to destination host. If                   networks (e.g., PoP, gateway).
                                                    seek comment on this approach.
                                                       47. We seek comment on a second                       absolute thresholds are preferable, how                  52. We seek comment on these
                                                    proposal looking at these proposed core                  would these particular thresholds be                  tentative conclusions, and on whether
                                                    metrics—packet loss, latency, and                        calculated and determined? Would an                   these end-points for measurement are
                                                    throughput. To what extent do covered                    absolute threshold still be appropriate               appropriate for their corresponding
                                                    broadband providers already collect                      with current broadband systems? How                   services, as well as the use of the term
                                                    information on packet loss, latency, and                 could the reporting thresholds for                    ‘‘destination host’’ for all providers.
                                                    throughput? Are any of the metrics                       packet loss, latency, and throughput be               Does ‘‘destination host’’ appropriately
                                                    better suited than others at measuring                   set at appropriate levels? If any of these            cover the various types of network
                                                    loss of generally-useful availability and                thresholds should be adjusted, what is                facilities used by covered broadband
                                                    connectivity of broadband service? Are                   an appropriate threshold? Should the                  providers to connect to their customers
                                                    there any alternate performance metrics                  requirement to take performance                       and/or exchange traffic with other
                                                    that would more effectively capture                      measurements in six consecutive five-                 networks? Where in a BIAS network
                                                    network outages or performance                           minute intervals be modified? If so,                  should the measurements take place to
                                                    degradation? If so, what are they and do                 how?                                                  record the measurements most
                                                    these providers already capture these                                                                          accurately? In a dedicated services
                                                                                                                50. We also seek comment on whether                network? At what level of aggregation
                                                    metrics? Are any of the metrics more                     these metrics support a consistent
                                                    cost-effective to monitor than others,                                                                         should the measurements be taken in
                                                                                                             reporting standard across all broadband               the BIAS and dedicated services
                                                    and if so, which are they and why?                       provider groups. The Commission
                                                       48. We further propose to limit the                                                                         networks? What is the best way to
                                                                                                             recognizes that there may be different                determine the measurement clients and
                                                    scope of outage filings to those events
                                                                                                             metrics for performance degradation for               servers are correctly chosen to
                                                    that affect customer communications.
                                                                                                             different services and that a ‘‘one size              accurately measure the proposed
                                                    We seek comment on this approach. In
                                                    addition to packet loss, latency, and                    fits all’’ approach to determining                    metrics? Are there other terms that
                                                    throughput, we seek comment on                           appropriate metrics and thresholds                    would better describe the point where
                                                    whether there are other metrics and                      indicating the health and performance                 network traffic is routed and aggregated
                                                    thresholds that would be indicative of                   of broadband networks and services                    from several endpoints (e.g., network
                                                    events impacting customer                                may not be appropriate depending on                   aggregation point) for either type of
                                                    communications, and comment about                        underlying quality of service and                     service? For example, should we follow
                                                    other appropriate indicators that might                  network performance requirements. Are                 the performance metrics established
                                                    better reflect when these                                these metrics (packet loss, latency, and              under the Measuring Broadband
                                                    communication services are disrupted.                    throughput) appropriate to evaluate                   America program or other broadband
                                                    Are there existing measurement efforts                   performance for both BIAS and                         measurement metrics developed by the
                                                    regarding network performance and                        dedicated services? Alternatively, are                Commission? We also seek comment on
                                                    assurance conducted by the                               these metrics unique to either BIAS or                a scenario in which the ‘‘destination
                                                    Commission that would provide better                     dedicated services, but not appropriate               host’’ is on another BIAS provider’s
                                                    guidance in determining reporting                        for both? We also seek comment on                     network. In that case, how would the
                                                    thresholds for broadband network                         whether and how the proposed metrics                  original BIAS provider detect an outage
                                                    outage reporting? How are these other                    should differentiate mobile broadband                 on its network path? We seek comment
                                                    performance and assurance                                from fixed broadband. Are there unique                on this scenario and anything else the
                                                    measurements aligned with our proven                     attributes of mobile broadband that we                Commission should consider with
                                                    public safety and reliability efforts in                 should consider for our outage reporting              respect to network end-points.
                                                    our current part 4 outage reporting                      purposes? For example, will application
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    efforts? How does the use of these                       of these metrics to mobile broadband                  5. Broadband Reporting Confidentiality
                                                    network performance metrics                              result in too many instances where,                   and Part 4 Information Sharing
                                                    complement or conflict with other                        although a threshold is passed, there is                53. Currently, outage reports filed in
                                                    efforts at the Commission? The                           no major problem with the network?                    NORS are withheld from routine public
                                                    Commission is providing guidance                         Why or why not? Are other network                     inspection and treated with a
                                                    across a number of areas regarding                       performance metrics more suitable for                 presumption of confidentiality. We
                                                    network performance metrics and                          mobile broadband than fixed                           propose to extend this same
                                                    measurements ensuring users receive                      broadband, and if so, what are they?                  presumptive confidential treatment to


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00035   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                                             Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules                                             45105

                                                    any reports filed under rules adopted                    outages with federal and state partners,              observed outages meeting reporting
                                                    pursuant to this FNPRM, including                        while maintaining confidentiality                     thresholds proposed in this FNPRM.
                                                    broadband outage reporting filings. We                   among those partners and of
                                                                                                                                                                   a. Costs of Detecting and Reporting
                                                    recognize, however, that this approach                   information contained in the outage
                                                                                                                                                                   Outages
                                                    of presumed confidentiality may need to                  reports. To ensure that the Commission
                                                    evolve as networks, and consumer                         benefits from information that providers                 58. We first consider the costs
                                                    expectations about transparency, also                    make available to other federal agencies              associated with detecting and collecting
                                                    evolve. Accordingly, we seek comment                     or state governments, should we                       information on reportable outages under
                                                    on the value and risk of increased                       encourage covered broadband and                       the proposed rules. As a general matter,
                                                    transparency with respect to                             interconnected VoIP providers to                      we agree with the 2011 comments of the
                                                    information about, or select elements of                 provide the Commission with copies of                 National Association of State Utility
                                                    NORS reports filed under the current                     any outage reporting that they currently              Consumers Advocates (NASUCA) and
                                                    part 4 rules and any additional rules                    provide to states or other federal                    the New Jersey Division of Rate
                                                    adopted pursuant to this FNPRM.                          agencies, to be treated in the same                   Counsel, who observe that VoIP and
                                                       54. As noted in the Report and Order                  manner (i.e., confidential or non-                    ‘‘broadband [providers] should already
                                                    companion document, we believe that                      confidential) as the entity receiving the             be collecting outage-related data in the
                                                    the proposal of sharing NORS                             original report? Are there alternative                normal course of conducting their
                                                    information with state and other federal                 methods toward sharing this                           businesses and operations.’’ We believe
                                                    entities requires further investigation,                 information? Should we ask our federal                this to be as true today as it was in 2011
                                                    including where state law would need                     and state government partners to                      in light of service providers’ public
                                                    to be preempted to facilitate information                provide a preferred path toward sharing               assurances of network performance and
                                                    sharing. The Commission currently only                   this information? We recognize that                   reliability. If covered broadband
                                                    shares access to the NORS database with                  other federal and state agencies may                  providers already collect internal data to
                                                    DHS.                                                     have different requirements for                       support claims of high network
                                                       55. To assist the Commission, we                      licensees and FCC regulated entities,                 reliability through advertising, we
                                                    direct the Bureau to study these issues,                 and we seek comment on the wider                      anticipate that they would be able to
                                                    and develop proposals for how                            regulatory landscape in which                         provide the Commission with similar
                                                    information could be shared                              broadband providers may or may not                    information at minimal incremental
                                                    appropriately with state entities and                                                                          cost. For this reason and others
                                                                                                             already be reporting outages. Are there
                                                    federal entities other than DHS.                                                                               discussed below, we do not believe that
                                                                                                             special considerations required for the
                                                    Accordingly, we seek comment on the                                                                            requiring covered broadband providers
                                                                                                             new filings or information collected that
                                                    current reporting and information                                                                              to submit outage data would create an
                                                                                                             the Commission has not previously
                                                    sharing practices of broadband and                                                                             unreasonable burden.
                                                                                                             accommodated for part 4 providers? If
                                                    interconnected VoIP providers with
                                                                                                             so, what adjustments to our original                  (i) Outages Defined by Threshold Events
                                                    state governments and other federal
                                                                                                             information sharing proposals in the                     59. To begin, we note that nearly all
                                                    agencies. To which agencies and States
                                                                                                             Notice should be made for these new                   providers already have mechanisms in
                                                    do providers already report? To what
                                                                                                             NORS filings and information collected?               place for determining when an outage
                                                    extent is reporting mandatory? What
                                                    information on outages or                                6. Cost-Benefit Analysis for Broadband                occurs and when it surpasses a certain
                                                    communications disruptions do                            Network Outage Reporting                              threshold, and if a provider does not, in
                                                    providers report to other federal and                                                                          today’s wired world it would not
                                                    state government bodies? What triggers                      57. In the 2012 Part 4 Order, the                  impose significant cost to install such a
                                                    the reporting process? What are the                      Commission deferred action on several                 mechanism. In fact, the record reflects
                                                    strengths and weaknesses of any                          broadband outage proposals because                    that providers routinely monitor the
                                                    existing reporting and information                       they were ‘‘sharply opposed by industry               operational status of their network as
                                                    sharing processes? Could any such                        on several bases, but especially based on             part of the normal course of business.
                                                    processes provide an avenue for the                      the expected costs.’’ In this FNPRM, we               Verizon, for instance, explained in 2011
                                                    Commission to acquire data that it                       seek to update the record on the costs                that it ‘‘has significant visibility into its
                                                    would otherwise receive under the                        of implementing broadband outage                      broadband networks.’’ We believe that
                                                    proposed rules? If so, how? What else                    reporting, and also seek comment on the               any provider with ‘‘significant
                                                    should the Commission consider                           costs of compliance with any additional               visibility’’ into its network already has
                                                    regarding the current reporting and                      reporting requirements considered                     the ability to detect network failures or
                                                    information sharing practices of                         herein. We also seek comment on the                   degradations that result in a total loss of
                                                    broadband or interconnected VoIP                         costs associated with any alternative                 service for a large number of customers.
                                                    providers? Commenters should address                     proposals or unintended modifications                 Commenters appear to concede this
                                                    the impact of any other information                      to proposals set out by commenters.                   view. Both ATIS and AT&T proposed
                                                    sharing activities on the part 4 mandates                Specifically, we invite comment on the                alternative reporting schemes that
                                                    proposed herein, and how these                           incremental costs of detecting and                    would require reporting on total losses
                                                    requirements might be tailored to ensure                 collecting information on the outage                  of broadband service, and AT&T
                                                    compliance without undue imposition                      thresholds described above; the costs of              submits that its proposed scheme would
                                                    on those other information sharing                       filing reports in NORS; and the costs                 be ‘‘unambiguous and easy-to-apply.’’
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    activities.                                              associated with any additional reporting              CenturyLink likewise admits that
                                                       56. We seek comment on how the                        or other requirements the Commission                  ‘‘reporting by a broadband Internet
                                                    Commission can strike the right balance                  may adopt to promote network                          access service provider where there is a
                                                    between facilitating an optimal                          reliability and security. Comments in                 loss of connectivity to the Internet by
                                                    information sharing environment and                      this area should not focus on new                     end-users is reasonable.’’ Comments like
                                                    protecting proprietary information. Our                  equipment but on the cost of modifying                these, along with ubiquitous advertising
                                                    goal is to foster reciprocal sharing of                  existing outage detection systems to                  on network reliability and performance
                                                    information on broadband network                         detect and notify the Commission on                   generally, suggest that the regime


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00036   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                    45106                    Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules

