81_FR_78755 81 FR 78539 - Wireless Emergency Alerts; Amendments to the Commission's Rules Regarding the Emergency Alert System

81 FR 78539 - Wireless Emergency Alerts; Amendments to the Commission's Rules Regarding the Emergency Alert System

FEDERAL COMMUNICATIONS COMMISSION

Federal Register Volume 81, Issue 216 (November 8, 2016)

Page Range78539-78560
FR Document2016-26901

This document proposes revisions to Wireless Emergency Alert (WEA) rules to improve WEA, leveraging advancements in technology to improve WEA's multimedia, multilingual and geo-targeting capabilities, as well as lessons learned from alert originators' experience since WEA was initially deployed. This document also proposes steps to improve the availability of information about WEA, both to empower consumers to make informed choices about the emergency information that they will receive, as well as to promote transparency for emergency management agencies and other WEA stakeholders. By this action, the Commission affords interested parties an opportunity to participate more fully in WEA, and to enhance the utility of WEA as an alerting tool.

Federal Register, Volume 81 Issue 216 (Tuesday, November 8, 2016)
[Federal Register Volume 81, Number 216 (Tuesday, November 8, 2016)]
[Proposed Rules]
[Pages 78539-78560]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-26901]


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

FEDERAL COMMUNICATIONS COMMISSION

47 CFR Parts 10 and 11

[PS Docket No. 15-91; PS Docket No. 15-94; FCC 16-127]


Wireless Emergency Alerts; Amendments to the Commission's Rules 
Regarding the Emergency Alert System

AGENCY: Federal Communications Commission.

ACTION: Proposed rule.

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

SUMMARY: This document proposes revisions to Wireless Emergency Alert 
(WEA) rules to improve WEA, leveraging advancements in technology to 
improve WEA's multimedia, multilingual and geo-targeting capabilities, 
as well as lessons learned from alert originators' experience since WEA 
was initially deployed. This document also proposes steps to improve 
the availability of information about WEA, both to empower consumers to 
make informed choices about the emergency information that they will 
receive, as well as to promote transparency for emergency management 
agencies and other WEA stakeholders. By this action, the Commission 
affords interested parties an opportunity to participate more fully in 
WEA, and to enhance the utility of WEA as an alerting tool.

DATES: Comments are due on or before December 8, 2016 and reply 
comments are due on or before January 9, 2017.

ADDRESSES: You may submit comments, identified by PS Docket No. 15-91, 
P.S. Docket No. 15-94, FCC 16-127, by any of the following methods:

[[Page 78540]]

     Federal eRulemaking Portal: http://www.regulations.gov. 
Follow the instructions for submitting comments.
     Federal Communications Commission's Web site: http://fjallfoss.fcc.gov/ecfs2/. Follow the instructions for submitting 
comments.
     People with Disabilities: Contact the FCC to request 
reasonable accommodations (accessible format documents, sign language 
interpreters, CART, etc.) by email: [email protected] or phone: 202-418-
0530 or TTY: 202-418-0432.
    For detailed instructions for submitting comments and additional 
information on the rulemaking process, see the SUPPLEMENTARY 
INFORMATION section of this document.

FOR FURTHER INFORMATION CONTACT: James Wiley, Attorney Advisor, Public 
Safety and Homeland Security Bureau, at (202) 418-1678, or by email at 
[email protected].

SUPPLEMENTARY INFORMATION: This is a summary of the Commission's 
Further Notice of Proposed Rulemaking in PS Docket No. 15-91, No. 15-
94, FCC 16-127, released on September 29, 2016. The document is 
available for download at http://transition.fcc.gov/Daily_Releases/Daily_Business/2016/db0929/FCC-16-127A1.pdf. The complete text of this 
document is also available for inspection and copying during normal 
business hours in the FCC Reference Information Center, Portals II, 445 
12th Street SW., Room CY-A257, Washington, DC 20554. 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).

Initial Paperwork Reduction Act of 1995 Analysis

    This Further Notice of Proposed Rulemaking seeks comment on 
potential new or revised proposed information collection requirements. 
If the Commission adopts any new or revised final information 
collection requirements when the final rules are adopted, the 
Commission will publish a notice in the Federal Register inviting 
further comments from the public on the final information collection 
requirements, as required by the Paperwork Reduction Act of 1995, 
Public Law 104-13 (44 U.S.C. 3501-3520). In addition, pursuant to the 
Small Business Paperwork Relief Act of 2002, Public Law 107-198, see 44 
U.S.C. 3506(c)(4), the Commission seeks specific comment on how it 
might ``further reduce the information collection burden for small 
business concerns with fewer than 25 employees.''

Initial Regulatory Flexibility Analysis

    1. As required by the Regulatory Flexibility Act of 1980, as 
amended (RFA), we have 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 Rulemaking (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 on the FNPRM. We will send a copy of the 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.

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

    2. With this FNPRM, we take another step towards strengthening 
Wireless Emergency Alerts (WEA) by proposing revisions to our rules to 
empower alert originators to participate more fully in WEA, to empower 
consumers to make more informed decisions about the kind of WEA service 
that their CMS Provider offers, and to enhance the utility of WEA as an 
alerting tool. Our proposals fall into four categories, ensuring the 
provision of effective WEA Alert Messages, incorporating future 
technical advancements to improve WEA, developing consumer education 
tools, and improving WEA transparency.
    3. Specifically, with respect to ensuring the provision of 
effective WEA Alert Messages, we propose to establish clear definitions 
and requirements for CMS Providers participating in WEA in whole and in 
part. We ensure the provision of effective WEA Alert Messages by 
removing language from our rules that may contribute to emergency 
management agencies' uncertainty about WEA's quality of service. We 
require Participating CMS Providers to offer subscribers a method of 
accessing pending Alert Messages. We propose to require that 
earthquake-related alerts be delivered to the public in fewer than 
three seconds. We also seek comment on how to leverage the improvements 
to WEA that we adopt today to continue to improve WEA's value during 
disaster relief efforts. With respect to incorporating future technical 
advancements into WEA, we seek comment on and propose of a number of 
technological innovations that could expand WEA's multimedia, 
multilingual and geo-targeting capabilities, including innovations on 
5G networks. With respect to developing consumer education tools, we 
propose to promote more informed consumer choice through improvements 
to the point-of-sale notifications for Participating CMS Providers' 
mobile devices, and to the WEA interface. Finally, we propose to 
improve WEA transparency through requiring Participating CMS Providers 
to disclose their performance along three key metrics, latency, geo-
targeting, and reliability, and we seek comment on whether additional 
alert logging could be instrumental in allowing them to collect 
relevant data.
    4. This FNPRM represents another step towards achieving one of our 
highest priorities--``to ensure that all Americans have the capability 
to receive timely and accurate alerts, warnings and critical 
information regarding disasters and other emergencies.'' This FNPRM 
also is consistent with our obligation under Executive Order 13407 to 
``adopt rules to ensure that communications systems have the capacity 
to transmit alerts and warnings to the public as part of the public 
alert and warning system,'' and our mandate under the Communications 
Act to promote the safety of life and property through the use of wire 
and radio communication. We take these steps as part of an overarching 
strategy to advance the Nation's alerting capability, which includes 
both WEA and the Emergency Alert System (EAS), to keep pace with 
evolving technologies and to empower communities to initiate life-
saving alerts.

B. Legal Basis

    5. The proposed action in this WEA Further Notice of Proposed 
Rulemaking is authorized on the basis of 47 U.S.C. 151, 152, 154(i) and 
(o), 301, 301(r), 303(v), 307, 309, 335, 403, 544(g), 606 and 615 of 
the Communications Act of 1934, as amended, as well as by sections 
602(a), (b), (c), (f), 603, 604 and 606 of the WARN Act.

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

    6. The RFA directs agencies to provide a description of, and where 
feasible, an estimate of the number of small entities that may be 
affected by the proposed rules, if adopted. The RFA generally defines 
the term ``small entity'' as having the same meaning as the terms 
``small business,'' ``small organization,'' and ``small governmental 
jurisdiction.'' In addition, the term

[[Page 78541]]