                                                    described above to report total losses of                broadband users? What would the cost                  remains valid. Moreover, we estimate
                                                    broadband service would not impose                       be of this comparable data?                           that adoption of the proposed rules for
                                                    significant additional burdens on                          62. We seek comment on whether we                   covered broadband providers would
                                                    providers. We seek comment on this                       should implement a prototype phase of                 result in the filing of 1,083 reports per
                                                    discussion.                                              two years whereby providers would be                  year, based on the likely correlation of
                                                                                                             given significant latitude to determine a             broadband Internet access service
                                                    (ii) Outages of ‘‘Generally Useful and                   qualifying threshold for the ‘‘generally              outages with interconnected VoIP
                                                    Available Connectivity’’                                 useful availability and connectivity’’                outages, in which there were 750 reports
                                                       60. In 2011, industry commenters                      standard. While mandatory reporting                   in 2015, and of broadband backbone
                                                    identified data collection costs as the                  would remain, the data collected would                outages with interoffice blocking
                                                    most significant cost burden of the                      positively inform standards in this                   outages, in which there were 330 reports
                                                    proposed rules for performance                           category that would be broadly                        in 2015. In other words, based on 2015
                                                    degradation events. However, we note                     applicable to the Commission’s needs in               figures, we estimate that there would be
                                                    that the proposed reporting based on                     this area yet closer to what the reporting            approximately 750 reportable VoIP
                                                    loss of ‘‘generally-useful availability and              companies use for their own operations,               outages, added to the 330 reportable
                                                    connectivity’’ does not concern every                    thereby reducing potential costs for                  broadband outages independent of VoIP,
                                                    degradation in performance an                            providers. We seek comment on this                    results in 1,083 total reports.
                                                    individual user experiences, but is                      analysis.                                             Accordingly, we estimate that adoption
                                                    instead designed to capture incidents in                                                                       of the rules proposed in this FNPRM
                                                    which service is effectively unusable for                b. Costs of Filing Outage Reports
                                                                                                                                                                   would create $173,280 in reporting
                                                    a large number of users or when critical                    63. While we anticipate that the costs             costs; calculated by adding the number
                                                    facilities are affected. We seek further                 of filing reports under the proposed                  of VoIP and broadband outages in 2015,
                                                    comment on the extent to which                           rules—i.e., of reformatting and                       and multiplying by the expected cost of
                                                    providers already collect performance                    uploading information in the NORS                     $160. We seek comment on this cost
                                                    degradation data for internal business                   database—would not impose an                          estimate.
                                                    purposes. In 2011, covered VoIP and                      unreasonable burden on covered
                                                    broadband providers were already                         broadband providers, we seek comment                  c. Benefits of Proposed Network Outage
                                                    monitoring QoS metrics, like packet                      on the specific costs. Outage reports are             Reporting
                                                    loss, latency and jitter, to assess network              currently filed in the Commission’s                      66. On balance, we believe that the
                                                    performance for certain customers.                       web-based NORS database using simple                  proposals of this FNPRM would
                                                    Today, providers collect network                         and straightforward ‘‘fill-in-the-blank’’             ultimately produce substantial benefits
                                                    performance information as a necessary                   templates. NORS currently accepts                     for the public. As noted above, the
                                                    part of fulfilling their SLA duties for                  reports for legacy service outages                    nation is increasingly reliant on
                                                    particular customers, and more                           (wireline, wireless, etc.), as well as                broadband communications, and
                                                    generally, providers have significant                    interconnected VoIP ‘‘hard down’’                     disasters, pandemics, and cyber attacks
                                                    incentives to track these metrics as part                outages. We expect that any reports                   can lead to sudden disruptions of
                                                    of their network, service, and business                  from covered broadband providers                      normal broadband traffic flows.
                                                    risk assurance models. In other words,                   pursuant to rules ultimately adopted in               Adopted prior to widespread adoption
                                                    providers’ existing approaches for                       this proceeding would adhere to the                   of broadband, the current part 4 outage
                                                    network data collection for premium                      same efficient and streamlined process.               reporting rules have played a significant
                                                    customers likely already captures losses                    64. In light of growing overlap in                 role in the Commission’s successful
                                                    of ‘‘generally-useful availability and                   corporate ownership of                                efforts to promote reliable and resilient
                                                    connectivity,’’ and we believe similar                   telecommunications network and                        communications networks. The
                                                    techniques could be expanded to                          service offerings, we expect that the                 Commission’s receipt of data on
                                                    monitor network performance on a                         inclusion of broadband service under                  broadband service (and expanded
                                                    broader scale. By building on existing                   part 4 would largely extend reporting                 interconnected VoIP service)
                                                    provider practices and harnessing                        obligations to providers already familiar             disruptions would enable it to adapt
                                                    technological developments in network                    with reporting via NORS and with                      this established practice to a world in
                                                    monitoring, we believe that the                          internal processes in place for filing                which IP-based networks are
                                                    proposals for broadband reporting                        reports. We recognize that entities                   increasingly relied on for critical
                                                    requirements described herein would                      without prior experience reporting in                 communications—including 911
                                                    not be unduly costly.                                    NORS, either themselves or through                    service—as well as for financial
                                                       61. Because providers already                         affiliates, may incur some startup costs,             transactions, health care delivery and
                                                    routinely collect much of this data, we                  i.e., of establishing a NORS account and              management, and the operation of our
                                                    believe that the cost of compliance of                   training personnel in the use of NORS.                nation’s critical infrastructure.
                                                    additional rules would be only the cost                  We seek comment on this analysis and                     67. Given the large and rising volume
                                                    of filing additional reports. We seek                    what specific startup costs would be.                 of communications that occur over
                                                    comment on this discussion. If                              65. Furthermore, we believe the                    broadband networks—and the overall
                                                    providers do not collect this data, is                   overall cost to providers of filing                   economic value these communications
                                                    there similar or comparable data that                    disruption reports is a function of the               represent—even minor increases in
                                                    providers already collect, or could                      number of reports that are filed and the              network reliability that result from
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    collect at minimal expense, that would                   costs of filing each report. Previously,              outage reporting could have a
                                                    be as cost-effective as data they would                  the Commission has estimated that the                 significant public benefit. We believe
                                                    report under the proposals outlined                      filing of each three-stage outage report              that the benefits of the proposed
                                                    above? If so, what data, and would it                    (i.e., notification, initial report, and final        reporting requirements will be
                                                    provide the Commission with adequate                     report) requires two hours of staff time,             substantial, as increases in network
                                                    visibility into events that cause a loss of              compensated at $80 per hour,                          reliability can improve not only
                                                    generally-useful availability and                        amounting to a $160 total cost for the                business continuity, but also the
                                                    connectivity for significant numbers of                  provider. We believe that this estimate               availability of emergency response,


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00037   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                                             Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules                                            45107

                                                    thereby saving many lives. We therefore                  to wait almost a month until the final                providers on the equal footing with
                                                    expect that, even if only a few lives are                report is submitted to get outage event               other part 4 entities. Accordingly, we
                                                    saved each year, the annual benefit from                 root causes or other useful information.              propose to replace the existing reporting
                                                    these proposed changes will far exceed                     70. Under the part 4 rules for legacy               structure for interconnected VoIP with
                                                    the costs they impose on affected                        services, specifically 47 CFR 4.11, initial           the three-report structure used by all
                                                    parties. We have noted throughout this                   reports provide the Commission with                   other reporting entities, as originally
                                                    FNPRM that the harm from not                             timely access to more detailed                        proposed in the 2011 Part 4 Notice.
                                                    requiring broadband outage reporting                     information about an outage than was                  Specifically, we propose to tighten the
                                                    could be substantial, and we believe                     available to the provider at the time of              timeframe for interconnected VoIP
                                                    that the benefits of the proposals would                 the notification, in many cases                       providers to notify the Commission of
                                                    far exceed the costs. We seek comment                    confirming the existence of an outage                 an outage from 24 hours to 120 minutes;
                                                    on other harms that consumers or                         that was only tentatively reported at the             to require providers to file an initial
                                                    providers face currently or may face in                  notification stage. However, such initial             report with additional information
                                                    the future as a result of loss of                        reports are not required of                           within 72 hours; and to file a final
                                                    connectivity that could have been                        interconnected VoIP providers, and                    report within 30 days of the outage that
                                                    avoided if industry outage trends had                    what’s more, the 24-hour notification                 includes all pertinent information about
                                                    been spotted earlier and addressed more                  period has resulted in notifications                  the outage, including any information
                                                    constructively through NORS reporting.                   being filed well after an outage has                  available that was not contained in or
                                                    We seek comment on the total expected                    commenced, in some cases after the                    changed from the initial report. All
                                                    benefit of the proposed reporting                        outage has concluded. In one recent                   reports would be filed electronically
                                                    requirements for broadband providers.                    instance, an interconnected VoIP outage               with the Commission.
                                                                                                             that affected close to 1 million users                   72. Furthermore, although not
                                                    B. Interconnected VoIP Outage                            across nearly a dozen states was first                independent triggers for part 4
                                                    Reporting                                                reported to the Commission twenty-                    reporting, we expect providers to
                                                      68. In 2012, the Commission adopted                    three hours after its discovery.                      include information in their reports
                                                    limited outage reporting requirements                    Consequently, for certain                             concerning (1) the failure of facilities
                                                    for interconnected VoIP providers. The                   interconnected VoIP outages, the                      that might be considered critical
                                                    rules apply to both facilities-based and                 Commission must wait until a final                    network elements (we consider a
                                                    non-facilities-based interconnected VoIP                 report is filed—up to thirty days after               network element ‘‘critical’’ if the failure
                                                    services. Since extending outage                         the notification is filed—to receive any              of that network element would result in
                                                    reporting to interconnected VoIP,                        information about the underlying cause                the loss of any user functionality that an
                                                    however, the Commission has not                          of an interconnected VoIP outage, or                  interconnected VoIP provider provides
                                                    received consistent, timely, or                          even to verify that a reportable outage in            to its consumers, for example, Call
                                                    sufficiently detailed reporting needed to                fact occurred. Providers also do not                  Agents, Session Border Controllers,
                                                    promote greater interconnected VoIP                      report information on the duration of                 Signaling Gateways, Call Session
                                                    service. This causes us now to raise                     the outage in the notification, and are               Control Functions (CSCF), and Home
                                                    questions about how to stimulate                         currently only required to give this                  Subscriber Server (HSS)), and (2)
                                                    granular and consistent reporting for                    information 30 days later in the final                unintended changes to software or
                                                    interconnected VoIP providers that aids                  report. Thus, we believe that the                     firmware or unintended modifications
                                                    the Commission in its efforts to ensure                  abridged reporting adopted for                        to a database to the extent relevant to a
                                                    reliable, resilient, and secure                          interconnected VoIP ‘‘hard down’’                     given outage or service disruption that
                                                    interconnected VoIP service for                          outages creates significant gaps in the               is otherwise reportable. As described
                                                    America’s consumers and businesses.                      Commission’s visibility into such                     fully in the broadband reporting process
                                                    Accordingly, we propose to modify the                    outages and hinders its ability to take               above, reports should include specific
                                                    existing reporting process for                           appropriate remedial actions.                         details.
                                                    interconnected VoIP to hew closer to the                   71. We recognize that a lack of                        73. At this time we believe adopting
                                                    process for other providers. Lastly, we                  visibility into underlying broadband                  a three-part reporting structure for
                                                    seek comment on whether there are any                    networks may pose challenges to                       interconnected VoIP outages is
                                                    differences between interconnected                       interconnected VoIP providers, in                     appropriate, however, as raised for
                                                    VoIP services and other foregoing                        providing information as the cause of                 broadband outage reporting above, we
                                                    broadband services that weigh in favor                   the outage. As with BIAS and dedicated                seek comment on other steps the
                                                    of establishing different outage reporting               services providers, we seek comment on                Commission can take to make providers’
                                                    rules for the two kinds of service                       whether interconnected VoIP providers                 reporting obligations consistent across
                                                    providers.                                               can, do, or should take steps                         services or otherwise streamline the
                                                                                                             contractually or otherwise to address                 process. We seek comment on whether
                                                    1. Interconnected VoIP Outage                            these problems. At a minimum, we                      there are ways of automating the outage
                                                    Reporting Process                                        believe that providers should make                    reporting process for interconnected
                                                       69. We propose to amend the                           reasonable efforts to learn about the                 VoIP service providers beyond what has
                                                    reporting process for outages involving                  causes of any reportable outages and                  been possible or has been attempted in
                                                    interconnected VoIP service to                           thus to be in a position to include such              the context of legacy communications
                                                    harmonize it with the ‘‘legacy’’ services                information in their reports, irrespective            services. How could such automated
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    and the proposed reporting process for                   of whether the affected facility is within            reporting be accomplished? What are
                                                    broadband outages. However, because                      their control. Moreover, because                      the advantages of such a reporting
                                                    the current outage reporting rules for                   interconnected VoIP services often rely               mechanism? What are the
                                                    interconnected VoIP allow a 24-hour                      on networks that provide BIAS services,               disadvantages? What cost savings would
                                                    notification period and do not require                   we believe that the proposed rules for                result from any such automation?
                                                    interim reports, the Commission rarely                   broadband outage reporting discussed                  Alternatively, we seek comment on
                                                    learns of interconnected VoIP network                    supra largely eliminate this concern and              maintaining the two-step process for
                                                    outages in near real time, and often has                 essentially place interconnected VoIP                 interconnected VoIP outages.


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00038   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                    45108                    Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules

                                                    2. Proposed Interconnected VoIP Outage                   interconnected VoIP providers have                    methods used to measure the proposed
                                                    Metrics                                                  differing standards for network                       metrics and account for the location of
                                                    a. Outages Defined by Performance                        performance? Are non-facilities-based                 the network elements within the
                                                    Degradation                                              interconnected VoIP providers able to                 interconnected VoIP networks. This will
                                                                                                             measure and/or access packet loss,                    help to ensure accurate and reliable
                                                    (i) Metrics for Performance Degradation                  latency, and/or throughput                            measurements of the proposed metrics
                                                      74. We also propose to require                         measurements? If not, why? How are                    to indicate network performance. We
                                                    interconnected VoIP providers to report                  non-facilities-based interconnected VoIP              propose that these metrics be measured
                                                    outages, per 47 CFR 4.5(a), that reflect                 providers able to determine the network               from ‘‘source to the destination host.’’
                                                    losses of ‘‘generally useful availability                performance requirements for their                    The term ‘‘source’’ would refer to the
                                                    and connectivity’’ as defined by specific                service? Should the Commission instead                network elements responsible for the
                                                    metrics. Similar to our proposal for                     adopt a single metric beyond which                    setting up the VoIP call (e.g., call
                                                    covered broadband providers, we                          voice service is so degraded that it is no            manager, user agent, client) while the
                                                    propose to base performance                              longer functional? If so, what is that                term ‘‘destination’’ would refer to the
                                                    degradation on packet loss and latency                   metric and how and where is it                        endpoints routing and executing the call
                                                    for any network facility used to provide                 measured? Would multiple metrics be                   (e.g., VoIP router, softphone). We seek
                                                    interconnected VoIP service. We also                     required? If so, what would those                     comment on the use of the terms
                                                    seek comment on whether it would be                      metrics and how and where would they                  ‘‘source’’ and ‘‘destination host’’ and ask
                                                    appropriate to adopt a throughput-based                  be measured? We seek comment on                       if these terms appropriately cover the
                                                    outage metric for interconnected VoIP                    these proposals. We also seek comment                 various types of network facilities (e.g.,
                                                    outage reporting in addition to the                      on how the proposed metrics apply to                  CSCF, HSS, AAA servers, SIP servers,
                                                    throughput metric discussed above with                   mobile VoIP. Will application of these                Session Border Controllers, Media
                                                    respect to broadband providers, i.e.,                    metrics to mobile VoIP result in too                  Gateway Controllers) used by
                                                    providers would be required to report                    many instances where, although the                    interconnected VoIP providers to
                                                    an outage of 1Gbps or more of                            threshold is passed, there is no major                connect to their customers and/or
                                                                                                             problem with the network? Are there                   exchange network traffic with other
                                                    interconnected VoIP service for 30
                                                                                                             other metrics that are better suited for              interconnected VoIP networks? Are
                                                    minutes or more. Are the proposed
                                                                                                             mobile VoIP service? If so, why? Should               there other terms that would better
                                                    metrics—relating to packet loss, latency
                                                                                                             the monitoring period and metrics                     convey the network elements from
                                                    and throughput—well-suited for
                                                                                                             adopted for interconnected VoIP outage                which interconnected VoIP providers
                                                    interconnected VoIP? Would this
                                                                                                             reporting be consistent with the                      will need to measure the proposed
                                                    approach provide better methods for
                                                                                                             monitoring period and metrics adopted                 reporting metrics?
                                                    detecting and reporting outages on
                                                                                                             for broadband outage reporting, or are
                                                    interconnected VoIP networks?                                                                                  b. Benefits and Costs of Proposed
                                                                                                             there differences between the two types
                                                      75. We recognize that adopting                                                                               Reporting
                                                                                                             of services that warrant different
                                                    performance degradation metrics may                      monitoring period and metrics?                           79. We seek comment on whether the
                                                    result in an increased burden on VoIP                       77. Alternatively, as with our                     benefits of this additional reporting
                                                    providers than their legacy voice                        proposed broadband outage reporting,                  would outweigh the incremental burden
                                                    counterparts. We ask whether                             we could adopt more specific, absolute                on providers. We estimate that the
                                                    interconnected VoIP’s unique                             thresholds for performance degradation,               three-part reporting of an outage—
                                                    technology justifies a departure from a                  like those proposed in the 2011 Part 4                including the filing of a notification,
                                                    pure ‘‘hard down’’ reporting metric                      Notice for broadband providers, e.g.,                 initial report, and final report—imposes
                                                    currently required for interconnected                    service degradation occurs whenever                   only a $300 cost burden on the provider.
                                                    VoIP providers and that of legacy                        there is: (i) An average packet loss of 0.5           In 2015, the Commission reviewed 750
                                                    counterparts, to the adoption of                         percent or greater; or (ii) average round-            interconnected VoIP outages. We expect
                                                    significant performance degradation                      trip latency of 100 ms or greater, with               to review an additional 750 filings for
                                                    reporting metrics? Are there throughput-                 all measurements taken in each of at                  the same number of outages received in
                                                    related issues associated with                           least six consecutive five-minute                     2015, and an additional 75 filings as a
                                                    interconnected VoIP calling? For                         intervals from source to destination                  result of our performance degradation
                                                    example, where the service might be up                   host. If absolute thresholds are                      proposal discussed above. Therefore,
                                                    and running, yet be degraded to a point                  preferable, are these reporting                       750 plus 75 initial reports multiplied by
                                                    that emergency call information                          thresholds for packet loss and latency                0.75 hours it takes to complete an initial
                                                    exchange is negatively impacted? Or,                     set at appropriate levels for                         report, multiplied by the cost of $80
                                                    given interconnected VoIP’s                              interconnected VoIP service? Should the               employee hourly rate, results in $49,500
                                                    dependence on broadband connectivity,                    Commission adjust any of these                        added cost. We therefore do not believe
                                                    are there vulnerabilities associated with                thresholds and, if so, what is an                     that expanding the reporting process
                                                    that technology that introduce threat                    appropriate threshold? Should the                     from two reporting stages to three would
                                                    scenarios (i.e., attack vectors) that justify            Commission modify the requirement to                  significantly increase burdens for
                                                    the added reporting burden? Are there                    take performance measurements in six                  providers. We seek comment on this
                                                    other considerations we should take                      consecutive five-minute intervals? If so,             tentative conclusion. To the extent that
                                                    into account on the question of adding                   how?                                                  commenters disagree, we seek comment
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    a performance degradation element to                                                                           on alternative, least costly methods. Is
                                                    interconnected VoIP providers’                           (ii) Measurement of Performance                       there similar or comparable data that
                                                    obligations under part 4?                                Degradation                                           providers already collect, or could
                                                      76. As with our current ‘‘hard down’’                     78. Moreover, we seek comment on                   collect at minimal expense given
                                                    outage reporting for interconnected                      the end-points from which                             current data collection practices, that
                                                    VoIP, we propose to apply any new                        interconnected VoIP providers will need               would be more cost-effective to report
                                                    rules to both facilities-based and non-                  to measure these metrics. We recognize                than the data they would report under
                                                    facilities-based interconnected VoIP. Do                 that it is important to consider the                  the proposed rules? If so, what data, and


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00039   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                                             Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules                                           45109

                                                    would it provide the Commission with                     where the network consistently fails to               full capacity (i.e., is unable to process
                                                    adequate visibility into events that                     address ‘‘bursty’’ call patterns similar to           any additional calls) for 75 percent of
                                                    cause a loss of generally-useful                         those generated after disaster and wide-              the time during a period of at least 30
                                                    availability and connectivity for                        scale emergencies. While we recognize                 minutes. If the number of potentially-
                                                    significant numbers of interconnected                    the point made by several commenters                  affected wireless user-minutes exceeds
                                                    VoIP users? What would the cost be of                    that networks should not be engineered                900,000 for the cell sites considered
                                                    this comparable data?                                    to be able to transmit every single call              ‘‘out,’’ the outage would be reportable.
                                                       80. We believe that the benefits of the               if everyone in an area attempted to use               Similarly, for non-wireless local access
                                                    proposed rules would exceed the costs.                   the network at once, we believe that it               networks, we propose to amend our
                                                    Absent the rules proposed in this                        would be in the interest of the public for            outage reporting rules to consider a loop
                                                    FNPRM, the Commission lacks                              the Commission to receive information                 carrier system or remote switch to be
                                                    sufficient visibility into the reliability               on those situations, so that we can                   ‘‘out’’ whenever a remote terminal or
                                                    and security of interconnected VoIP                      determine if, when, and where, blocking               the group of channels connecting a
                                                    networks. We believe that relevant data                  is consistently happening.                            remote switch to a host operates at full
                                                    is already routinely collected by                           83. Verizon argues that such reporting             capacity (i.e., is unable to process any
                                                    interconnected VoIP providers (in real                   that would be collecting information                  additional calls) for 75 percent of the
                                                    time), so the cost of compliance would                   ‘‘for the sake of it,’’ but that point                time during a period of at least 30
                                                    be only the cost of filing additional                    ignores the premise behind our outage                 minutes. If the number of user-minutes
                                                    reports where necessary. Moreover, we                    reporting rules. Although situational                 exceeds 900,000 for the loop carrier
                                                    believe that many of the proposed                        awareness is one goal of outage                       systems and remote switches that are
                                                    outage reporting triggers for                            reporting, another key objective is to                considered ‘‘out,’’ the outage would be
                                                    interconnected VoIP, including those                     provide data to the Commission so that                reportable.
                                                    based on performance degradation, are                    it can detect adverse outage trends and                  86. We seek comment on these
                                                    likely to be covered by outages to the                   facilitate industry-wide network                      proposals. Is 30 minutes an appropriate
                                                    underlying broadband networks.                           improvements. Moreover, even though                   time period to measure call blockages?
                                                    Therefore, we do not believe the number                  we continue to believe that outage                    If not 30 minutes, what should be the
                                                    of additional reports filed annually                     reporting encourages providers to fix                 appropriate interval of measurement for
                                                    pursuant to the proposed rules for                       problems in their networks, we note that              averaging purposes? Is 75 percent of that
                                                    interconnected VoIP to be significant.                   many outage reports do not always                     time at full capacity the right percentage
                                                    We seek comment on this discussion.                      result in permanent fixes to the                      of time? Alternatively, what percentage
                                                                                                             network, as the outage may be a ‘‘one-                of calls blocked during that period
                                                    C. Call Failures in Radio Access
                                                                                                             off’’ event. However, as Public                       constitutes congestion of the access
                                                    Networks
                                                                                                             Knowledge observes, we will not know                  network? To the extent that commenters
                                                       81. In the 2015 Part 4 Notice, we                     that such events are indeed ‘‘one-off,’’ if           oppose our proposal, we encourage
                                                    sought comment on the reporting of call                  the Commission is not aware of them in                them to propose an alternative,
                                                    failures that result from congestion in                  the first place.                                      workable metric that addresses our
                                                    wireless radio access networks (RAN),                       84. Commenters also note that mass                 concern. Is there a better way to
                                                    and in non-wireless (i.e., wireline and                  calling events are often unpredictable                measure persistent, widespread call
                                                    VoIP) local access networks. We noted                    and typically short-lived, so they                    failures in the RAN or local access
                                                    that the inability of the access network                 question the value of reporting on such               network?
                                                    to support excess demand may not be                      events. However, because a mass calling                  87. With respect to wireless RANs, we
                                                    considered reportable as a ‘‘failure or                  event can be the consequence of a                     seek comment on how providers
                                                    degradation’’ under our current rules,                   widespread disaster, we see significant               currently measure call failures. Would
                                                    but the inability of consumers to make                   value in collecting information on such               providers know of, and therefore have a
                                                    calls still undermines the reliability of                events, as these are the incidents where              way to measure, call attempts when a
                                                    networks. Nevertheless, we are                           reliable, resilient communications are                cell site is fully congested and not
                                                    concerned about the impact of such                       most needed. Indeed, understanding                    accepting call origination information?
                                                    events on the reliability of 911 service.                failure patterns in moments of network                Also, given that wireless calls are
                                                    Because this appears to be                               saturation can help identify best                     constantly initiated and terminated
                                                    predominantly an issue with wireless                     practices for network management, as                  within any given cell site, could some
                                                    networks, we proposed to amend our                       well as help certain communities realize              percentage below full capacity
                                                    part 4 rules to require reporting of                     a need for greater detail in emergency                constitute congestive RAN failure for
                                                    systemic wireless call failures that                     management plans. We recognize that                   purposes of reporting? For congested
                                                    results from overloading in the RAN.                     reporting on mass calling events will                 cell sites, should the usual methods for
                                                       82. Requiring reporting of overloading                not prevent them from occurring in the                calculating the total number of
                                                    in the access network (wireless radio or                 future, but we believe there is                       customers affected be used, or should
                                                    non-wireless local access) should not be                 substantial value in analyzing such                   some account be taken of the fact that
                                                    interpreted to mean that providers must                  events in hindsight, as individual                    more than the usual number are trying
                                                    engineer their networks to account for                   providers are unlikely to be able to see              to use the towers during these periods?
                                                    sporadic spikes in calls. Instead, the                   how such an event fits into broader                      88. In the Notice, we estimated that
                                                    reports would provide the Commission                     industry practices and performance                    under our proposal for reporting of
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    with data to identify any trends in                      levels. With such data, the Commission                widespread call failures in wireless
                                                    network overloading. This could                          would be in a better position to work                 RANs, providers would need to file
                                                    include identifying, for example, a                      with providers to address industry-wide               approximately 420 reports per year, thus
                                                    particular network equipment that may                    problems and share industry-wide                      increasing their annual reporting costs
                                                    be more susceptible to failure in mass                   mitigation solutions.                                 by $67,200. We based this estimate on
                                                    calling events. Moreover, analysis of                       85. With respect to wireless RANs, we              the assumption that wireless networks
                                                    this data allows the Commission to                       propose to consider a cell site to be                 and interoffice networks are engineered
                                                    work with industry to address situations                 ‘‘out’’ whenever a cell tower operates at             to achieve comparably low rates of call


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00040   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                    45110                    Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules

                                                    failure and would have a comparable                         93. We propose to amend the part 4                 new formula for the number of
                                                    rate of calls blocked.                                   reporting requirements to include                     potentially-affected users increase the
                                                       89. We seek further comment on the                    wireless outages significantly affecting              reporting of outages in low population
                                                    specific costs to implement some type of                 rural areas. We seek comment on this                  areas? We also seek comment on
                                                    reporting on call failures in both the                   proposal. Specifically, we propose to                 alternative measurements for outages in
                                                    RAN and the local access network. With                   require a wireless provider serving a                 rural areas. For example, could we
                                                    regard to the RAN, CCA disagrees with                    rural area to file outage reports                     adopt a lower user-minute threshold for
                                                    an assumption in the Notice that                         whenever one-third or more of its macro               rural areas to increase the reporting of
                                                    providers are already technically                        cell sites serving that area are disabled             events affecting rural communities? For
                                                    capable of tracking call failures at each                such that communications services                     example, would a threshold of 300,000
                                                    cell site, asserting that some of its                    cannot be handled through those sites,                user-minutes in rural areas increase our
                                                    members ‘‘do not currently collect and                   or are substantially impaired due to the              chances of receiving information on
                                                    preserve this information in an ongoing                  outage(s) or other disruptions affecting              outages that affect rural communities?
                                                    manner.’’ We seek more specific                          those sites. We seek comment on,                      Conversely, for example, would clear
                                                    information about the data that                          alternatively, requiring such reporting               geographic criteria, such as a county-
                                                    providers already have about call                        upon the disabling of one-half of the                 based threshold, for wireless outage
                                                    failures and the costs of adding                         macro cell sites in the rural area. In                reporting simplify the M2M rules for
                                                    equipment to track call failures at cell                 regard to the definition of ‘‘rural area,’’           automated outage reporting and
                                                    sites. To what extent do providers                       while the Communications Act does not                 eliminate the need for manual
                                                    already track call failures in the RAN                   include a statutory definition of what                interpretations of thresholds?
                                                    and the local access network? What                       constitutes a rural area, the Commission                 96. In the Notice, we estimated that
                                                    other parameters do operators use to                     has used a ‘‘baseline’’ definition of rural           adoption of a geography-based outage
                                                    determine when new towers or                             as a county with a population density of              reporting requirement would result in
                                                    equipment must be installed to meet                      100 persons or fewer per square mile.                 the filing of an additional 1,841 reports
                                                    increasing demand? Commenters should                     We propose to use this same definition                per year, thereby increasing reporting
                                                    be specific as to the information that                   for purposes of determining wireless                  costs by $294,560 (i.e., 1,841 reports ×
                                                    their networks can track. Commenters                     outages affecting predominantly rural                 $160 staff costs per report). To reach
                                                    should be specific and realistic in their                areas. We ask, however, whether other                 this estimate, we subtracted the number
                                                                                                             alternative definitions might be of better            of additional outage reports that would
                                                    costs estimates as well.
                                                                                                             use in aiding our visibility into rural-              be generated by geography-based
                                                       90. Moreover, we ask if some type of                                                                        reporting from the number of reports
                                                                                                             specific outages. For example, should
                                                    delayed implementation or exemption                                                                            that would be submitted for outages that
                                                                                                             we focus on areas designated for the
                                                    for smaller and/or rural providers would                                                                       meet the current 900,000 user-minute
                                                                                                             Universal Service Mobility Fund
                                                    be helpful, particularly given that we                                                                         threshold. We estimated that geography-
                                                                                                             support? Are there other rural area
                                                    expect network overloading is less                                                                             based reporting would generate
                                                                                                             designation tools or proxies that should
                                                    likely to be an issue in rural areas. If we              be considered (e.g., defining areas by                additional reports in counties where a
                                                    were to delay implementation of this                     rural exchange operating carrier                      wireless provider has fifteen or fewer
                                                    type of reporting for a certain subset of                designations—OCNs)? We seek                           cell sites. The number of counties with
                                                    providers, what would be a reasonable                    comment on these questions and                        fifteen or fewer cell sites represents 2.7
                                                    amount of time? What definition of                       proposals.                                            percent of the total number of cell sites
                                                    smaller and/or rural carrier would be                       94. Is there a geographic area                     nationwide, based on analysis of data
                                                    most appropriate?                                        designation other than ‘‘rural area,’’ as             collected from companies given to the
                                                    D. Geography-Based Wireless Outage                       defined above, that aligns better with                Commission during activations from the
                                                    Reporting                                                the way wireless providers measure                    Disaster Information Reporting System
                                                                                                             their own service? For example, is there              (DIRS) in 2012. Using as a guide
                                                       91. In the 2015 Part 4 Notice, we                     a subset of any licensed service area                 counties with fifteen or fewer cell sites,
                                                    sought comment on a separate and                         (e.g., Cellular Market Area) that wireless            we calculated that a disruption to
                                                    additional wireless outage reporting                     carriers could more easily use to                     communications would be reportable
                                                    requirement based on the geographical                    identify outages in predominantly rural               under a geographic coverage standard if
                                                    scope of an outage, irrespective of the                  areas? Or, would the use of zip codes,                one or two cell sites in the county are
                                                    number of users potentially affected.                    such as when one hundred percent of a                 down. Based on historical NORS data,
                                                    Wireless outages that may not meet our                   zip code is impacted be an appropriate                we then estimated that each cell site has
                                                    900,000 user-minute threshold but cover                  measurement? Also, we seek comment                    a 22.6 percent chance of experiencing
                                                    large geographic areas may be important                  on whether an outage of at least one-                 an outage within a given year, and using
                                                    because wireless service may be the                      third, or one-half, of cell sites within the          CTIA’s estimate that 301,779 cell sites
                                                    only option in many areas, particularly                  rural area would indicate an outage that              were in operation nationwide as of the
                                                    as the percentage of calls to 911 from                   would be of a nature that it substantially            end of 2012, we tentatively conclude
                                                    wireless devices continues to increase.                  affects wireless coverage for a large                 that adoption of a geography-based
                                                    It may be possible that large geographic                 geographic area.                                      reporting requirement would likely
                                                    areas are regularly losing service, but we                  95. We recognize that this issue may               result in the filing of 1,841 additional
                                                    are not aware of them (other than by                     become less critical as wireless                      reports per year, creating an estimate of
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    press reports) because they do not meet                  providers begin to comply with the new                $294,560 cost burden.
                                                    the 900,000 user-minute threshold.                       standardized method, adopted in the                      97. We seek further comment on the
                                                    Nonetheless, these outages are                           above Report and Order, for calculating               costs of implementing a new geography-
                                                    especially important to areas where                      the number of potentially affected users              based outage reporting requirement for
                                                    service (wireless or otherwise) is                       during a wireless outage. By using a                  wireless carriers. Sprint and Verizon
                                                    minimal, and when an outage occurs,                      national average to determine the                     argue that carriers would need to
                                                    those in an emergency would have to                      potentially affected users per site, will             develop and deploy additional
                                                    travel far to make a 911 call.                           adoption and implementation of this                   automation tools and monitoring


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00041   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                                             Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules                                          45111

                                                    mechanisms. We estimate that, based on                   and those facilities that are not? If so, on          our statutorily mandated responsibility
                                                    our proposal here, our estimate of 1,841                 what basis should the different                       under Section 615a–1 to ensure that ‘‘IP-
                                                    additional reports per year from the                     treatment be premised? What, if any,                  enabled voice service provider[s]
                                                    Notice will be the same. We seek further                 additional costs might be associated                  provide 9–1–1 service and enhanced 9–
                                                    comment on a way in which we could                       with expanding the reporting obligation               1–1 service.’’ As noted above,
                                                    capture outages affecting large                          to such facilities, whether or not                    broadband services are now and will
                                                    geographic areas without being overly                    enrolled in TSP?                                      continue to be key for delivery of 911
                                                    burdensome for providers. If, for                                                                              call information (including not only
                                                    example, we were to adopt an outage                      F. Legal Authority
                                                                                                                                                                   voice but also data and video) from the
                                                    reporting requirement when 33 percent                    1. 911 and Emergency Communications                   end-user to a PSAP. Therefore, to ensure
                                                    of cell sites become disabled within a                      101. Following the evolution in the                broadband-enabled voice service
                                                    county, would such a calculation                                                                               providers comply with their 911
                                                                                                             country’s commercial communications
                                                    require additional tools or monitoring                                                                         obligations, we seek comment on how
                                                                                                             networks, the nation’s emergency
                                                    mechanisms? We assume carriers would                                                                           our proposals better equip the
                                                                                                             communications systems are in the
                                                    already know when (and why) their cell                                                                         Commission to meet its Section 615a–1
                                                                                                             process of a critical transition from
                                                    sites become disabled, and would know                                                                          mandates. Moreover, in light of our
                                                                                                             legacy systems using time-division
                                                    the number of cell sites per county.                                                                           obligation to identify capabilities
                                                                                                             multiplex (TDM)-based technologies to
                                                    Therefore, we believe it would be a                                                                            necessary to support 911 and E911
                                                                                                             Next Generation 911 (NG911) systems
                                                    relatively easy and inexpensive                                                                                service for interconnected VoIP, 47
                                                                                                             that utilize IP-based technologies.
                                                    calculation for providers to determine if                                                                      U.S.C. 615a–1(6)(c), how would our
                                                                                                                102. As a result of this transition, the
                                                    a certain threshold of cell sites in a                                                                         proposals here enable us to determine if
                                                                                                             nation’s 911 system will increasingly
                                                    county have become disabled. Is one-                                                                           there are capabilities currently not
                                                                                                             include the BIAS and dedicated
                                                    third (33 percent) the appropriate                                                                             captured by our rules? We seek
                                                                                                             services, which will support a new
                                                    threshold?                                                                                                     comment on whether networks,
                                                       98. NTCA comments that the burden                     generation of 911 call services that may
                                                                                                             be vulnerable to a similarly new                      facilities, databases or other components
                                                    would be greater on smaller carriers,                                                                          to the extent these are elements that
                                                    where the failure of one tower may                       generation of disruptions that may not
                                                                                                             have existed on legacy 911 networks.                  support a ‘‘seamless transmission,
                                                    trigger a reporting obligation. While we                                                                       delivery, and completion of 911 and E–
                                                    could consider some type of exemption                    Indeed, as NG911 services are
                                                                                                             increasingly provisioned through                      911 calls and associated E–911
                                                    for smaller carriers, we believe smaller                                                                       information’’ have changed sufficiently
                                                    and rural carriers cover precisely the                   broadband network elements,
                                                                                                             disruptions to broadband could impact                 to warrant further consideration, or
                                                    areas targeted by this proposal.                                                                               because ‘‘critical components of the 911
                                                    Therefore, we do not propose to exempt                   the provision and reliability of local 911
                                                                                                             voice and other shared services essential             infrastructure may reside with an
                                                    any carriers. We seek comment on this                                                                          incumbent carrier, a PSAP, or some
                                                    approach.                                                to emergency response. Accordingly, we
                                                                                                             believe that monitoring the resiliency of             other entity.’’ How should the
                                                    E. Refining the Definition of ‘‘Critical                 broadband networks supporting that                    Commission analyze these
                                                    Communications’’ at Airports                             communication is vital to ensure the                  considerations in our Section 615a–1
                                                       99. Commercial aviation increasingly                  reliable availability and functionality of            analysis? In addition, we seek comment
                                                    depends on information systems that are                  911 services.                                         as to whether these proposals are
                                                    not collocated with airport facilities,                     103. Regarding our proposal to update              authorized by or reasonably ancillary to
                                                    and that may carry critical information.                 the outage reporting rules for                        our statutory mandates to develop best
                                                    We seek comment on requiring                             interconnected VoIP service providers,                practices that promote consistency and
                                                    reporting of outages affecting critical                  47 U.S.C. 615a–1 instructs the                        appropriate procedures for defining
                                                    aviation information facilities that are                 Commission to ‘‘take into account any                 network diversity requirements for IP-
                                                    not airport-based, either as a function of               technical, network security, or                       enabled 911 and E911 call delivery.
                                                    their status as TSP Level 3 or 4 facilities              information privacy requirements that                   105. Additionally, under the Twenty-
                                                    (facilities are eligible for TSP Level 3 or              are specific to IP-enabled voice                      First Century Communications and
                                                    4 prioritization if they (3) support                     services’’ and to update regulations ‘‘as             Video Accessibility Act of 2010 (CVAA),
                                                    public health, safety, and maintenance                   necessitated by changes in the market or              the Commission may ‘‘promulgate
                                                    of law and order activities or (4)                       technology, to ensure the ability of an               regulations to implement the
                                                    maintains the public welfare and the                     IP-enabled voice service provider to                  recommendations proposed by the
                                                    national economic system), or upon                       comply with its obligations.’’ The                    [Emergency Access Advisory Committee
                                                    some other basis. In particular, we seek                 proposed reporting process seeks to                   (EAAC)], as well as any other
                                                    comment on whether it is correct to                      modernize the outage reporting system                 regulations, technical standards,
                                                    assume that some information systems                     in light of technology advances and                   protocols, and procedures as are
                                                    critical to safe commercial aviation are                 greater consumer adoption of                          necessary to achieve reliable,
                                                    not located within an airport’s facility.                interconnected VoIP service,                          interoperable communication that
                                                    If the assumption is accurate, we invite                 considering the potential for                         ensures access by individuals with
                                                    discussion of the architecture of such                   degradations of service to impact 911                 disabilities to an Internet protocol-
                                                    external systems, including the                          call completion. We seek comment on                   enabled emergency network, where
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    safeguards currently established for                     how Section 615a–1 provides authority                 achievable and technically feasible.’’
                                                    those systems. Were the Commission to                    to adopt such proposals with respect to               The CVAA has served as the basis for
                                                    explore outage reporting requirements                    interconnected VoIP.                                  Commission actions with respect to
                                                    for these systems and facilities, what                      104. We also believe that our                      text-to-911 and 911 relay services, and
                                                    reporting criteria should it establish?                  proposals to extend outage reporting to               we now seek comment on the
                                                    For outage reporting purposes, should                    the classes of broadband providers and                application of the CVAA to our
                                                    the Commission distinguish between                       services described in this FNPRM are                  proposed disruption reporting rules for
                                                    facilities enrolled in the TSP program                   authorized by or reasonably ancillary to              broadband.