``small business'' has the same meaning as the term ``small-business 
concern'' under the Small Business Act. A small-business concern'' is 
one which: (1) Is independently owned and operated; (2) is not dominant 
in its field of operation; and (3) satisfies any additional criteria 
established by the SBA.
    7. Small Businesses, Small Organizations, and Small Governmental 
Jurisdictions. Our action may, over time, affect small entities that 
are not easily categorized at present. We therefore describe here, at 
the outset, three comprehensive, statutory small entity size standards. 
First, nationwide, there are a total of approximately 27.5 million 
small businesses, according to the SBA. In addition, a ``small 
organization'' is generally ``any not-for-profit enterprise which is 
independently owned and operated and is not dominant in its field.'' 
Nationwide, as of 2007, there were approximately 1,621,315 small 
organizations. Finally, the term ``small governmental jurisdiction'' is 
defined generally as ``governments of cities, towns, townships, 
villages, school districts, or special districts, with a population of 
less than fifty thousand.'' Census Bureau data for 2011 indicate that 
there were 89,476 local governmental jurisdictions in the United 
States. We estimate that, of this total, as many as 88, 506 entities 
may qualify as ``small governmental jurisdictions.'' Thus, we estimate 
that most governmental jurisdictions are small.
    8. Wireless Telecommunications Carriers (except satellite). This 
industry comprises establishments engaged in operating and maintaining 
switching and transmission facilities to provide communications via the 
airwaves. Establishments in this industry have spectrum licenses and 
provide services using that spectrum, such as cellular phone services, 
paging services, wireless Internet access, and wireless video services. 
The appropriate size standard under SBA rules for the category Wireless 
Telecommunications Carriers (except satellite) is that a business is 
small if it has 1,500 or fewer employees. Census data for 2012 show 
that there were 967 firms that operated for the entire year. Of this 
total, 955 firms had employment of fewer than 1,000 employees. Thus 
under this category and the associated small business size standard, 
the Commission estimates that the majority of wireless 
telecommunications carriers (except satellite) are small.
    9. Broadband Personal Communications Service. The broadband 
personal communications services (PCS) spectrum is divided into six 
frequency blocks designated A through F, and the Commission has held 
auctions for each block. The Commission initially defined a ``small 
business'' for C- and F-Block licenses as an entity that has average 
gross revenues of $40 million or less in the three previous calendar 
years. For F-Block licenses, an additional small business size standard 
for ``very small business'' was added and is defined as an entity that, 
together with its affiliates, has average gross revenues of not more 
than $15 million for the preceding three calendar years. These small 
business size standards, in the context of broadband PCS auctions, have 
been approved by the SBA. No small businesses within the SBA-approved 
small business size standards bid successfully for licenses in Blocks A 
and B. There were 90 winning bidders that claimed small business status 
in the first two C-Block auctions. A total of 93 bidders that claimed 
small business status won approximately 40 percent of the 1,479 
licenses in the first auction for the D, E, and F Blocks. On April 15, 
1999, the Commission completed the reauction of 347 C-, D-, E-, and F-
Block licenses in Auction No. 22. Of the 57 winning bidders in that 
auction, 48 claimed small business status and won 277 licenses.
    10. On January 26, 2001, the Commission completed the auction of 
422 C and F Block Broadband PCS licenses in Auction No. 35. Of the 35 
winning bidders in that auction, 29 claimed small business status. 
Subsequent events concerning Auction 35, including judicial and agency 
determinations, resulted in a total of 163 C and F Block licenses being 
available for grant. On February 15, 2005, the Commission completed an 
auction of 242 C-, D-, E-, and F-Block licenses in Auction No. 58. Of 
the 24 winning bidders in that auction, 16 claimed small business 
status and won 156 licenses. On May 21, 2007, the Commission completed 
an auction of 33 licenses in the A, C, and F Blocks in Auction No. 71. 
Of the 12 winning bidders in that auction, five claimed small business 
status and won 18 licenses. On August 20, 2008, the Commission 
completed the auction of 20 C-, D-, E-, and F-Block Broadband PCS 
licenses in Auction No. 78. Of the eight winning bidders for Broadband 
PCS licenses in that auction, six claimed small business status and won 
14 licenses.
    11. Narrowband Personal Communications Service. To date, two 
auctions of narrowband personal communications services (PCS) licenses 
have been conducted. For purposes of the two auctions that have already 
been held, ``small businesses'' were entities with average gross 
revenues for the prior three calendar years of $40 million or less. 
Through these auctions, the Commission has awarded a total of 41 
licenses, out of which 11 were obtained by small businesses. To ensure 
meaningful participation of small business entities in future auctions, 
the Commission has adopted a two-tiered small business size standard in 
the Narrowband PCS Second Report and Order. A ``small business'' is an 
entity that, together with affiliates and controlling interests, has 
average gross revenues for the three preceding years of not more than 
$40 million. A ``very small business'' is an entity that, together with 
affiliates and controlling interests, has average gross revenues for 
the three preceding years of not more than $15 million. The SBA has 
approved these small business size standards.
    12. Wireless Communications Services. This service can be used for 
fixed, mobile, radiolocation, and digital audio broadcasting satellite 
uses. The Commission defined ``small business'' for the wireless 
communications services (WCS) auction as an entity with average gross 
revenues of $40 million for each of the three preceding years, and a 
``very small business'' as an entity with average gross revenues of $15 
million for each of the three preceding years. The SBA has approved 
these definitions.
    13. 700 MHz Guard Band Licensees. In 2000, in the 700 MHz Guard 
Band Order, the Commission adopted size standards for ``small 
businesses'' and ``very small businesses'' for purposes of determining 
their eligibility for special provisions such as bidding credits and 
installment payments. A small business in this service is an entity 
that, together with its affiliates and controlling principals, has 
average gross revenues not exceeding $40 million for the preceding 
three years. Additionally, a very small business is an entity that, 
together with its affiliates and controlling principals, has average 
gross revenues that are not more than $15 million for the preceding 
three years. SBA approval of these definitions is not required. An 
auction of 52 Major Economic Area licenses commenced on September 6, 
2000, and closed on September 21, 2000. Of the 104 licenses auctioned, 
96 licenses were sold to nine bidders. Five of these bidders were small 
businesses that won a total of 26 licenses. A second auction of 700 MHz 
Guard Band licenses commenced on February 13, 2001, and closed on 
February 21, 2001. All eight of the

[[Page 78542]]

licenses auctioned were sold to three bidders. One of these bidders was 
a small business that won a total of two licenses.
    14. Lower 700 MHz Band Licenses. The Commission previously adopted 
criteria for defining three groups of small businesses for purposes of 
determining their eligibility for special provisions such as bidding 
credits. The Commission defined a ``small business'' as an entity that, 
together with its affiliates and controlling principals, has average 
gross revenues not exceeding $40 million for the preceding three years. 
A ``very small business'' is defined as an entity that, together with 
its affiliates and controlling principals, has average gross revenues 
that are not more than $15 million for the preceding three years. 
Additionally, the lower 700 MHz Service had a third category of small 
business status for Metropolitan/Rural Service Area (MSA/RSA) 
licenses--``entrepreneur''--which is defined as an entity that, 
together with its affiliates and controlling principals, has average 
gross revenues that are not more than $3 million for the preceding 
three years. The SBA approved these small size standards. An auction of 
740 licenses (one license in each of the 734 MSAs/RSAs and one license 
in each of the six Economic Area Groupings (EAGs)) commenced on August 
27, 2002, and closed on September 18, 2002. Of the 740 licenses 
available for auction, 484 licenses were won by 102 winning bidders. 
Seventy-two of the winning bidders claimed small business, very small 
business or entrepreneur status and won a total of 329 licenses. A 
second auction commenced on May 28, 2003, closed on June 13, 2003, and 
included 256 licenses: 5 EAG licenses and 476 Cellular Market Area 
licenses. Seventeen winning bidders claimed small or very small 
business status and won 60 licenses, and nine winning bidders claimed 
entrepreneur status and won 154 licenses. On July 26, 2005, the 
Commission completed an auction of 5 licenses in the Lower 700 MHz band 
(Auction No. 60). There were three winning bidders for five licenses. 
All three winning bidders claimed small business status.
    15. In 2007, the Commission reexamined its rules governing the 700 
MHz band in the 700 MHz Second Report and Order. An auction of 700 MHz 
licenses commenced January 24, 2008 and closed on March 18, 2008, which 
included, 176 Economic Area licenses in the A Block, 734 Cellular 
Market Area licenses in the B Block, and 176 EA licenses in the E 
Block. Twenty winning bidders, claiming small business status (those 
with attributable average annual gross revenues that exceed $15 million 
and do not exceed $40 million for the preceding three years) won 49 
licenses. Thirty three winning bidders claiming very small business 
status (those with attributable average annual gross revenues that do 
not exceed $15 million for the preceding three years) won 325 licenses.
    16. Upper 700 MHz Band Licenses. In the 700 MHz Second Report and 
Order, the Commission revised its rules regarding Upper 700 MHz 
licenses. On January 24, 2008, the Commission commenced Auction 73 in 
which several licenses in the Upper 700 MHz band were available for 
licensing: 12 Regional Economic Area Grouping licenses in the C Block, 
and one nationwide license in the D Block. The auction concluded on 
March 18, 2008, with 3 winning bidders claiming very small business 
status (those with attributable average annual gross revenues that do 
not exceed $15 million for the preceding three years) and winning five 
licenses.
    17. Advanced Wireless Services. AWS Services (1710-1755 MHz and 
2110-2155 MHz bands (AWS-1); 1915-1920 MHz, 1995-2000 MHz, 2020-2025 
MHz and 2175-2180 MHz bands (AWS-2); 2155-2175 MHz band (AWS-3)). For 
the AWS-1 bands, the Commission has defined a ``small business'' as an 
entity with average annual gross revenues for the preceding three years 
not exceeding $40 million, and a ``very small business'' as an entity 
with average annual gross revenues for the preceding three years not 
exceeding $15 million. For AWS-2 and AWS-3, although we do not know for 
certain which entities are likely to apply for these frequencies, we 
note that the AWS-1 bands are comparable to those used for cellular 
service and personal communications service. The Commission has not yet 
adopted size standards for the AWS-2 or AWS-3 bands but proposes to 
treat both AWS-2 and AWS-3 similarly to broadband PCS service and AWS-1 
service due to the comparable capital requirements and other factors, 
such as issues involved in relocating incumbents and developing 
markets, technologies, and services.
    18. Broadband Radio Service and Educational Broadband Service. 
Broadband Radio Service systems, previously referred to as Multipoint 
Distribution Service (MDS) and Multichannel Multipoint Distribution 
Service (MMDS) systems, and ``wireless cable,'' transmit video 
programming to subscribers and provide two-way high speed data 
operations using the microwave frequencies of the Broadband Radio 
Service (BRS) and Educational Broadband Service (EBS) (previously 
referred to as the Instructional Television Fixed Service (ITFS)). In 
connection with the 1996 BRS auction, the Commission established a 
small business size standard as an entity that had annual average gross 
revenues of no more than $40 million in the previous three calendar 
years. The BRS auctions resulted in 67 successful bidders obtaining 
licensing opportunities for 493 Basic Trading Areas (BTAs). Of the 67 
auction winners, 61 met the definition of a small business. BRS also 
includes licensees of stations authorized prior to the auction. At this 
time, we estimate that of the 61 small business BRS auction winners, 48 
remain small business licensees. In addition to the 48 small businesses 
that hold BTA authorizations, there are approximately 392 incumbent BRS 
licensees that are considered small entities. After adding the number 
of small business auction licensees to the number of incumbent 
licensees not already counted, we find that there are currently 
approximately 440 BRS licensees that are defined as small businesses 
under either the SBA or the Commission's rules.
    19. In 2009, the Commission conducted Auction 86, the sale of 78 
licenses in the BRS areas. The Commission offered three levels of 
bidding credits: (i) A bidder with attributed average annual gross 
revenues that exceed $15 million and do not exceed $40 million for the 
preceding three years (small business) received a 15 percent discount 
on its winning bid; (ii) a bidder with attributed average annual gross 
revenues that exceed $3 million and do not exceed $15 million for the 
preceding three years (very small business) received a 25 percent 
discount on its winning bid; and (iii) a bidder with attributed average 
annual gross revenues that do not exceed $3 million for the preceding 
three years (entrepreneur) received a 35 percent discount on its 
winning bid. Auction 86 concluded in 2009 with the sale of 61 licenses. 
Of the ten winning bidders, two bidders that claimed small business 
status won 4 licenses; one bidder that claimed very small business 
status won three licenses; and two bidders that claimed entrepreneur 
status won six licenses.
    20. In addition, the SBA's Cable Television Distribution Services 
small business size standard is applicable to EBS. There are presently 
2,436 EBS licensees. All but 100 of these licenses are held by 
educational institutions. Educational institutions are included in this 
analysis as small entities. Thus, we

[[Page 78543]]

estimate that at least 2,336 licensees are small businesses. Since 
2007, Cable Television Distribution Services have been defined within 
the broad economic census category of Wired Telecommunications 
Carriers; that category is defined as follows: ``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.'' The SBA has developed a small business size standard 
for this category, which is: All such firms having 1,500 or fewer 
employees. To gauge small business prevalence for these cable services 
we must, however, use the most current census data that are based on 
the previous category of Cable and Other Program Distribution and its 
associated size standard; that size standard was: All such firms having 
$13.5 million or less in annual receipts. According to Census Bureau 
data for 2007, there were a total of 996 firms in this category that 
operated for the entire year. Of this total, 948 firms had annual 
receipts of under $10 million, and 48 firms had receipts of $10 million 
or more but less than $25 million. Thus, the majority of these firms 
can be considered small. In the Paging Third Report and Order, we 
developed a small business size standard for ``small businesses'' and 
``very small businesses'' for purposes of determining their eligibility 
for special provisions such as bidding credits and installment 
payments. A ``small business'' is an entity that, together with its 
affiliates and controlling principals, has average gross revenues not 
exceeding $15 million for the preceding three years. Additionally, a 
``very small business'' is an entity that, together with its affiliates 
and controlling principals, has average gross revenues that are not 
more than $3 million for the preceding three years. The SBA has 
approved these small business size standards. An auction of 
Metropolitan Economic Area licenses commenced on February 24, 2000, and 
closed on March 2, 2000. Of the 985 licenses auctioned, 440 were sold. 
Fifty-seven companies claiming small business status won. Also, 
according to Commission data, 365 carriers reported that they were 
engaged in the provision of paging and messaging services. Of those, we 
estimate that 360 are small, under the SBA-approved small business size 
standard.
    21. Wireless Communications Service. This service can be used for 
fixed, mobile, radiolocation, and digital audio broadcasting satellite 
uses. The Commission established small business size standards for the 
wireless communications services (WCS) auction. A ``small business'' is 
an entity with average gross revenues of $40 million for each of the 
three preceding years, and a ``very small business'' is an entity with 
average gross revenues of $15 million for each of the three preceding 
years. The SBA has approved these small business size standards. The 
Commission auctioned geographic area licenses in the WCS service. In 
the auction, there were seven winning bidders that qualified as ``very 
small business'' entities, and one that qualified as a ``small 
business'' entity.
    22. Radio and Television Broadcasting and Wireless Communications 
Equipment Manufacturing. This industry comprises establishments 
primarily engaged in manufacturing radio and television broadcast and 
wireless communications equipment. Examples of products made by these 
establishments are: Transmitting and receiving antennas, cable 
television equipment, GPS equipment, pagers, cellular phones, mobile 
communications equipment, and radio and television studio and 
broadcasting equipment. The Small Business Administration has 
established a size standard for this industry of 750 employees or less. 
Census data for 2012 show that 841 establishments operated in this 
industry in that year. Of that number, 819 establishments operated with 
less than 500 employees. Based on this data, we conclude that a 
majority of manufacturers in this industry is small.
    23. Software Publishers. Since 2007 these services have been 
defined within the broad economic census category of Custom Computer 
Programming Services; that category is defined as establishments 
primarily engaged in writing, modifying, testing, and supporting 
software to meet the needs of a particular customer. The SBA has 
developed a small business size standard for this category, which is 
annual gross receipts of $25 million or less. According to data from 
the 2007 U.S. Census, there were 41,571 establishments engaged in this 
business in 2007. Of these, 40,149 had annual gross receipts of less 
than $10,000,000. Another 1,422 establishments had gross receipts of 
$10,000,000 or more. Based on this data, the Commission concludes that 
the majority of the businesses engaged in this industry are small.
    24. NCE and Public Broadcast Stations. The Census Bureau defines 
this category as follows: ``This industry comprises establishments 
primarily engaged in broadcasting images together with sound. These 
establishments operate television broadcasting studios and facilities 
for the programming and transmission of programs to the public.'' The 
SBA has created a small business size standard for Television 
Broadcasting entities, which is: Such firms having $13 million or less 
in annual receipts. According to Commission staff review of the BIA 
Publications, Inc., Master Access Television Analyzer Database as of 
May 16, 2003, about 814 of the 1,220 commercial television stations in 
the United States had revenues of $12 (twelve) million or less. We 
note, however, that in assessing whether a business concern qualifies 
as small under the above definition, business (control) affiliations 
must be included. Our estimate, therefore, likely overstates the number 
of small entities that might be affected by our action, because the 
revenue figure on which it is based does not include or aggregate 
revenues from affiliated companies.
    25. In addition, an element of the definition of ``small business'' 
is that the entity not be dominant in its field of operation. We are 
unable at this time to define or quantify the criteria that would 
establish whether a specific television station is dominant in its 
field of operation. Accordingly, the estimate of small businesses to 
which rules may apply do not exclude any television station from the 
definition of a small business on this basis and are therefore over-
inclusive to that extent. Also as noted, an additional element of the 
definition of ``small business'' is that the entity must be 
independently owned and operated. We note that it is difficult at times 
to assess these criteria in the context of media entities and our 
estimates of small businesses to which they apply may be over-inclusive 
to this extent. There are also 2,117 low power television stations 
(LPTV). Given the nature of this service, we will presume that all LPTV 
licensees qualify as small entities under the above SBA small business 
size standard.
    26. The Commission has, under SBA regulations, estimated the number 
of licensed NCE television stations to be 380. We note, however, that, 
in assessing whether a business concern qualifies as small under the 
above definition, business (control) affiliations must be included. Our 
estimate, therefore, likely overstates the number of small entities 
that might be affected by our action, because the revenue figure on 
which it is based does not include or aggregate revenues from

[[Page 78544]]

affiliated companies. The Commission does not compile and otherwise 
does not have access to information on the revenue of NCE stations that 
would permit it to determine how many such stations would qualify as 
small entities.

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

    27. This FNPRM proposes new or modified reporting or recordkeeping 
requirements. We seek comment on whether the reporting, recordkeeping, 
and other compliance requirements we adopt today should affect all 
entities in the same manner, or whether we should make special 
accommodations for non-nationwide entities.
    28. We propose to require Participating CMS Providers, to gather, 
analyze and report on system performance metrics such as the geo-
targeting, latency, and availability and reliability. We propose to 
require Participating CMS Providers to offer potential subscribers 
notice at the point of sale that more accurately reflects the extent to 
which they will offer WEA. We seek comment on whether Participating CMS 
Providers should be required to update their election to participate in 
WEA. We seek comment on the costs of compliance.