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00042   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                    45112                    Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules

                                                       106. In this vein, the EAAC has                       an ‘‘achievable and technically feasible’’            call failures in the radio access network.
                                                    recommended that the Commission                          way to ensure access to 911 for the deaf              We seek comment on this view.
                                                    ‘‘issue regulations as necessary to                      and hard of hearing, as required under                   111. For example, Section 303(b)
                                                    require that target entities, in the                     the CVAA, and we seek comment on                      authorizes the Commission to
                                                    development and deployment of NG9–                       this approach.                                        ‘‘[p]rescribe the nature of the service to
                                                    1–1 systems, take appropriate steps to                                                                         be rendered by each class of licensed
                                                                                                             2. Title II                                           stations and each station within any
                                                    support features, functions and
                                                    capabilities to enable individuals with                     108. The Commission has classified                 class.’’ Addressing the scope of this
                                                    disabilities to make multimedia NG9–1–                   BIAS and dedicated services as                        provision in Cellco Partnership v. FCC,
                                                    1 emergency calls.’’ The EAAC                            telecommunications services under                     700 F.3d 534 (D.C. Cir. 2012), the D.C.
                                                    enumerated a list of goals for the                       Title II of the Act. As such, we                      Circuit recognized that Section 303(b)
                                                    Commission related to 911 accessibility,                 tentatively conclude that the                         authorizes the Commission to ‘‘lay[ ]
                                                    including enabling consumers to call                     Commission has ample authority under                  down a rule about ‘the nature of the
                                                    911 using different forms of data, text,                 Title II to support the outage reporting              service to be rendered’ by entities
                                                    video, voice, and/or captioned                           requirements proposed in this FNPRM.                  licensed’’ by the Commission. The court
                                                    telephony individually or any                            We seek comment on this tentative                     further explained in Cellco that, while a
                                                    combination thereof; ensuring direct                     conclusion, and on the relevance of                   provider may choose not to offer a
                                                    access to 911 using IP-based text                        Sections 201, 202, 214, 218, and any                  wireless service, Section 303(b)
                                                    communications (including real-time                      other provisions of Title II for                      authorizes the Commission to ‘‘define[ ]
                                                    text, IM, and email); and facilitating the               supporting the outage reporting                       the form’’ that the ‘‘service must take for
                                                    use of video multimedia calls into a                     requirements proposed here for BIAS                   those who seek a license to offer it.’’
                                                    PSAP. The EAAC also recommended                          and dedicated services.                                  112. We also believe 47 U.S.C. 316
                                                                                                                As we observed in the 2015 Open                    authorizes the Commission to impose
                                                    that users have the option to call 911 via
                                                                                                             Internet Order, [S]ection 201 imposes a               new conditions on existing licenses if
                                                    voice or text service, as well as video
                                                                                                             duty ‘‘on common carriers to furnish                  we think such action ‘‘will promote the
                                                    and any other emerging technology; that
                                                                                                             communications services subject to                    public interest, convenience, and
                                                    is, callers should be able to access 911
                                                                                                             Title II ‘upon reasonable request,’ ’’ and            necessity.’’ The D.C. Circuit in Celtronix
                                                    using both old and new
                                                                                                             to ensure that their practices are ‘‘just             Telemetry, Inc. v. FCC, 272 F.3d 585
                                                    communications services—something
                                                                                                             and reasonable.’’ We also noted that the              (D.C. Cir. 2001), recognized as
                                                    that a single broadband network can
                                                                                                             general conduct standard ‘‘represents                 ‘‘undisputed that the Commission
                                                    support. We note that these technologies
                                                                                                             our interpretation of [S]ections 201 and              always retain[s] the power to alter the
                                                    are commonly supported by broadband
                                                                                                             202 in the broadband Internet access                  term of existing licenses by
                                                    networks, and to ensure access to 911
                                                                                                             context.’’ We seek comment on the                     rulemaking.’’ Accordingly, we believe
                                                    for individuals with disabilities, the
                                                                                                             interplay between the 2015 Open                       that the outage reporting requirements
                                                    Commission must be able to assess how
                                                                                                             Internet Order and the Commission’s                   proposed here for mobile service
                                                    those technologies are performing. The
                                                                                                             authority under [S]ection 201 to                      providers of BIAS or dedicated services,
                                                    EAAC also made clear that its
                                                                                                             ‘‘prescribe rules and regulations as may              as conditions imposed on existing
                                                    recommendations should evolve with
                                                                                                             be necessary in the public interest to                licenses, fall within the Commission’s
                                                    the technology. Perhaps most
                                                                                                             carry out the provisions of this chapter’’,           Section 316 authority, and we seek
                                                    importantly, the EAAC recommended
                                                                                                             as such authority relates to BIAS. We                 comment on this view.
                                                    that the Commission ‘‘adopt
                                                                                                             also seek comment generally on other
                                                    requirements that ensure that the                                                                              4. Section 706 of the
                                                                                                             provisions of Title II and legal theories
                                                    quality of video, text and voice                                                                               Telecommunications Act
                                                                                                             under those provisions to support
                                                    communications is sufficient to provide                                                                           113. It is the established policy of the
                                                                                                             outage reporting in the dedicated
                                                    usability and accessibility to individuals                                                                     United States to ‘‘promote the continued
                                                                                                             services and BIAS contexts.
                                                    with disabilities based on industry                                                                            development of the Internet and other
                                                    standards for the environment.’’                         3. Title III                                          interactive computer services and other
                                                       107. Given that video, text, and voice                   109. With respect to the rules                     interactive media . . . [and] to
                                                    communications to 911 already traverse                   proposed herein for wireless voice and                encourage the development of
                                                    broadband networks and will continue                     broadband providers, we believe the                   technologies which maximize user
                                                    to do so as the deployment of Real-Time                  Commission has further legal authority                control over what information is
                                                    Text and other NG911 multimedia                          to support the rules proposed herein                  received by individuals, families, and
                                                    applications grows, we believe that the                  under Title III of the Communications                 schools who use the Internet and other
                                                    CVAA’s mandate for ensuring equal                        Act. The Supreme Court has long                       interactive computer services, ’’ 47
                                                    access to 911 provides an additional                     recognized that Title III grants the                  U.S.C. 230(b). Furthering this policy, in
                                                    legal basis for the broadband reporting                  Commission ‘‘expansive powers’’ and a                 1996 Congress adopted Section 706 of
                                                    rules proposed herein. We seek                           ‘‘comprehensive mandate’’ to regulate                 the Telecommunications Act of 1996,
                                                    comment on this tentative conclusion. Is                 the use of spectrum in the public                     which instructs the Commission to
                                                    disruption reporting the optimal                         interest, Nat’l Broad. Co. v. United                  ‘‘encourage the deployment on a
                                                    mechanism for the Commission to the                      States, 319 U.S. 190, 219 (1943)                      reasonable and timely basis of advanced
                                                    quality of video, text and voice                         (recognizing the FCC’s ‘‘expansive                    telecommunications capability to all
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    communications is sufficient to provide                  powers’’ and ‘‘comprehensive                          Americans,’’ and further provides if the
                                                    usability and accessibility to individuals               mandate’’).                                           Commission finds advanced
                                                    with disabilities? Are there alternative                    110. We believe that 47 U.S.C. 303(b)              telecommunications capability is not
                                                    measures the Commission could take to                    and (r), and 316 provide the                          being deployed on a reasonable and
                                                    ensure broadband network availability                    Commission with authority to apply                    timely basis, it must ‘‘take immediate
                                                    for non-traditional 911 calls (i.e., 911                 outage reporting requirements to mobile               action to accelerate deployment of such
                                                    text messages or relay calls)? We believe                BIAS and dedicated services providers                 capability.’’ Advanced
                                                    the proposed reporting requirements are                  and to CMRS providers in instances of                 telecommunications capability, as


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00043   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                                             Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules                                            45113

                                                    defined in the statute, 47 U.S.C.                        that dampen consumer adoption and,                    receive (or have received) such funding,
                                                    1302(d)(1), includes a subset of                         thus, dis-incent broadband investment                 it is logical to require a certain level of
                                                    broadband Internet access. Thus, under                   and deployment? Would the proposed                    assurance in behalf of the end users who
                                                    Section 706(b), the Commission                           reporting guide us to remove barriers to              fund it. Accordingly, we tentatively
                                                    conducts an annual inquiry as to                         infrastructure investment and promote                 conclude that such part 4 reporting is an
                                                    whether advanced telecommunications                      competition? Would broadband                          appropriate assurance expectation from
                                                    capability is being deployed to all                      reporting promote Section 706’s goals                 CAF recipients, and we seek comment
                                                    Americans on a reasonable and timely                     by enabling us to view sustained                      on this tentative conclusion.
                                                    basis.                                                   availability over time, providing a
                                                       114. We seek comment on the                           comprehensive view of performance-                       118. On that basis, we now ask how
                                                    contours of Section 706 as the basis for                 related metrics data? Of long-term                    part 4 disruption reporting concerning
                                                    broadband-related outage reporting                       advanced capability deployment? Could                 the broadband services funded through
                                                    under part 4. We believe broadband                       the Commission use the proposed                       CAF support can best be used to assure
                                                    network reliability, resiliency, and                     outage reporting to spot areas of                     these services and infrastructure?
                                                    security are germane to the                              decreased investment or barriers to                   Specifically, should such assurance
                                                    Commission’s effort to achieve Section                   competition that we might need to                     measurements be sought through our
                                                    706’s policy objectives. Mandatory                       stimulate or remove? We seek comment                  part 4 disruption reporting, or through
                                                    outage reporting could provide the                       on whether the reliability of broadband               some other mechanism? How might the
                                                    Commission with a dependable stream                      service and its underlying network                    collection and analysis of CAF recipient
                                                    of objective data to further inform its                  infrastructure can advance Section 706                outage information help inform our
                                                    annual inquiry under Section 706. We                     availability goals as well as bring a real-           Section 254-related considerations and
                                                    seek comment on the value of the                         time measure of the services that are                 assist us in achieving our universal
                                                    proposed broadband outage reporting to                   available in a given area. For example,               service goals? Should the Commission
                                                    our annual Section 706 inquiry, and on                   Form 477 supports Section 706 goals                   adopt standards for network health to be
                                                    our more general view that such                          through non-outage data submitted by                  made part of CAF funding
                                                    disruption and outage data may aid the                   providers on a semiannual basis.                      considerations? If so, what mechanisms
                                                    Commission’s efforts to ensure the                       Although those collections facilitate                 should be used by the Commission to
                                                    deployment of advanced                                   Section 706 availability driven                       effectuate that approach? Should the
                                                    telecommunications capabilities to all                   considerations, we ask whether more                   Commission, for example, condition
                                                    Americans.                                               granular data submitted in Part 4’s time
                                                       115. Further, the 2016 Broadband                                                                            CAF support on standards that take into
                                                                                                             intervals may be of additional value to               account a provider’s network health as
                                                    Progress Report found that advanced                      the Commission in the execution of
                                                    telecommunications capability is not                                                                           revealed through outage reporting?
                                                                                                             Section 706’s mandates. We think that
                                                    being deployed to all Americans in a                     these insights can be added to our                       119. Section 4(o). As noted above,
                                                    reasonable and timely fashion, requiring                 Broadband Progress Report analyses                    Section 4(o), 47 U.S.C. 154(o), states that
                                                    the Commission to take immediate                         without compromising the objectives                   ‘‘[f]or the purpose of obtaining
                                                    action to accelerate broadband                           now achieved through Part 4’s                         maximum effectiveness from the use of
                                                    deployment by removing barriers to                       confidentiality treatment (as further                 radio and wire communications in
                                                    infrastructure investment and                            discussed below), and we seek comment                 connection with safety of life and
                                                    promoting competition. We seek                           on this view.                                         property, the Commission shall
                                                    comment on whether broadband outage                                                                            investigate and study all phases of the
                                                    reporting would aid the Commission in                    5. Universal Service Fund Mandates
                                                                                                             Under Section 254                                     problem and the best methods of
                                                    its efforts to identify where                                                                                  obtaining the cooperation and
                                                    infrastructure investment and effective                     116. In addition, we believe that the              coordination of these systems.’’ We
                                                    competition may be lacking and thus                      Commission’s universal service funding                believe that in order for the Commission
                                                    enable the Commission to take steps to                   mandates, underlying principles and                   to fulfill this mandate in today’s
                                                    remove any barriers to infrastructure                    goals, as set forth in Section 254 of the             transitioning world and beyond, it must
                                                    investment that may prevail or                           Act, authorize us to require broadband                be able to obtain relevant data—
                                                    otherwise to promote competition in                      disruption and outage reporting, as
                                                                                                                                                                   including BIAS and dedicated services
                                                    affected areas. For instance, we                         proposed, where the data from such
                                                                                                                                                                   outage reporting—to investigate and
                                                    observed in the 2016 Broadband                           reports could promote, or provide
                                                                                                                                                                   study all aspects of broadband
                                                    Progress Report that there are                           assurance (e.g., of ‘‘maximum value’’)
                                                                                                             to, the Commission’s universal service                communications. We also believe
                                                    indications of a ‘‘correlation between
                                                    non-adoption of broadband and security                   funding efforts under Section 254.                    Section 4(o) authorizes the Commission
                                                    and privacy concerns.’’ We also have                     Sections 254 and 1 operate dynamically                to gather broadband network outage
                                                    stated that ‘‘privacy and network                        to ensure an appropriately broad scope                data to help ensure NS/EP
                                                    security are among the factors that can                  of Commission authority to promote and                communications continue to obtain
                                                    affect the quality and reliability of                    safeguard universal service, thus,                    maximum effectiveness, e.g., to receive
                                                    broadband services,’’ and that                           Section 1, as a policy statement,                     appropriate levels of priority, be
                                                    ‘‘[c]ommunications security, integrity,                  ‘‘illuminates’’ Section 254 which, in                 delivered over robust and resilient
                                                    and reliability must be maintained as                    turn, ‘‘builds upon’’ Section 1. Comcast,             infrastructure, and function as required.
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    providers transition to IP-supported                     600 F.3d at 654. We seek comment on                   Indeed, we believe that the ability to
                                                    networks.’’ Does the proposed                            this observation and analysis.                        collect information on major disruptions
                                                    disruption reporting facilitate the 706(b)                  117. Certain broadband providers                   to broadband communications
                                                    mandate to take immediate action to                      receive significant federal universal                 supporting NS/EP priority services is
                                                    accelerate broadband deployment by                       service high-cost broadband funding                   essential to the Commission in fulfilling
                                                    providing valuable information on                        support through the USF’s Connect                     its national security/defense assurance
                                                    broadband infrastructure and service                     America Fund (CAF) program. To the                    role under the Act. We seek comment
                                                    vulnerabilities, risks and disruptions                   extent that covered broadband providers               on these views.