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

    29. The RFA requires an agency to describe any significant 
alternatives that it has considered in developing its approach, which 
may include the following four alternatives (among others): ``(1) The 
establishment of differing compliance or reporting requirements or 
timetables that take into account the resources available to small 
entities; (2) the clarification, consolidation, or simplification of 
compliance and reporting requirements under the rule for such 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 
such small entities.''
    30. As noted in paragraph 1 above, this FNPRM initiates a 
rulemaking to update the rules governing the WEA system by which 
Participating CMS Providers may elect to transmit emergency alerts to 
the public, a goal mandated by the WARN Act and consistent with the 
Commission's obligation to protect the lives and property of the 
public. Primarily, this FNPRM seeks comment on four general categories 
of proposed rule changes: Ensuring the provision of effective WEA Alert 
Messages, incorporating future technical advancements to improve WEA, 
developing consumer education tools, and improving WEA transparency.
    31. With respect to ensuring the provision of effective WEA Alert 
Messages, we seek comment on whether there are any particular 
considerations that we should take into account when defining the 
nature of a Participating CMS Provider's participation in WEA due to 
the electing entity's size. We also seek comment on whether non-
nationwide Participating CMS Providers require the regulatory 
flexibility implicated by certain provisions of Sections 10.330 and 
10.500, and if so, whether we should retain the flexibility that the 
current language of those rules may provide only as applicable to them. 
With respect to incorporating technical advancements to improve WEA, we 
seek comment on whether support for additional languages would be 
unduly burdensome for non-nationwide Participating CMS Providers, and 
if so, whether there are steps that we can take to accommodate these 
entities to make compliance more feasible. We also seek comment on 
whether alternative geo-targeting standards would be appropriate for 
non-nationwide Participating CMS Providers. With respect to developing 
consumer education tools, we seek comment on whether we should give 
special consideration to non-nationwide entities if we were to require 
Participating CMS Providers to offer a consistent menu of opt-out 
choices, and on whether non-nationwide Participating CMS Providers 
should be required to make more lenient disclosures at the point of 
sale. Finally, with respect to improving WEA transparency, we propose 
the use of performance, rather than design standards to collect 
information relevant to our analysis of WEA's system integrity. We also 
seek comment on whether it would be appropriate to adopt an 
alternative, less frequent reporting requirement for non-nationwide 
Participating CMS Providers, and on whether such Participating CMS 
Providers should also be allowed to collect less granular data on 
system performance in order to reduce any cost burdens entailed by 
these proposed recordkeeping and reporting requirements.

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

    32. None.

II. Further Notice of Proposed Rulemaking

A. Ensuring the Provision of Effective WEA Alert Messages

1. Defining the Modes of Participation in WEA
a. Discussion
    33. We propose to adopt definitions for participation in WEA ``in 
whole'' and ``in part'' based on the attestations that CMS Providers 
are required to offer in their election letters, and on the 
notifications that CMS Providers offer potential subscribers at the 
point of sale. Specifically, we propose to define CMS Providers 
participating in WEA ``in whole'' as CMS Providers that have agreed to 
transmit WEA Alert Messages in a manner consistent with the technical 
standards, protocols, procedures, and other technical requirements 
implemented by the Commission in the entirety of their geographic 
service area and to all mobile devices on their network. Similarly, we 
propose to define CMS Providers participating in WEA ``in part'' as CMS 
Providers that have agreed to transmit WEA Alert Messages in a manner 
consistent with the technical standards, protocols, procedures, and 
other technical requirements implemented by the Commission in some, if 
not all of their geographic service area, and to some, if not all of 
the mobile devices on their network. We seek comment on these proposed 
definitions for CMS Provider participation in WEA. What are the 
technical prerequisites to offering WEA in a geographic area where a 
commercial mobile service is available? What factors lead Participating 
CMS Providers to offer WEA in a geographic area smaller than the area 
in which they offer commercial mobile service, or to fewer than all 
mobile devices on their network?
    34. We also seek comment on our proposal to incorporate the extent 
to which CMS Providers offer WEA on mobile devices on their networks 
into our definitions of participation in whole and in part. Bluegrass 
Cellular states that ``participation in whole has no bearing on the 
number or percentage of devices on the network that are WEA capable.'' 
If this were the case, however, could a CMS Provider that offers WEA on 
only one mobile device qualify as participating in whole? Would this be 
consistent with a common-sense interpretation of ``in whole'' 
participation, or with our requirement that only CMS Providers 
participating in part must disclose at the point of sale

[[Page 78545]]

that WEA may not be available on all devices on this provider's 
network?
    35. If participation in WEA in whole entails offering WEA on all 
mobile devices on the network, we seek comment on how ``mobile 
devices'' should be defined. For purposes of WEA, Section 10.10(j) 
defines ``mobile devices'' as ``[t]he subscriber equipment generally 
offered by CMS providers that supports the distribution of WEA Alert 
Messages.'' This definition would encompass any mobile device connected 
to a Participating CMS Providers' network that is capable of receiving 
WEA Alert Messages, including but not limited to LTE-enabled and future 
generation tablet computers, and phablets. The record shows, however, 
that there is significant variation among Participating CMS Providers 
with respect to mobile devices on their networks that support WEA 
capability. For example, the Department of Homeland Security's WEA 
Mobile Penetration Strategy Report shows that WEA is already available 
on some tablets, including iPads running iOS 6 or greater, and 
emergency managers agree that WEA should be made available to the 
public ``by all available means,'' including on tablets. On the other 
hand, CTIA suggests that while 4G-LTE tablets can be WEA capable, Wi-
Fi-only tablets cannot, and states that ``even if there are LTE-enabled 
tablets with the capability to receive cell broadcast messages through 
the network infrastructure, additional mobile device behavior standards 
and device development are required to support the handling and 
presentation of WEA messages.'' AT&T simply concludes that they ``do 
not believe customers could view WEA messages on their existing 
tablets.'' We seek comment on the technical characteristics needed in a 
device to allow it to receive WEA Alert Messages. Would it be advisable 
for us to revise our definition of the term ``mobile device'' in our 
Part 10 rules to reflect the technical prerequisites to supporting WEA 
service? Finally, we seek comment on whether there are any barriers 
that may prevent the delivery of WEA to the full range of consumer 
devices for which Participating CMS Providers may wish to provide 
emergency alerts, and which could fall within the scope of the WARN 
Act.
    36. In addition to defining participation in WEA in whole and in 
part with reference to the extent to which Participating CMS Providers 
offer WEA in the entirety of their geographic service area and to all 
mobile devices operating on their networks, we seek comment on whether 
these definitions should include the extent to which Participating CMS 
Providers make WEA available using all available network technologies. 
To what extent should Participating CMS Providers' attestation that 
they will ``support the development and deployment of technology for 
the `C' interface, the CMS Provider Gateway, the CMS Provider 
infrastructure, and mobile devices with WEA functionality'' be read as 
a commitment to support WEA using all available network technologies? 
To what extent do Participating CMS Providers currently use available 
technologies, such as Wi-Fi and small cells, in support of their WEA 
deployments? To the extent that Participating CMS Providers do not 
leverage all available technologies to further their participation in 
WEA, we seek comment on any factors that have contributed to this 
decision. We seek comment on any additional technologies already 
commercially deployed in CMS networks that could be leveraged in 
support of WEA, and on any additional functionalities that they may 
enable.
    37. We seek comment on whether, in the event we adopt new 
definitions for participation in WEA, it would be appropriate to 
require CMS Providers to refresh and renew their election to 
participate in WEA. Further, notwithstanding whether we ultimately 
adopt new definitions for WEA participation, have the nature of CMS 
networks (having evolved from 2 and 3G to 4G technologies) and the 
requirements of Part 10 changed sufficiently since WEA's deployment to 
merit a renewed election? How frequently, if at all, should 
Participating CMS Providers be required to update their election in 
order to provide the Commission and the public with an up-to-date 
account of their WEA service offerings? Alternatively, should the 
occurrence of a certain event or events trigger a Participating CMS 
Provider's obligation to renew their election? If so, what specific 
event or events should give rise to a requirement for a Participating 
CMS Provider to renew their election? We seek comment on steps that we 
can take to mitigate any burden that disclosure of this information may 
present for Participating CMS Providers, and especially non-nationwide 
Participating CMS (e.g., small, regional, and rural providers). To what 
extent would any information that Participating CMS Providers may be 
required to disclose be considered sensitive? As WEA has evolved into a 
vital and relied-upon component of the Nation's public safety 
infrastructure, has this information become necessary to understanding 
the Nation's readiness in times of disaster?
    38. We anticipate that adopting these definitions for the modes of 
Participation in WEA would improve long-term participation in WEA while 
incenting achievement of evolving WEA objectives, consistent with 
Participating CMS Providers technology refresh cycle. We seek comment 
on this analysis. What steps can we take to encourage Participating CMS 
Providers to increase their engagement with WEA voluntarily? Further, 
we seek comment on whether clearly delineated modes of participation in 
WEA, taken together with a renewed election requirement, would 
facilitate emergency management agencies' response planning efforts by 
evincing the extent to which WEA is available in local communities. To 
what extent could information about each Participating CMS Provider's 
WEA service offerings by geographic area, device, and technology 
facilitate community reliance on WEA as an emergency management tool? 
What steps can we take to make this information as useful as possible 
to emergency management agencies while limiting burdens on 
Participating CMS Providers? Are there alternative approaches that we 
could consider in order to accomplish our objective of incenting 
increased engagement with WEA by Participating CMS Providers and 
emergency management agencies?
2. Infrastructure Functionality
    39. We propose to amend Sections 10.330 and 10.500 to delete 
parallel statements that ``WEA mobile device functionality is dependent 
on the capabilities of a Participating CMS Provider's delivery 
technologies'' and that ``[i]nfrastructure functions are dependent upon 
the capabilities of the delivery technologies implemented by a 
Participating CMS Provider.'' Since the time these provisions were 
adopted, Participating CMS Providers have overwhelmingly elected to 
utilize cell broadcast technology in fulfillment of their WEA election. 
Participating CMS Providers' infrastructure has proven to be 
universally capable of the basic functionalities described by Section 
10.330 and 10.500. Accordingly, we believe these provisions are no 
longer necessary. Moreover, removing these provisions from our Part 10 
rules would likely clarify for emergency management agencies 
considering whether to become authorized as WEA alert initiators that 
the alerting service WEA offers is capable of providing these critical 
functions, especially when taken together with the performance 
reporting and alert logging requirements