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00044   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                    45114                    Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules

                                                    II. Procedural Matters                                   III. Initial Regulatory Flexibility                   efforts have resulted in significant
                                                       120. As required by the Regulatory                    Analysis                                              reductions in outages affecting legacy
                                                    Flexibility Act of 1980 (RFA), the                          122. As required by the Regulatory                 services, including interconnected VoIP.
                                                    Commission has prepared an Initial                       Flexibility Act of 1980, as amended                   The aim of extending outage reporting
                                                    Regulatory Flexibility Analysis (IRFA)                   (RFA), the Commission has prepared                    to cover broadband providers is to
                                                    of the possible significant economic                     this present Initial Regulatory                       achieve a similar result: Enhance the
                                                    impact on small entities of the proposals                Flexibility Analysis (IRFA) of the                    reliability, resiliency and security of
                                                    addressed in the FNPRM. Written public                   possible significant economic impact on               their services utilizing an approach—
                                                    comments are requested on the IRFA.                                                                            tailored as appropriate to account for
                                                                                                             a substantial number of small entities by
                                                    Comments must be identified as                                                                                 broadband’s unique aspects—that has
                                                                                                             the policies and rules proposed in this
                                                    responses to the IRFA and must be filed                                                                        produced significant benefits with
                                                                                                             Further Notice of Proposed Rule Making
                                                    by the deadlines for comments                                                                                  respect to legacy networks and services.
                                                                                                             (FNPRM). Written public comments are                     126. The legal bases for the rule
                                                    indicated on the first page of this                      requested on this IRFA. Comments must                 changes proposed in this FNPRM are
                                                    FNPRM. In addition, the FNPRM and its                    be identified as responses to the IRFA                contained in sections 1, 4(i), 4(j), 4(o),
                                                    IRFA (or summaries thereof) will be                      and must be filed by the deadlines for                201(b), 214(d), 218, 222, 251(e)(3), 254,
                                                    published in the Federal Register.                       comments provided in ‘‘Comment
                                                       121. The proceeding this FNPRM                                                                              301, 303(b), 303(g), 303(r), 307, 309(a),
                                                                                                             Period and Procedures’’ of this FNPRM.                309(j), 316, 332, 403, 615a–1, and 615c,
                                                    initiates shall be treated as a ‘‘permit-                The Commission will send a copy of                    706 of the Communications Act of 1934,
                                                    but-disclose’’ proceeding in accordance                  this FNPRM, including this IRFA, to the               as amended, 47 U.S.C. 151, 154(i)–(j) &
                                                    with the Commission’s ex parte rules.                    Chief Counsel for Advocacy of the Small               (o), 201(b), 214(d), 218, 222, 251(e)(3),
                                                    Persons making ex parte presentations                    Business Administration (SBA). In                     254, 301, 303(b), 303(g), 303(r), 307,
                                                    must file a copy of any written                          addition, the FNPRM and IRFA (or                      309(a), 309(j), 316, 332, 403, 615a–1,
                                                    presentation or a memorandum                             summaries thereof) will be published in               and 615c, 1302(a) and 1302(b).
                                                    summarizing any oral presentation                        the Federal Register.
                                                    within two business days after the                          123. The FNPRM seeks additional                    A. Description and Estimate of the
                                                    presentation (unless a different deadline                comment on various proposals first                    Number of Small Entities to Which
                                                    applicable to the Sunshine period                        issued in a Notice of Proposed                        Rules Will Apply
                                                    applies). Persons making oral ex parte                   Rulemaking in PS Docket 11–80,                           127. The RFA directs agencies to
                                                    presentations are reminded that                          adopted in 2011 and in a Notice of                    provide a description of, and, where
                                                    memoranda summarizing the                                Proposed Rulemaking in PS Docket No.                  feasible, an estimate of, the number of
                                                    presentation must (1) list all persons                   15–80, adopted in 2015.                               small entities that may be affected by
                                                    attending or otherwise participating in                     124. The FNPRM seeks comment on:                   the proposed rules adopted herein. The
                                                    the meeting at which the ex parte                           • A proposal to require the filing of              RFA generally defines the term ‘‘small
                                                    presentation was made, and (2)                           outage reports for broadband network                  entity’’ the same as the terms ‘‘small
                                                    summarize all data presented and                         disruptions (BIAS and dedicated                       business,’’ ‘‘small organization,’’ and
                                                    arguments made during the                                service), including disruptions based on              ‘‘small governmental jurisdiction.’’ In
                                                    presentation. If the presentation                        network performance degradation;                      addition, the term ‘‘small business’’ has
                                                    consisted in whole or in part of the                        • proposed updates to the rules                    the same meaning as the term ‘‘small
                                                    presentation of data or arguments                        governing interconnected VoIP outage                  business concern’’ under the Small
                                                    already reflected in the presenter’s                     reporting to (i) include disruptions                  Business Act, 5 U.S.C. 601(3). A small
                                                    written comments, memoranda or other                     based on network performance                          business concern is one which: (1) Is
                                                    filings in the proceeding, the presenter                 degradation, and (ii) modify the VoIP                 independently owned and operated; (2)
                                                    may provide citations to such data or                    outage reporting process to make it                   is not dominant in its field of operation;
                                                    arguments in his or her prior comments,                  consistent with other services;                       and (3) satisfies any additional criteria
                                                    memoranda, or other filings (specifying                     • reporting of call failures in wireless           established by the Small Business
                                                    the relevant page and/or paragraph                       radio access networks and wireline local              Administration (SBA), Small Business
                                                    numbers where such data or arguments                     access networks, and on geography-                    Act, 15 U.S.C. 632.
                                                    can be found) in lieu of summarizing                     based reporting of wireless outages in
                                                    them in the memorandum. Documents                        rural areas;                                          1. Total Small Entities
                                                    shown or given to Commission staff                          • refining the definition of ‘‘critical               128. Our action may, over time, affect
                                                    during ex parte meetings are deemed to                   communications’’ at airports.                         small entities that are not easily
                                                    be written ex parte presentations and                       125. The Commission traditionally                  categorized at present. We therefore
                                                    must be filed consistent with rule                       has addressed network resiliency and                  describe here, at the outset, three
                                                    1.1206(b). In proceedings governed by                    reliability issues by working with                    comprehensive, statutory small entity
                                                    rule 1.49(f) or for which the                            communications service providers to                   size standards. First, nationwide, there
                                                    Commission has made available a                          develop and promote best practices that               are a total of approximately 28.2 million
                                                    method of electronic filing, written ex                  address network vulnerabilities, and by               small businesses, according to the SBA.
                                                    parte presentations and memoranda                        measuring the effectiveness of best                   In addition, a ‘‘small organization’’ is
                                                    summarizing oral ex parte                                practices through outage reporting.                   generally ‘‘any not-for-profit enterprise
                                                    presentations, and all attachments                       Under the Commission’s current rules,                 which is independently owned and
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    thereto, must be filed through the                       the outage reporting process has been                 operated and is not dominant in its
                                                    electronic comment filing system                         effective in improving the reliability,               field.’’ Nationwide, as of 2007, there
                                                    available for that proceeding, and must                  resiliency and security of legacy                     were approximately 1, 621,315 small
                                                    be filed in their native format (e.g., .doc,             networks and the services delivered                   organizations. Finally, the term ‘‘small
                                                    .xml, .ppt, searchable .pdf). Participants               over them. Commission staff collaborate               governmental jurisdiction’’ is defined
                                                    in this proceeding should familiarize                    with individual providers and industry                generally as ‘‘governments of cities,
                                                    themselves with the Commission’s ex                      organizations to review outage results                towns, townships, villages, school
                                                    parte rules.                                             and address areas of concern. These                   districts, or special districts, with a


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00045   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                                             Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules                                           45115

                                                    population of less than fifty thousand.’’                telecommunications network facilities                 5. Satellite Service Providers
                                                    Census Bureau data for 2011 indicate                     that they operate to provide a variety of                132. Two economic census categories
                                                    that there were 89,476 local                             services, such as wired telephony                     address the satellite industry. The first
                                                    governmental jurisdictions in the                        services, including VoIP services; wired              category has a small business size
                                                    United States. We estimate that, of this                 (cable) audio and video programming                   standard of $32.5 million or less in
                                                    total, as many as 88,506 entities may                    distribution; and wired broadband                     average annual receipts, under SBA
                                                    qualify as ‘‘small governmental                          Internet services. By exception,                      rules. The category of Satellite
                                                    jurisdictions.’’ Thus, we estimate that                  establishments providing satellite                    Telecommunications category
                                                    most governmental jurisdictions are                      television distribution services using                comprises firms ‘‘primarily engaged in
                                                    small.                                                   facilities and infrastructure that they               providing telecommunications services
                                                    2. Interconnected VoIP and Broadband                     operate are included in this industry.’’              to other establishments in the
                                                    ISPs Services                                            In the document, https://apps.fcc.gov/                telecommunications and broadcasting
                                                                                                             edocs_public/attachmatch/FCC-16-                      industries by forwarding and receiving
                                                       129. The 2007 Economic Census                         63A1.pdf, we provide a thorough
                                                    places Internet Service Providers, the                                                                         communications signals via a system of
                                                                                                             discussion of Incumbent Local                         satellites or reselling satellite
                                                    services of which might include Voice                    Exchange Services, Providers of
                                                    over Internet protocol (VoIP), in either                                                                       telecommunications.’’ The second
                                                                                                             Interexchange Services, or Operator                   category has a size standard of $32.5
                                                    of two categories, depending on whether                  Service Providers, and to the extent
                                                    the service is provided over the                                                                               million or less in annual receipts. The
                                                                                                             applicable, whether each of these listed              second category, i.e., ‘‘All Other
                                                    provider’s own telecommunications                        are considered ‘‘small businesses.’’
                                                    facilities (e.g., cable and DSL ISPs),                                                                         Telecommunications’’ ‘‘comprises
                                                    which are considered within the Wired                    4. Wireless Providers—Fixed and                       establishments primarily engaged in
                                                    Telecommunications Carriers category.                    Mobile                                                providing specialized
                                                    Or, depending on whether the VoIP                                                                              telecommunications services, such as
                                                    service is provided over client-supplied                    131. To the extent the wireless                    satellite tracking, communications
                                                    telecommunications connections (e.g.,                    services listed below are used by                     telemetry, and radar station operation.
                                                    dial-up ISPs), which are considered                      wireless firms for fixed and mobile                   This industry also includes
                                                    within the All Other                                     broadband Internet access services, the               establishments primarily engaged in
                                                    Telecommunications category. To                          NPRM’s proposed rules may have an                     providing satellite terminal stations and
                                                    ensure that this IRFA describes the                      impact on those small businesses as set               associated facilities connected with one
                                                    universe of small entities that our action               forth above and further below.                        or more terrestrial systems and capable
                                                    might affect, we discuss several                         Accordingly, for those services subject               of transmitting telecommunications to,
                                                    different types of entities that might be                to auctions, we note that, as a general               and receiving telecommunications from,
                                                    currently providing interconnected VoIP                  matter, the number of winning bidders                 satellite systems. Establishments
                                                    service, broadband Internet access                       that claim to qualify as small businesses             providing Internet services or voice over
                                                    service, or business data services. In the               at the close of an auction does not                   Internet protocol (VoIP) services via
                                                    document, https://apps.fcc.gov/edocs_                    necessarily represent the number of                   client-supplied telecommunications
                                                    public/attachmatch/FCC-16-63A1.pdf,                      small businesses currently in service.                connections are also included in this
                                                    we provide a thorough discussion of                      Also, the Commission does not                         industry.’’ In the document, https://
                                                    VoIP service provided over the                           generally track subsequent business size              apps.fcc.gov/edocs_public/attachmatch/
                                                    provider’s own telecommunications                        unless, in the context of assignments                 FCC-16-63A1.pdf, we provide a
                                                    facilities; and VoIP service provided                    and transfers or reportable eligibility               thorough discussion of Satellite
                                                    over client-supplied                                     events, unjust enrichment issues are                  Telecommunications firms, and All
                                                    telecommunications connections, and to                   implicated. In the document, https://                 Other Telecommunications
                                                    the extent applicable, whether each                      apps.fcc.gov/edocs_public/attachmatch/                establishments; and to the extent
                                                    listed are considered ‘‘small                            FCC-16-63A1.pdf, we provide a                         applicable, whether each of these listed
                                                    businesses.’’                                            thorough discussion of Wireless                       are considered ‘‘small businesses.’’
                                                                                                             Telecommunications Carriers (except
                                                    3. Wireline Providers                                    Satellite); Wireless Communications                   6. Cable Service Providers
                                                       130. Neither the Commission nor the                   Services (WCS); 1670–1675 MHz                            133. Because Section 706 requires us
                                                    SBA has developed a small business                       Services; Wireless Telephony;                         to monitor the deployment of broadband
                                                    size standard specifically for incumbent                 Broadband Personal Communications                     regardless of technology or transmission
                                                    local exchange services, providers of                    Service; Specialized Mobile Radio                     media employed, we know that some
                                                    interexchange services, or operator                      Licenses; Lower 700 MHz Band                          broadband service providers do not
                                                    service providers. The appropriate size                  Licenses; Upper 700 MHz Band                          provide voice telephony service.
                                                    standard under SBA rules is for the                      Licenses; 700 Mhz Guard Band                          Accordingly, we describe below other
                                                    category Wired Telecommunications                        Licensees; Air-Ground Radiotelephone                  types of firms that may provide
                                                    Carriers. This industry comprises                        Service; AWS Services (1710–1755 Mhz                  broadband services, including cable
                                                    establishments primarily engaged in                      and 2110–2155 Mhz Bands (AWS–1);                      companies, MDS providers, and
                                                    operating and/or providing access to                     1915–1920 Mhz, 1995–2000 Mhz, 2020–                   utilities, among others. Wired
                                                    transmission facilities and infrastructure               2025 Mhz and 2175–2180 Mhz Bands                      Telecommunications Carriers comprise
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    that they own and/or lease for the                       (AWS–2); 2155–2175 Mhz Band (AWS–                     of establishments primarily engaged in
                                                    transmission of voice, data, text, sound,                3)); 3650–3700 MHz Band; Fixed                        operating and/or providing access to
                                                    and video using wired                                    Microwave Services; Local Multipoint                  transmission facilities and infrastructure
                                                    telecommunications networks.                             Distribution Service; Broadband Radio                 that they own and/or lease for the
                                                    Transmission facilities may be based on                  Service and Educational Broadband                     transmission of voice, data, text, sound,
                                                    a single technology or a combination of                  Service; and to the extent applicable,                and video using wired
                                                    technologies. Establishments in this                     whether each of these listed are                      telecommunications networks.
                                                    industry use the wired                                   considered ‘‘small businesses.’’                      Transmission facilities may be based on


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00046   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                    45116                    Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules

                                                    a single technology or a combination of                  unintended modifications to databases,                required to comply with the rules that
                                                    technologies. Establishments in this                     or attributed to a critical network                   we propose in this proceeding.
                                                    industry use the wired                                   element. Reporting requirements would                   138. The FNPRM’s proposal to require
                                                    telecommunications network facilities                    align the reporting process and timing                outage reporting would be useful in
                                                    that they operate to provide a variety of                with that of legacy reporting currently               refining voluntary best practices and in
                                                    services, such as wired telephony                        required in the part 4 rules.                         developing new ones. In each case for
                                                    services, including VoIP services; wired                    135. Further, the rules proposed in                the reporting thresholds proposed, we
                                                    (cable) audio and video programming                      the FNPRM would require                               have chosen specific circumstances,
                                                    distribution; and wired broadband                        interconnected VoIP service providers                 applicable to the specific service that, in
                                                    Internet services. By exception,                         to submit Initial Reports, in addition to             our view, warrant reporting as a
                                                    establishments providing satellite                       the Notifications and Final Reports                   significant outage, leading to FCC
                                                    television distribution services using                   currently required. These reporting                   analysis and, possibly, the application
                                                    facilities and infrastructure that they                  requirements would align the reporting                of existing best practices or the
                                                    operate are included in this industry.’’                 process and timing with that of legacy                development and refinement of best
                                                    For Cable Companies and Systems, the                     reporting currently required in the part              practices in the future. There may be
                                                    Commission has also developed its own                    4 rules.                                              additional thresholds that should also
                                                    small business size standards, for the                      136. Moreover, the rules proposed in               be included to improve the process of
                                                    purpose of cable rate regulation. Under                  the FNPRM would require wireless and                  developing and improving best
                                                    the Commission’s rules, a ‘‘small cable                  wireline providers to report outages that             practices. We encourage interested
                                                    company’’ is one serving 400,000 or                      exceed proposed specified technical                   parties to address these issues in the
                                                    fewer subscribers nationwide. Industry                   thresholds in the wireless radio access               context of the applicable technologies
                                                    data indicate that all but ten cable                     network and the wireline local access                 and to develop their comments in the
                                                    operators nationwide are small under                     network respectively. The rules                       context of ways in which the proposed
                                                    this size standard. In addition, under                   proposed in the FNPRM would also                      information collection would facilitate
                                                    the Commission’s rules, a ‘‘small                        require wireless providers serving rural              best practices development and
                                                    system’’ is a cable system serving 15,000                areas to file outage reports whenever                 increased communications security,
                                                    or fewer subscribers. For Cable System                   one-third or more of its macro cell sites             reliability and resiliency throughout the
                                                    Operators, the Communications Act of                     serving that area are disabled such that              United States and its Territories.
                                                    1934, as amended, also contains a size                   communications services cannot be
                                                                                                             handled through those sites, or are                   C. Steps Taken To Minimize Significant
                                                    standard for small cable system                                                                                Economic Impact on Small Entities, and
                                                    operators, which is ‘‘a cable operator                   substantially impaired due to the
                                                                                                             outage(s) or other disruptions affecting              Significant Alternatives Considered
                                                    that, directly or through an affiliate,
                                                    serves in the aggregate fewer than 1                     those sites.                                             139. The RFA requires an agency to
                                                    percent of all subscribers in the United                    137. Under the Commission’s current                describe any significant alternatives that
                                                    States and is not affiliated with any                    outage reporting rules, which apply                   it has considered in reaching its
                                                    entity or entities whose gross annual                    only to legacy circuit-switched voice                 proposed approach, which may include
                                                    revenues in the aggregate exceed                         and/or paging communications over                     (among others) the following four
                                                    $250,000,000.’’ The Commission has                       wireline, wireless, cable, and satellite              alternatives: (1) The establishment of
                                                    determined that an operator serving                      communications services and                           differing compliance or reporting
                                                    fewer than 677,000 subscribers shall be                  interconnected VoIP, about 11,000                     requirements or timetables that take into
                                                    deemed a small operator, if its annual                   outage reports per year from all                      account the resources available to small
                                                    revenues, when combined with the total                   reporting sources combined are filed                  entities; (2) the clarification,
                                                    annual revenues of all its affiliates, do                with the Commission. As a result of the               consolidation, or simplification of
                                                    not exceed $250 million in the                           rules proposed, we anticipate that fewer              compliance or reporting requirements
                                                    aggregate. In the document, https://                     than 2,000 additional outage reports                  under the rule for small entities; (3) the
                                                    apps.fcc.gov/edocs_public/attachmatch/                   will be filed annually. Hence, we                     use of performance, rather than design,
                                                    FCC-16-63A1.pdf, we provide a                            estimate that if the proposed rules are               standards; and (4) an exemption from
                                                    thorough discussion of Wired                             adopted, the total number of reports                  coverage of the rule, or any part thereof,
                                                    Telecommunications Carriers; Cable                       from all outage reporting sources filed,              for small entities.
                                                    Companies and Systems; and Cable                         pursuant to the current and proposed                     140. Over the past decade, the
                                                    System Operators; and to the extent                      rules, combined would be fewer than                   proportion of communications services
                                                    applicable, whether each of these listed                 13,000 annually. We note that,                        provided over a broadband platform has
                                                    are considered ‘‘small businesses.’’                     occasionally, the proposed outage                     increased dramatically, and the U.S.
                                                                                                             reporting requirements could require                  increasingly relies on broadband-based
                                                    B. Description of Projected Reporting,                   the use of professional skills, including             services not only for day-to-day
                                                    Recordkeeping, and Other Compliance                      legal and engineering expertise. As a                 consumer use but also for Homeland
                                                    Requirements                                             consequence, we believe that in the                   Defense and National Security. Over the
                                                       134. The rules proposed in the                        usual case, the only burden associated                past three years, the number of outages
                                                    FNPRM would require broadband                            with the proposed reporting                           reported each year has remained
                                                    Internet access providers and dedicated                  requirements contained in this FNPRM                  relatively steady at about 11,000. We
                                                    service providers as well as                             would be the time required to complete                believe that the proposed outage
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    interconnected VoIP providers, to report                 the initial and final reports. We                     reporting requirements are the
                                                    outages or disruptions to                                anticipate that electronic filing, through            minimum necessary to assure that we
                                                    communications according to specified                    the type of template that we are                      receive adequate information to perform
                                                    metrics and thresholds, of at least 30                   proposing (similar to the type that other             our statutory responsibilities with
                                                    minutes. These providers as proposed,                    service providers currently subject to                respect to 911 services and ensure the
                                                    would need to specify when the outage                    outage reporting requirements are                     reliability of communications and
                                                    is related unintended changes to or                      employing) should minimize the                        critical infrastructures. Also, we believe
                                                    failures of software or firmware,                        amount of time and effort that will be                that the magnitude of the outages


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00047   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                                             Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules                                                  45117