[[Page 78546]]

discussed below. We seek comment on this analysis.
    40. We seek comment on whether Providers CMS Providers, and 
particularly non-nationwide CMS Providers (small, rural or regional 
Participating CMS Providers), continue to require the flexibility that 
this language may provide. There is no record about why these caveats 
remain necessary given changes in technology over the four years since 
WEA's deployment. Does the flexibility that this language may provide 
enable CMS Providers to participate in WEA that otherwise would be 
unable to do so? We invite comment from any Participating CMS Provider 
that would no longer be able to participate in WEA in whole or in part 
were we to remove this language from Sections 10.330 and 10.500. Such 
commenters should specify the manner in which their WEA service would 
be unable to comply with the requirements of Sections 10.330 and 10.500 
were we to remove the prefatory language from those Sections, while 
still being capable of providing the WEA service described elsewhere in 
Part 10. Similarly, would removing this language make any WEA-capable 
mobile devices incapable of continuing to support WEA? If so, why? We 
seek comment on whether, if we retain this language at all, it should 
be modified to apply only to non-nationwide Participating CMS 
Providers.
3. Alert Message Preservation
    41. We propose to amend Section 10.500 to state that WEA-capable 
mobile devices must preserve Alert Messages in an easily accessible 
format and location until the Alert Message expires. We seek comment on 
this proposal. We seek comment on the various approaches that 
Participating CMS Providers currently take to Alert Message 
preservation, and on any best practices that have emerged in this area. 
We seek comment on whether we should standardize the manner in which 
Participating CMS Providers preserve Alert Messages, informed by 
relevant best practices.
    42. We seek comment on the extent to which Participating CMS 
Providers currently offer users the ability to access Alert Messages 
after they have been viewed and dismissed. Is Blackberry, Android and 
Windows' practice of providing access to dismissed Alert Messages in an 
``inbox'' or in ``message history'' consistent among all devices and 
providers? Section 10.420 specifies ``Expiration Time'' as a required 
CAP element in WEA Alert Messages. Is it feasible to use this CAP 
element as a basis for identifying the time at which an Alert Message 
should be discarded? If WEA Alert Messages are retained past this 
expiration time, Denver OEMHS expresses concern that users will view 
expired Alert Messages and assume that they are current, causing 
confusion and panic. Where Alert Messages are preserved for user 
review, for how long are they preserved? If Alert Messages continue to 
be preserved after the underlying emergency condition has expired, are 
expired Alert Messages clearly marked as such to prevent user 
confusion? To what extent do Participating CMS Providers' existing 
practices achieve our goal of providing subscribers with a 
straightforward method of accessing Alert Messages until they expire?
    43. Based on the comments, we believe that having continued access 
to WEA Alert Messages, including information regarding protective 
measures the public can take to protect life and property, could 
promote superior public safety outcomes. NYCEM and APCO have already 
suggested several use cases in which public response outcomes could be 
improved through easy access to active Alert Messages, such as to 
review details about shelter locations and commodity distribution 
points, and to recall complex information presented in longer WEA Alert 
Messages. Further, FEMA states that requiring appropriate alert 
preservation ``would reduce user confusion, make training easier, and 
would require only one educational campaign if preservation was 
consistent across platforms.'' FEMA further states that requiring 
appropriate alert preservation ``could alleviate some milling behavior, 
as some will search for alerts on the internet once dismissed to find 
the content.'' We seek comment on these analyses, as well as on 
additional use cases in which access to pending Alert Messages could 
have public safety benefits.
4. Earthquake Alert Prioritization
a. Background
    44. As we discussed in the Report and Order, Sections 10.320 and 
10.410 of the Commission's WEA rules require Participating CMS 
Providers to program their Alert Gateways to process Alert Messages on 
a FIFO basis, except for Presidential Alerts, which must be processed 
``upon receipt,'' before any non-Presidential Alert Messages that may 
also be queued for transmission. In the WEA NPRM, we sought comment on 
whether we should amend Section 10.410 of the Commission's rules to 
address prioritization at the CMS Provider's Gateway, in transit, and 
at the mobile device. Subsequently, the FY2016 Omnibus Appropriations 
Explanatory Statement directed the FCC to report to the Appropriations 
Committee on all regulatory and statutory changes that would be 
necessary to ensure that earthquake-related emergency alerts can be 
received by the public in fewer than three seconds using IPAWS and its 
associated alerting systems, including WEA. Earthquake warnings are 
currently issued as Imminent Threat Alerts, but it is unclear whether 
Participating CMS Providers' WEA infrastructure is able to process and 
transmit these Alert Messages fast enough for them to provide timely 
warning to the public, particularly to those that are closest to the 
epicenter. To be effective, it is crucial that these messages are 
delivered as rapidly as possible because, in order to be effective, 
they must be delivered to the public in advance of fast-travelling 
seismic waves. ATIS states that it would be technically feasible to 
transmit earthquake-related Alert Messages from the Alert Gateway upon 
receipt in order to expedite their transmission to the public. AT&T 
states, however that ``[w]ithout a re-design of the entire system, it 
is not possible to prioritize WEA messages on anything other than a 
FIFO basis.''
    45. We propose to require Participating CMS Providers to deliver 
earthquake-related Alert Messages to the public in fewer than three 
seconds, measured from the time an earthquake-related Alert Message is 
created to when it is delivered and displayed at the mobile device. We 
seek comment on the parameters for WEA to deliver earthquake alerts in 
less than three seconds, including any operational or regulatory 
changes that may be necessary in order to achieve this objective. We 
seek comment on the appropriate points by which to measure the 
applicable delivery timeframe. Should the applicable timeframe be 
measured from the time the alert originator issues the earthquake alert 
to the time it arrives at the end user device? In order to meet our 
end-to-end latency objective while respecting the limitations of 
Participating CMS Provider infrastructure, should the delivery delay 
from the IPAWS Alert Gateway to the end user be limited to two seconds? 
If Alert Messages are not received by all WEA-capable mobile devices in 
the target area simultaneously, how should we determine whether 
earthquake alerts are being delivered on time to meet our proposed 
requirement? We seek comment on these proposals, as well as any 
potential alternatives. We also seek

[[Page 78547]]

comment on their costs and benefits. In addition, we seek comment on 
the implementation timeframe in which delivery of earthquake alerts in 
fewer than three seconds could be achieved. Would this be achievable 
within the next thirty months? If not, how much time would be needed?
    46. In order to help eliminate any delays that could unnecessarily 
affect the delivery of an earthquake alert, we seek comment on whether 
we should require prioritization of earthquake-related Alert Messages 
at the CMS Provider Alert Gateway by processing them ``upon receipt,'' 
before any non-Presidential Alert that may also be queued for 
transmission. We expect that prioritization at the CMS Provider Alert 
Gateway would remove the possibility of any queuing delay that may 
occur due to simultaneous arrival of multiple alerts. We seek comment 
on the extent to which prioritizing earthquake alerts at the Alert 
Gateway would reduce their end-to-end latency in instances where the 
Alert Gateway is processing more than one Alert Message at a time, as 
well as in other instances. We also seek comment on whether it would be 
appropriate to prioritize earthquake alerts in transit over other Alert 
Messages or control channel activity if giving them elevated priority 
at the Participating CMS Provider Alert Gateway would not sufficiently 
reduce delivery latency for them to arrive on time to save lives. We 
note that WEA Alert Message segments are transmitted by the Radio 
Access Network (RAN) every 80ms to 5.12 seconds. Could standardizing 
the transmission periodicity of WEA message segments reduce end-to-end 
alert delivery latency for all WEA Alert Messages? What are the 
advantages and disadvantages of shorter WEA transmission periods? Can 
they be changed dynamically? We seek comment on the extent to which 
giving earthquake alerts priority at the Alert Gateway, in transit, and 
through other means could enable earthquake-related Alert Messages to 
be delivered to the public in fewer than three seconds. Even if 
prioritization of earthquake alerts at the Alert Gateway, by itself, 
would not be sufficient, should we require such prioritization as an 
intermediate step towards this goal? We also seek comment on whether 
any other types of events merit higher priority treatment because of 
their extreme time sensitivity (e.g., hurricane, tornadoes, 
bioterrorism, epidemic crises).
    47. We seek comment on any technical issues that prioritizing 
earthquake alerts in transit might present for Participating CMS 
Providers, and on when this standard could feasibly be achieved. In the 
alternative, we seek comment on whether a different Alert Message 
latency requirement would strike a more appropriate balance between the 
costs of prioritization and the benefits of earthquake early warning. 
With respect to AT&T's perspective that changing the way that Alert 
Messages are prioritized would require a ``re-design of the entire 
system,'' we seek comment on what, if any aspects of the WEA system 
would need to be redesigned in order to allow earthquake alerts to be 
delivered to the public in fewer than three seconds. Why, if at all, 
would changing the way that the Participating CMS Provider Alert 
Gateway prioritizes WEA Alert Messages affect any aspect of the WEA 
system other than the Participating CMS Provider Alert Gateway itself? 
From a technical standpoint, how is it currently possible to prioritize 
Presidential Alerts but not other types of Alert Messages? We 
anticipate that changing the manner in which this Gateway handles 
earthquake alerts would necessitate revisions to Gateway software, and 
relevant standards. We seek comment on this analysis. Can the 
Participating CMS Provider Alert Gateway's standards and software be 
updated to allow it to distinguish earthquake alerts from other 
Imminent Threat Alerts, for example, by reference to the its CAP 
``event code'' parameter? If not, what steps should we take to allow 
for earthquake-related alerts to be treated differently from other 
Imminent Threat Alerts? We anticipate that reducing the end-to-end 
latency for earthquake alerts will facilitate the use of WEA during 
such incidents, providing a unique mechanism in the United States for 
warning the public about earthquakes before the damaging tremors occur. 
We observe that Japan's Earthquake and Tsunami Warning System (ETWS) is 
currently the only earthquake early warning service in the world that 
integrates mass earthquake-related communications with cellular 
networks. We anticipate that making WEA an effective platform for early 
earthquake warnings could, in combination with other earthquake 
mitigation efforts, help to mitigate the $4.4 billion dollars in 
earthquake-related losses FEMA estimates that the United States suffers 
annually, by saving lives and preventing and mitigating injuries, 
thereby reducing income loss and by helping to mitigate damage to 
infrastructure by alerting members of the public who are in a position 
to take preparatory actions to prevent damage in the event of an 
earthquake. We seek comment on this analysis, including to on the 
extent to which such prioritization would mitigate earthquake-related 
losses and on the costs of any related upgrades to WEA to permit such 
prioritization.
5. Disaster Relief Messaging
    48. Commenters address several potential uses for WEA as a 
secondary messaging service, i.e., a tool for communicating to the 
public emergency instructions intended to supplement information 
provided in the initial (primary) message. For example, NYCEM, 
Ashtabula County EMA and the California Governor's OES observe that our 
new Alert Message classification, Public Safety Messages, creates a 
framework for secondary messaging that can assist with disaster 
recovery efforts. In the Alerting Paradigm NPRM as well as in the WEA 
NPRM, we sought comment on the extent to which emergency managers 
leverage targeted community feedback during and after emergency 
situations to disseminate and gather information. We observed that the 
Peta Jakarta initiative in Indonesia may provide an example of how a 
government alert initiator can leverage crowdsourced data to increase 
the overall effectiveness of alerts. While many emergency management 
agencies expressed concern about the potential for an additional data 
stream for crowdsourced information to overwhelm already understaffed 
Public Safety Answering Points (PSAPs), ``NYCEM strongly believes that 
the future of crowdsourcing is through leveraging individual consumer 
cellular phones by upgrading the Wireless Emergency Alert System to 
support bidirectional, ``many-to-one'' communication.'' CSRIC V finds 
that the ability to gather information from the community (many-to-one 
communication) can make alerting (one-to-many communication) more 
effective if ``appropriately integrated into operations in a way that 
is responsive to the context of operation.'' CSRIC V identifies three 
use cases where many-to-one communications could be a particularly 
beneficial supplement to one-to-many communications, gathering targeted 
community feedback, assessing evacuation compliance, and during active 
shooter scenarios. CSRIC V recommends that ``FEMA should investigate 
modifying IPAWS to support `[m]any to one' communication and data 
collection,'' that ``ATIS should study the feasibility of mechanisms 
for the delivery of ``many to one'' data to FEMA IPAWS,'' and that the 
Commission should convene a panel of relevant experts to promote data 
science literacy among emergency managers and