                                                    needed to trigger the proposed reporting                 generally, are encouraged to quantify                  recordkeeping requirements,
                                                    requirements (e.g., outages of at least 30               the costs and benefits of the proposed                 Telecommunications.
                                                    minutes duration that potentially affect                 reporting requirements. How could any                  Federal Communications Commission.
                                                    at least 900,000 user minutes) is set                    proposed rule be tailored to impose the                Gloria J. Miles,
                                                    sufficiently high as to make it unlikely                 least cost and the least amount of
                                                                                                                                                                    Federal Register Liaison Officer, Office of the
                                                    that small businesses would be                           burden on those affected? What                         Secretary.
                                                    impacted significantly by the proposed                   potential regulatory approaches would
                                                    rules. We also believe the choice of                     maximize the potential benefits to                     Proposed Rules
                                                    performance-based, as opposed to                         society? To the extent feasible, what                    For the reasons discussed in the
                                                    design-based, degradation                                explicit performance objectives should                 preamble, the Federal Communications
                                                    characteristics (e.g., packet loss and                   the Commission specify? How can the                    Commission proposes to amend 47 CFR
                                                    round-trip latency) and the                              Commission best identify alternatives to               part 4 as follows:
                                                    corresponding thresholds chosen to                       regulation, including fees, permits, or
                                                    trigger the outage reporting will not                    other non-regulatory approaches?                       PART 4—DISRUPTIONS TO
                                                    unduly burden smaller entities because                      143. Further, comments are sought on                COMMUNICATIONS
                                                    of their objective, readily ascertainable                all aspects of this proposal, including
                                                    nature. We have also carefully                           the proposed extension of such                         ■ 1. The authority citation for part 4 is
                                                    considered the notion of a waiver for                    requirements, the definitions and                      revised to read as follows:
                                                    small entities from coverage of the                      proposed reporting thresholds, and the                   Authority: Sections 1, 4(i), 4(j), 4(o),
                                                    proposed rules, but declined to propose                  proposed reporting process that would                  251(e)(3), 254, 301, 303(b), 303(g), 303(r),
                                                    one, as a waiver of this type would                      follow essentially the same approach                   307, 309(a), 309(j), 316, 332, 403, 615a-1, and
                                                    unduly frustrate the purpose of the                      that currently applies to outage                       615c of Pub. L. 73–416, 48 Stat. 1064, as
                                                    proposed requirements and run counter                    reporting on legacy networks and                       amended, and section 706 of Pub. L. 104–
                                                    to the objectives of the FNPRM. Further,                                                                        104, 110 Stat. 56; 47 U.S.C. 151, 154(i)-(j) &
                                                                                                             services. We ask that commenters
                                                    we believe that the proposed                                                                                    (o), 251(e)(3), 254, 301, 303(b), 303(g), 303(r),
                                                                                                             address whether the proposed rules                     307, 309(a), 309(j), 316, 332, 403, 615a-1,
                                                    requirement that outage reports be filed                 would satisfy the Commission’s
                                                    electronically would significantly                                                                              615c, and 1302, unless otherwise noted.
                                                                                                             intended aims, described herein, and
                                                    reduce the burdens and costs currently                   would promote the reliability, resiliency              ■  2. Section 4.3 is amended by
                                                    associated with manual filing processes.                 and security of interconnected VoIP,                   redesignating paragraph (i) as paragraph
                                                       141. The proposed rules in the                                                                               (k) and adding new paragraphs (i) and
                                                                                                             broadband Internet access, and
                                                    FNPRM are generally consistent with                                                                             (j) to read as follows:
                                                                                                             dedicated services. We also ask for
                                                    current industry practices, so the costs
                                                                                                             comments on our tentative conclusions                  § 4.3 Communications providers covered
                                                    of compliance should be small. For a
                                                                                                             that: Expanding part 4 outage reporting                by the requirements of this part.
                                                    number of reasons, we believe that the
                                                                                                             requirements currently applicable to                   *      *     *     *    *
                                                    costs of the reporting rules that we
                                                                                                             interconnected VoIP service providers,                    (i) Broadband Internet access service
                                                    propose in the FNPRM are outweighed
                                                                                                             and extending part 4 reporting to BIAS                 providers (BIAS) are providers of
                                                    by the expected benefits (i.e., ensuring
                                                                                                             providers and dedicated service                        broadband Internet access service, as
                                                    communications reliability through
                                                                                                             providers, (i) would allow the                         defined in § 8.2 of this chapter.
                                                    outage reporting, trend analysis and
                                                    network best practice development and                    Commission to analyze outage trends                       (j) Dedicated Service providers are
                                                    implementation). We have excluded                        related to those services; (ii) would                  providers of service that transports data
                                                    from the proposed requirements any                       provide an important tool for network                  between two or more designated points,
                                                    type of competitively sensitive                          operators to use in preventing future                  e.g., between an end user’s premises and
                                                    information, information that would                      outages; and (iii) would help to enhance               a point-of-presence, between the central
                                                    compromise network security, and                         and ensure the resiliency and reliability              office of a local exchange carrier (LEC)
                                                    information that would undermine the                     of critical communications networks                    and a point-of-presence, or between two
                                                    efficacy of reasonable network                           and services.                                          end user premises, at a rate of at least
                                                    management practices. We anticipate                         144. In sum, we welcome comments                    1.5 Mbps in both directions (upstream/
                                                    that the record will suggest alternative                 on: The proposed rules themselves;                     downstream) with prescribed
                                                    ways in which the Commission could                       whether they would achieve their                       performance requirements that include
                                                    increase the overall benefits for, and                   intended objectives; whether there are                 bandwidth, latency, or error-rate
                                                    lessen the overall burdens on, small                     performance objectives not mentioned                   guarantees or other parameters that
                                                    entities.                                                that we should address; whether better                 define delivery under a tariff or in a
                                                       142. We ask parties to include                        alternatives exist that would accomplish               service-level agreement.
                                                    comments on possible alternatives that                   the proceeding’s objectives; the legal                 *      *     *     *    *
                                                    could satisfy the aims of the proceeding                 premises for the actions contemplated;                 ■ 3. Section 4.7 is amended by revising
                                                    in cost-effective ways that do not overly                and the costs, burdens and benefits of                 the section heading and paragraph
                                                    burden providers, and we also seek                       our proposal.                                          (e)(2), and adding paragraphs (g)
                                                    comment on appropriate legal                             D. Federal Rules That May Duplicate,                   through (i) to read as follows:
                                                    authority(ies) for the proposals under                   Overlap, or Conflict With the Proposed
                                                    consideration. Moreover, we also seek                                                                           § 4.7 Definitions of metrics used to
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                                                                             Rule                                                   determine reporting of outages and
                                                    comments on the relative costs and
                                                    benefits associated with the proposed                         145. None.                                        disruptions to communications.
                                                    rules. We ask commenters to address                                                                             *     *    *    *     *
                                                                                                             List of Subjects in 47 CFR Part 4
                                                    particularly the following concerns:                                                                              (e) * * *
                                                    What are the costs, burdens, and                           Airports, Communications common                        (2) The mathematical result of
                                                    benefits associated with any proposed                    carriers, Communications equipment,                    multiplying the duration of an outage,
                                                    rule? Entities, especially small                         Disruptions to communications,                         expressed in minutes, by the number of
                                                    businesses and small entities, more                      Network outages, Reporting and                         end-users potentially affected by the


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000    Frm 00048   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1


                                                    45118                    Federal Register / Vol. 81, No. 133 / Tuesday, July 12, 2016 / Proposed Rules

                                                    outage, for all other forms of                              (2) Not later than 72 hours after                  You can make an appointment to
                                                    communications.                                          discovering the outage, BIAS providers                inspect comments by telephoning (202)
                                                    *      *      *     *    *                               and Dedicated Service providers, as                   622–0990. All comments, including
                                                       (g) Packet loss is defined as the loss                defined in § 4.3, shall submit                        attachments and other supporting
                                                    of one or more packets of data traveling                 electronically an Initial                             materials received are part of the public
                                                    across a network, which after being                      Communications Outage Report to the                   record and subject to public disclosure.
                                                    transmitted from a source, fail(s) to                    Commission. Not later than 30 days                    You should submit only information
                                                    reach the destination point designated                   after discovering the outage, the                     that you wish to make publicly
                                                    in the transmitting message.                             broadband Internet access service                     available.
                                                       (h) Latency is defined as the average                 provider shall submit electronically a                FOR FURTHER INFORMATION CONTACT:
                                                    time delay for a packet to travel from a                 Final Communications Outage Report to                 Thomas O’Linn, Procurement Analyst,
                                                    source to a destination.                                 the Commission. The Notification and                  Office of the Procurement Executive, at
                                                       (i) Throughput is the amount of                       the Initial and Final reports shall                   (202) 622–2092.
                                                    information transferred within a system                  comply with the requirements of § 4.11.
                                                                                                                                                                   SUPPLEMENTARY INFORMATION:
                                                    in a given amount of time.                               [FR Doc. 2016–16273 Filed 7–8–16; 11:15 am]
                                                    ■ 4. Section 4.9 is amended by revising                  BILLING CODE 6712–01–P                                Background
                                                    the heading of paragraph (g), paragraphs                                                                         The DTAR, which supplements the
                                                    (g)(1)(ii), (g)(2) and adding paragraph (i)                                                                    Federal Acquisition Regulation (FAR), is
                                                    to read as follows:                                      DEPARTMENT OF THE TREASURY                            codified at 48 CFR Chapter 10.
                                                                                                                                                                     The Anti-Deficiency Act, 31 U.S.C
                                                    § 4.9 Outage reporting requirements—
                                                                                                             48 CFR Parts 1032 and 1052                            1341 and the FAR section 32.702, state
                                                    threshold criteria.
                                                                                                                                                                   that no officer or employee of the
                                                    *       *    *     *     *                               Department of the Treasury                            government may create or authorize an
                                                       (g) Interconnected VoIP Service. (1)                  Acquisition Regulations; Incremental                  obligation in excess of the funds
                                                    * * *                                                    Funding of Fixed-Price, Time-and-                     available, or in advance of
                                                       (ii) Within 120 minutes of discovering                Material or Labor-Hour Contracts                      appropriations unless otherwise
                                                    that they have experienced on any                        During a Continuing Resolution                        authorized by law. A continuing
                                                    facilities that they own, operate, lease,                                                                      resolution (CR) provides funding for
                                                    or otherwise utilize, an outage of at least              AGENCY:    Department of the Treasury.
                                                                                                                                                                   continuing projects or activities that
                                                    30 minutes duration that:                                ACTION:   Proposed rule.
                                                                                                                                                                   were conducted in the prior fiscal year
                                                       (A) Potentially affects at least 900,000                                                                    for which appropriations, funds, or
                                                    user minutes of Interconnected VoIP                      SUMMARY:  This proposed rule would
                                                                                                             amend the Department of Treasury                      other authority was previously made
                                                    service and results in complete loss of                                                                        available.
                                                    service;                                                 Acquisition Regulation (DTAR) for the
                                                                                                             purposes of providing acquisition policy                Each CR is governed by its specific
                                                       (B) Potentially affects 22,500 Gbps                                                                         terms. However, amounts available
                                                    user minutes; or                                         for incremental funding of Fixed-Price,
                                                                                                             Time-and-Material or Labor-Hour                       under a CR are frequently insufficient to
                                                       (C) Potentially affects any special                                                                         fully fund contract actions that may be
                                                    offices and facilities (in accordance with               contracts during a continuing
                                                                                                             resolution.                                           required during its term. No existing
                                                    paragraphs (a) through (d) of § 4.5).                                                                          contract clause permits partial funding
                                                       (2) Not later than 72 hours after                     DATES:  Comment due date: September                   of a contract action awarded during a
                                                    discovering the outage, the provider                     12, 2016.                                             CR. While other strategies are available
                                                    shall submit electronically an Initial                   ADDRESSES: Treasury invites comments                  to address the need to take contract
                                                    Communications Outage Report to the                      on the topics addressed in this proposed              actions during a CR, these strategies—
                                                    Commission. Not later than 30 days                       rule. Comments may be submitted to                    for example short-term awards—are
                                                    after discovering the outage, the                        Treasury by any of the following                      inefficient and may have other
                                                    provider shall submit electronically a                   methods: by submitting electronic                     disadvantages.
                                                    Final Communications Outage Report to                    comments through the federal                            This proposal would establish
                                                    the Commission. The Notification and                     government e-rulemaking portal,                       policies and procedures in order to
                                                    the Initial and Final reports shall                      www.regulations.gov, by email to                      facilitate successful, timely, and
                                                    comply with the requirements of § 4.11.                  thomas.olinn@treasury.gov; or by                      economical execution of Treasury
                                                    *       *    *     *     *                               sending paper comments to Department                  contractual actions during a CR.
                                                       (i) BIAS or Dedicated Service                         of the Treasury, Office of the                        Specifically, this proposed rule would
                                                    providers. (1) All BIAS providers and                    Procurement Executive, Attn: Thomas                   set forth procedures for using
                                                    Dedicated Service providers, as defined                  O’Linn, 1722 I Street NW., Mezzanine—                 incremental funding for fixed-price,
                                                    in § 4.3 shall submit electronically a                   M12C, Washington, DC 20006.                           time-and-material and labor-hour
                                                    Notification to the Commission within                       In general, Treasury will post all                 contracts during a period in which
                                                    120 minutes of discovering that they                     comments to www.regulations.gov                       funds are provided to Treasury
                                                    have experienced on any facilities that                  without change, including any business                Departmental Offices or Bureaus under
                                                    they own, operate, lease, or otherwise                   or personal information provided, such                a CR. Heads of contracting activities
                                                    utilize, an outage of at least 30 minutes                as names, addresses, email addresses, or              may develop necessary supplemental
mstockstill on DSK3G9T082PROD with PROPOSALS




                                                    duration that:                                           telephone numbers. Treasury will also                 internal procedures as well as guidance
                                                       (A) Potentially affects at least 22,500               make such comments available for                      to advise potential offerors, offerors and
                                                    Gbps user minutes;                                       public inspection and copying in                      contractors of these policies and
                                                       (B) Potentially affects any special                   Treasury’s Library, Department of the                 procedures.
                                                    offices and facilities (in accordance with               Treasury, 1500 Pennsylvania Avenue
                                                    paragraphs (a) through (d) of § 4.5); or                 NW., Washington, DC 20220, on official                Regulatory Planning and Review
                                                       (C) Potentially affects a 911 special                 business days between the hours of                      This rule is not a significant
                                                    facility (as defined in (e) of § 4.5).                   10:00 a.m. and 5:00 p.m. Eastern Time.                regulatory action as defined in section


                                               VerDate Sep<11>2014   18:07 Jul 11, 2016   Jkt 238001   PO 00000   Frm 00049   Fmt 4702   Sfmt 4702   E:\FR\FM\12JYP1.SGM   12JYP1



Document Created: 2016-07-12 01:59:43
Document Modified: 2016-07-12 01:59:43
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesSubmit comments on or before August 26, 2016, and reply comments on or before September 12, 2016.
ContactBrenda D. Villanueva, Attorney Advisor, Public Safety and Homeland Security Bureau, (202) 418-7005, or [email protected]
FR Citation81 FR 45095 
CFR AssociatedAirports; Communications Common Carriers; Communications Equipment; Disruptions to Communications; Network Outages; Reporting and Recordkeeping Requirements and Telecommunications

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