[[Page 78548]]

establish best practices for using data gathered from ``social media'' 
monitoring. NAB and NPR also encourage the Commission to recognize the 
consumer benefits of Alert Messages that direct the public to turn on 
their radios for additional information during disaster recovery 
efforts.
    49. In light of the foregoing, we seek comment on the potential for 
WEA to serve as a secondary messaging tool for emergency managers, 
specifically during disaster relief efforts. Specifically, we seek 
comment on how to enhance WEA's support for many-back-to-one 
communication to facilitate emergency managers' response planning 
efforts, and on whether WEA can be made a more useful tool during and 
after emergencies by facilitating its ability to interface other 
authoritative sources of information. Are there existing needs or gaps 
in the public communications tools currently available to emergency 
managers for use during disaster relief efforts that WEA can fill? 
What, if any, critical capacities does WEA lack that could inhibit its 
utility for post-disaster communications?
    50. We seek comment on improvements to WEA that we should consider 
in order to ensure that it is optimized for this use, including by 
enabling WEA to be used as a tool for queueing the collection of 
targeted community feedback during disaster recovery efforts, to 
measure evacuation effectiveness, and during active shooter scenarios, 
as recommended by CSRIC V. We seek comment on whether using WEA in this 
manner could assist emergency management agencies' resource-need 
pairing during emergencies, and on any additional use cases where 
``many-to-one'' feedback could improve emergency response. We seek 
comment from technology vendors who have developed innovative solutions 
to aggregating and analyzing public response on the potential for 
implementation of those technologies in the emergency management 
context. We seek comment on whether best practices based in data 
science literacy are available to facilitate emergency managers' 
skillful use of targeted community feedback, and if not, on whether we 
should direct the Public Safety and Homeland Security Bureau to convene 
a panel of experts to produce recommendations for this purpose, as 
recommended by CSRIC V. We also seek comment on the extent to which WEA 
can be used to funnel milling behavior towards other authoritative 
sources of information, such as radio or television, that may be better 
fit to provide critical information to the public in certain 
circumstances. Would such an approach make WEA more useful to emergency 
managers in disaster relief situations?

B. Incorporating Future Technical Advancements To Improve WEA

1. Multimedia Alerting
    51. As noted above, we are committed to allowing the public to 
realize the benefits of multimedia content in WEA, and we propose that 
an appropriate path to achieve this goal would be to require support 
for certain multimedia content, including thumbnail-sized images and 
hazard symbols, in Public Safety Messages on 4G LTE and future 
networks. We recognize that Participating CMS Providers have concerns 
about message delivery latency and network congestion that may result 
from including multimedia in WEA Alert Messages. Further, we 
acknowledge the record indicates that further standards development is 
necessary to support multimedia capabilities in WEA. As we discuss in 
further detail below, we believe these issues can be addressed given an 
appropriate regulatory framework and timeframe for compliance. 
Accordingly, we seek to develop the record on data constraints and 
technical parameters that should be associated with developing and 
implementing this functionality, and on a reasonable timeframe within 
which to require Participating CMS Providers to support it. Pursuant to 
the approach we propose to adopt, emergency management agencies could 
use Public Safety Messages to transmit thumbnail-sized images of 
evacuation routes in connection with Imminent Threat Alerts, an image 
of the face of a missing child after an AMBER Alert, or specific 
instructions for protective action to the access and functional needs 
community through the use of hazard symbols. We invite commenters to 
offer additional use cases where this functionality could help meet the 
public's need for actionable, multimedia-enabled content during 
emergencies.
    52. With respect to the potential for alert delivery latency, we 
observe that, according to the ATIS Feasibility Study for LTE WEA 
Message Length, WEA Alert Message segments can be transmitted every 80 
milliseconds to 5.12 seconds. We reason, therefore, that a thumbnail-
sized image could be transmitted over WEA cell broadcast in between 
0.88 seconds and 56.32 seconds. We would not want the transmission of 
multimedia content to delay receipt of the most time-sensitive Alert 
Message text. At the same time, however, we also believe that there are 
circumstances where the public would benefit from the receipt of 
multimedia content over WEA cell broadcast, even if they have to wait a 
minute to receive it. We therefore propose to require support for 
multimedia content only in Public Safety Messages, which may contain 
information that is not as time-sensitive as other types of Alert 
Messages. As Alert Messages in the Public Safety Message classification 
are designed for issuance for in connection with Alert Messages of 
other types, we believe they would provide an appropriate vehicle for 
multimedia-enabled content even when they cannot be delivered until 
minutes after the initial Imminent Threat or AMBER Alert delivers the 
primary, text-based Alert Message. We seek comment on this analysis.
    53. We seek comment on any appropriate technical constraints that 
should apply to the multimedia content that Participating CMS Providers 
would be required to support. We anticipate that constraints on the 
permissible size of multimedia data files would also help Participating 
CMS Providers to manage network loading. The ATIS Feasibility Study for 
WEA Supplemental Text shows that transmitting a thumbnail-sized photo 
over WEA cell broadcast would require the transmission of at least 
eleven WEA binary messages. The ATIS Feasibility Study for WEA 
Supplemental Text considers a ``thumbnail-sized photo'' to be 
approximately 1.5 x 1.5 inches, to have a resolution of 72 dots per 
inch (DPI), and to be presented as using 120 x 120 pixels. ATIS reasons 
that a thumbnail-sized image would be 14,400 bytes in size if an 8-bit 
color scale is used, and would require the broadcast of 3600 octets, 
assuming 25 percent compression. We seek comment on whether that 14,400 
bytes would be an appropriate maximum size for any multimedia content 
that a Participating CMS Provider could be required to transmit, as 
well as on any additional technical specifications or parameters that 
could facilitate multimedia transmission. We seek comment on any other 
implications or considerations we should take into account.
    54. With respect to the integration of support for hazard symbols 
into WEA's core functionality, CSRIC IV and CSRIC V recommend further 
study. The ATIS Feasibility Study for WEA Supplemental Text recommends 
that a study of the ``User Experience Design'' covering the ``human-
computer interaction'' between mobile users and hazard symbols should 
be undertaken by the WEA stakeholders followed by global 
standardization. According to ATIS,

[[Page 78549]]

standards would be needed to identify the specific hazard symbols 
appropriate for this use, and to describe hazard warning icon delivery 
to the mobile device, either via mobile device software or cell 
broadcast. We seek comment on this analysis. Would it be feasible to 
integrate support for hazard symbols into WEA using the GSM-7 character 
set or a Unicode character set? If so, would this approach offer a less 
burdensome alternative to supporting hazard symbols in all Alert 
Messages?
    55. With respect to concerns in the record regarding the 
possibility for increased network load, we propose to allow 
Participating CMS Providers to use network congestion mitigation 
strategies to feasibly and timely deliver multimedia-enabled Public 
Safety Messages. For example, we seek comment on whether staggering 
transmission of multimedia message segments could facilitate delivery 
of this content to subscribers, while mitigating potential network 
congestion concerns. Would it make sense to constrain any requirement 
to support multimedia to devices operating on 4G LTE and future 
networks? We seek comment on best practices that emergency management 
agencies could implement with respect to multimedia messaging if the 
transmission of such content implicated greater delay than text-only 
Alert Messages, and if Alert Messages that contained multimedia content 
could not be received by members of their communities on legacy 
networks or that are using legacy devices that no longer accept 
software updates. Recognizing the limitations of cell broadcast 
technology, to what extent would a requirement to support thumbnail-
sized images and hazard symbols spur Participating CMS Providers to 
integrate new technologies into their WEA systems that could improve 
their ability to support the low-latency transmission of high-quality 
multimedia content? For example, commenters agree that Multimedia 
Broadcast Multicast Service (eMBMS) would permit the broadcast of 
``large amounts of data, including multimedia content.'' We seek 
comment on the technical steps that would be required to integrate 
technology that supports the transmission of multimedia content into 
WEA.
    56. Allowing multimedia content in WEA Alert Messages would have 
tremendous public safety benefits. NYCEM, FEMA and TDI, for example, 
believe that allowing multimedia content in WEA Alert Messages would 
significantly contribute to Alert Message comprehension, particularly 
for individuals with disabilities, and FEMA adds that the use of 
graphical symbols could improve Alert Message interpretation by 
individuals with limited English proficiency. NCMEC states that 
multimedia content would ``greatly enhance the immediate usefulness of 
AMBER Alerts.'' San Joaquin County OES adds that multimedia content in 
WEA Alert Messages would hasten protective action taking and reduce 
milling. We seek comment on these analyses, as well as on any 
additional public safety benefits that multimedia messaging may enable. 
Even though Chester County EMA and The Weather Company suggest the 
inclusion of multimedia would be unnecessary in light of the 
availability of embedded references and ``third party apps and 
television that users normally use,'' we find that unique benefits 
could result from including multimedia content in Alert Messages, 
especially as Participating CMS Providers' ability to support this 
functionality evolves along with advancements in technology. For 
example, WEA Public Safety Messages could be used to push an 
authoritative interactive map to every community member with a WEA-
capable mobile device that shows the recipient's location relative to 
evacuation routes, shelter locations or resource distribution points. 
For communities struggling to recover from natural disasters, for 
example, this functionality would hold tremendous public safety value 
above and apart from multimedia-enabled emergency information available 
through other sources that in any case may not be as readily available 
as a consumer's mobile device. We also seek comment on whether those 
benefits would be particularly acute when implemented in an 
authoritative alerting services such as WEA that the public receives by 
default.
2. Multilingual Alerting
    57. We observe that, according to commenters, expanding the 
language capabilities of WEA has potential to yield particular benefits 
for those with limited English proficiency. The record suggests, 
however, that the technical issues that prevented Participating CMS 
Providers from supporting multilingual Alert Messages when WEA was 
first deployed continue to limit their ability to support Alert 
Messages in languages other than English and Spanish. While FEMA states 
that IPAWS and CAP have the capacity to support Alert Messages in 
languages other than English and Spanish, additional languages are not 
currently supported in Participating CMS Provider networks. According 
to Participating CMS Providers, significant standards-setting work and 
potentially support for new character sets would be required in order 
to enable them to support WEA Alert Messages in languages other than 
English and Spanish. Further, AT&T and Verizon observe that each 
additional WEA Alert Message language option will require Participating 
CMS Providers to transmit an additional Alert Message, which could 
threaten network capacity and risk alert delivery delays. In light of 
these ongoing issues and additional data, we agree with T-Mobile that 
``[t]he Commission should promote further study of the technical impact 
of multilingual WEA messages so that such messages can be incorporated 
into the WEA system in the future without creating unintended, adverse 
impacts.''
    58. Only 79 percent of individuals living in the United States that 
are 5-years old or older speak only English at home. According to the 
ACS Language Report, the top ten most spoken languages in the U.S. 
among individuals 5-years old or older are English, Spanish or Spanish 
Creole, Chinese, French or French Creole, Tagalog, Vietnamese, Korean, 
Arabic, Russian, and African languages. English-speaking ability varies 
greatly, even among speakers of the top ten languages in the United 
States. According to recent census data, ``less than 50 percent of 
those who spoke Korean, Chinese, or Vietnamese spoke English `very 
well.' '' According to the ACS Language Report, ``[p]eople who cannot 
speak English `very well' can be helped with translation services, 
education, or assistance in accessing government services.''
    59. We seek comment on the potential benefits of requiring 
Participating CMS Providers to support Alert Messages in languages 
other than English and Spanish. To what extent would emergency 
management agencies initiate Alert Messages in languages in addition to 
English and Spanish were Participating CMS Providers required to 
support them? To what extent would CMS Provider support for additional 
languages incent emergency management agencies to further develop their 
capabilities in initiating Alert Messages in those languages where 
relevant to their respective communities? What, if any, additional 
steps can we take to support emergency management agencies' efforts to 
develop multilingual alerting capabilities? We expect that emergency 
management agencies already integrate individuals who don't speak 
English very well into their communities' emergency response plans, and 
we seek comment on whether increasing emergency management agencies' 
multilingual alerting capability could help to further

[[Page 78550]]

improve disaster preparedness for these communities. How do emergency 
management agencies currently expect individuals with limited English 
proficiency to receive and respond to emergency information? Are the 
emergency management mechanisms currently in place sufficient to 
safeguard those individuals during crises?
    60. If we were to adopt rules to deepen WEA's language 
capabilities, we seek comment on whether we should prioritize support 
for those languages predominantly spoken in communities where, 
according to Census data, 50 percent or fewer speak English ``very 
well'' (e.g., Vietnamese, Chinese, Korean). Is the area of greatest 
need with respect to WEA's language capabilities ensuring that people 
who struggle with English comprehension can understand emergency 
communications? In the alternative, should we prioritize support for 
the largest language communities in the United States, notwithstanding 
the tendency of individuals in those language groups to speak English 
``very well''? We observe, for example, that, according to recent 
Census data, English and Spanish are by far the most popular languages 
in the United States, with Chinese and French a distant third and 
fourth.
    61. We seek comment on whether supporting Alert Messages written in 
ideographic languages, such as Vietnamese, Chinese and Korean, would 
pose unique challenges for WEA stakeholders, including Participating 
CMS Providers and emergency mangers. We note that WEA messages use GSM 
7-bit encoding, and that the 3GPP standard for cell broadcast allows 
switching to the basic Unicode (UCS-2) character set, which includes 
all living languages, in order to provide support for modern, 
ideographic languages such as Kanji. Do Participating CMS Providers' 
WEA infrastructure and WEA-capable mobile devices support this 
functionality? If not, what steps would be necessary to incorporate 
Unicode into WEA? We also seek comment on whether emergency management 
agencies would face particular difficulties in initiating Alert 
Messages in ideographic languages. Does alert origination software 
currently support initiating Alert Messages in ideographic languages? 
If not, what steps would be required in order to upgrade this software? 
Are there additional standards, protocols and system updates that would 
be required to enable alerting in Vietnamese, Chinese and Korean in 
particular? Further, we seek comment on whether WEA Alert Messages can 
be made available in American Sign Language (ASL) for subscribers that 
are deaf or hard of hearing. How would the provision of WEA Alert 
Messages in ASL allow for better accessibility to those who are ASL-
fluent?
    62. In addition to any potential changes to the WEA character set 
that may be required, we seek comment on any necessary preconditions to 
supporting additional languages in WEA in general, and to supporting 
Korean, Vietnamese or Chinese Alert Messages in particular. We also 
seek comment on whether support for additional languages would be 
burdensome for non-nationwide (e.g., regional, small, and rural) 
Participating CMS Providers, and if so, whether there are steps that we 
can take to accommodate these entities to make compliance more 
feasible. Would it be more appropriate for non-nationwide Participating 
CMS Providers to be required to support only the those particular 
languages, other than English and Spanish, that are predominant in the 
particular areas in which they provide service? We seek comment on any 
alternative approaches that would help achieve our objective of 
promoting accessibility of WEA Alert Messages.
3. Matching the Geographic Target Area
    63. While our geo-targeting requirement, as amended above, will 
improve WEA geo-targeting by facilitating the delivery of Alert 
Messages to a more granular polygon level, the limitations of cell 
broadcast-based geo-targeting may result in continued over-alerting. 
According to CSRIC IV, the ``ideal case'' from an alert originator 
perspective would be where ``all WEA-enabled mobile devices in the 
geographic area affected by an emergency event would receive the WEA 
Alert Message broadcast, and no mobile devices outside the defined 
alert area would receive those particular WEA Alert Message 
broadcasts.'' ``However,'' CSRIC IV reports, ``this ideal case cannot 
be realized using currently deployed cell broadcast alone.'' CSRIC V 
recommends that the Commission collaborate with WEA stakeholders to 
develop standards and implement systems that support enhanced, device-
based geo-targeting. CSRIC V recommends that the Commission set a goal 
that Participating CMS Providers geo-target Alert Messages in a manner 
that includes ``100% of the targeted devices within the specified alert 
area with not more than .10 mile overshoot,'' and states that WEA 
stakeholders, including Participating CMS Providers, ``have committed 
to working to close the gap between current capabilities and 
aspirational goals.''
    64. As we emphasize above, more granular geo-targeting remains a 
critical need for both consumers and emergency managers. Accordingly, 
we propose to require Participating CMS Providers to match the target 
area specified by alert originators. We anticipate that this may 
require Participating CMS Providers to leveraging the location sense of 
WEA-capable mobile devices on their networks. In the following 
paragraphs, we seek comment on how we should define ``matching'' the 
target area for purposes of any such requirement, as well as on steps 
that alert initiators and Participating CMS Providers can take to 
minimize alert delivery latency and maximize the amount of data 
available for other Alert Message content. We also seek comment on the 
readiness of innovations that could allow alert initiators to geo-
target more flexibly, and to smaller areas.
    65. As an initial matter, should a Participating CMS Provider be 
considered to have ``matched'' the targeted area for the purpose of 
this requirement if, as recommended by CSRIC V, 100 percent of devices 
within the targeted area receive the Alert Message with not more than 
0.1 mile overshoot? In the alternative, if providers are leveraging the 
same technology in the WEA context that is being used to provide indoor 
location, would it make sense to harmonize our geo-targeting accuracy 
requirement for WEA with our wireless E911 indoor location accuracy 
requirements? If not, why not? Further, would an alternative accuracy 
requirement be appropriate for non-nationwide Participating CMS 
Providers? We seek comment on any alternative approaches to defining 
``matching'' for the purposes of assessing compliance with our proposed 
requirement. In circumstances where Participating CMS Providers are 
unable to match the target area, we propose that they should be 
required to provide their best approximation of the target area, as we 
require in the Order. We seek comment on this approach.
    66. The record indicates that it will be technically feasible for 
Participating CMS Providers to comply with our requirement that they 
geo-target Alert Messages to an area that matches the target area, 
given appropriate time for the development of relevant standards and 
network modifications. We expect that Participating CMS Providers will 
be able to geo-fence their transmission of Alert Messages by 
transmitting target area coordinates to 100 percent of mobile devices 
in the target area, erring on the side of over-inclusion where

[[Page 78551]]

necessary. WEA-capable mobile devices would receive the Alert Message, 
including the target area coordinates, and determine whether they are 
currently located within the area those coordinates describe. If and 
only if the mobile device is within the target area, it would display 
the Alert Message to the subscriber. Commenters indicate that the 
suppression of the Alert Messages on mobile devices that are outside of 
the target area (geo-fencing) would allow Participating CMS Providers 
to match the target area specified by alert originators. We seek 
comment on this analysis, including any alternative approaches that 
Participating CMS Providers could use to match the target area or to 
implement a device-based approach to geo-targeting. The record 
indicates that technical issues, such as potential increases in message 
delivery latency, and reductions in the amount of data available for 
Alert Message text, can be resolved. We seek comment on how 
Participating CMS Providers will address these issues in conversation 
with other relevant WEA stakeholders. We seek comment on feasible 
methods Participating CMS Providers could use to mitigate sources of 
alert delivery latency that may be implicated by geo-targeting Alert 
Messages to an area that matches the target area specified by the alert 
originator. Participating CMS Providers and ATIS agree that meeting 
such an accurate geo-targeting standard could cause message delivery 
delay due to the device needing to determine its location before 
displaying the message, and due to network constraints. ATIS states 
that ``the only currently readily available technology [for device-
based geo-fencing] is GPS/GNSS'' and that, without network assistance, 
the ``time to acquire a GPS position can be over 13 minutes from a cold 
start . . . and up to 30 seconds for a warm start.'' To what extent 
could Assisted GPS reduce these times and to what extent would the CMS 
network be burdened by providing this assistance? Further, we seek 
comment on how long the mobile device should wait while attempting to 
determine its current location (e.g., acceptable Time-To-First-Fix 
(TTFF))? We note that, in the 911 context, we have established a 
maximum TTFF latency standard of 30 seconds for outdoor calls. Would 
that same standard be appropriate for geo-targeting to an area that 
matches the target area in light of our concerns about alert delivery 
latency? Finally, what should be the action of the mobile device if the 
mobile device location cannot be determined or cannot be determined 
within the time limit, for example, if a mobile device is turned off, 
or if its location services are turned off? Should the default setting 
be to display the Alert Message?
    67. We seek comment on the extent to which polygon compression 
techniques and alert originator best practices could maximize the 
amount of data that remains for Alert Message content if Alert Message 
coordinates are transmitted along with content to WEA-capable mobile 
devices. ATIS concludes that each coordinate pair would require data 
equivalent to that needed to display thirteen characters using current 
methods. However, researchers have examined methods of compressing 
coordinate data to consume between 9.7 percent and 23.6 percent of this 
data. We seek comment on feasible methods of leveraging polygon 
compression techniques in WEA. Should such techniques be used to set a 
maximum on the amount of data that can be consumed by polygon 
coordinates? Further, we seek comment on appropriate best practices for 
the number of decimal places to which a coordinate should be specified 
in order to conserve Alert Message space for text. CSRIC V recommends 
that alert originators determine the granularity of alert areas using 
vertices with two to five decimal places, depending on the nature of 
the hazard. CSRIC V finds that this would allow alert originators to 
target Alert Messages to with precision from 1.1 km to 1.1 meters. We 
seek comment on this recommendation and analysis. We note that, under 
current standards, a valid polygon consists of one-hundred coordinate 
pairs or fewer. Would rules or best practices be appropriate to 
determine the maximum number of coordinate pairs that should be 
included in an Alert Message? We seek comment on any additional 
technical challenges that Participating CMS Providers may face in 
complying with a more accurate geo-targeting standard, and on feasible 
methods of overcoming them.
    68. While we believe that a device-based approach is most likely to 
enable Participating CMS Providers to match the target area, we seek 
comment on whether continued focus on network-based approaches could 
enable Participating CMS Providers to meet this accuracy requirement. 
For example, could geo-targeting be improved by leveraging the 
relatively smaller coverage areas of network-based technologies, such 
as small cell technology, distributed antenna systems (DAS), Wi-Fi 
access points, beacons, commercial location-based services (cLBS), 
institutional and enterprise location systems, or smart building 
technology? We observe that these network-based technologies are widely 
deployed across the United States, and particularly in urban areas. Are 
CMS Provider networks configured to be able to send a WEA Alert Message 
over the control channel to these network-based technologies? What 
steps would be necessary to enable these technologies to assist in geo-
targeting? Since the radio frequency propagation areas of these 
technologies are significantly smaller than the propagation areas for 
large cell sites, do they hold potential to improve geo-targeting? If 
not, why not? We also seek comment on the reliability of network-based 
technologies relative to the larger transmission facilities 
Participating CMS Providers traditionally use for WEA cell broadcast. 
Would relying on these technologies as a path forward to further 
improving geo-targeting leave the system vulnerable to becoming far 
less accurate when its accuracy is needed most, including during 
Imminent Threat Alerts?
    69. Finally, we seek comment on whether additional, incremental 
improvements to geo-targeting could be achieved through standards 
updates that could allow Participating CMS Providers to support 
``nesting polygons.'' Nesting polygons describe overlapping geographic 
areas where one polygon is situated, or ``nests,'' at least in part, 
within the boundaries of another, larger polygon. We seek comment on 
the extent to which existing network technologies can be leveraged to 
support nesting polygons, provided that relevant standards are updated 
to support them. We anticipate that a scenario where nesting polygons 
could be useful would be where one WEA Alert Message is appropriate for 
broadcast in the area where an incident, such as a chemical spill, has 
occurred (e.g., an instruction to shelter in place), and another WEA 
Alert Message is appropriate for broadcast in the surrounding area 
(e.g., an instruction to evacuate). We seek comment on this example, 
and invite commenters to specify additional use cases where it would be 
useful to be able to specify nesting polygons as a target area. 
According to ATIS, current standards support geo-targeting Alert 
Messages to multiple polygons, but existing standards would interpret 
multiple, overlapping polygons as the union of those polygons. Nesting 
polygons, on the other hand, would require CMS networks to sometimes 
interpret overlapping polygons as providing an instruction to 
``subtract'' the internal polygon from the external polygon. According 
to ATIS, this functionality

[[Page 78552]]

would require an update to J-STD 101 as well as to the CAP standard. 
Would additional updates to alert origination software be required to 
support sending different messages to nested polygons?
    70. We reason that achieving a geo-targeting standard whereby 
Participating CMS Providers can match the target area specified by an 
alert originator, either through device- or network-based techniques, 
would have tremendous benefits for public safety, and would eliminate 
the current dangers of poor geo-targeting that deter many emergency 
managers from becoming authorized as WEA alert originators. As 
discussed above, alert originators continue to demand more accurate 
geo-targeting from WEA before they will rely on it for emergency 
messaging in situations where it could be dangerous for individuals in 
areas adjacent to the target area to receive instructions intended only 
for individuals within the target area. Further, each incremental 
improvement that Participating CMS Providers can make to geo-targeting 
incrementally reduces alert fatigue, and increases the public's trust 
in WEA as an alerting platform, thereby reducing milling and, 
potentially, network congestion. We seek comment on this reasoning. 
Finally, we note that the ATIS Feasibility Study for Supplemental Text 
observed that delivering target area coordinates to the mobile device 
consistent with a device-based approach to geo-targeting would be the 
first step towards enabling WEA Alert Messages to support high-
information maps, an improvement that emergency managers universally 
endorse. We seek comment on this observation. We also seek comment on 
alternative approaches we can take to improving WEA geo-targeting that 
would meet emergency managers' objectives while presenting lesser cost 
burdens to Participating CMS Providers.
4. WEA on 5G Networks
    71. As we noted in our Spectrum Frontiers proceeding in July 2016, 
5G networks ``will enable valuable new services, and accelerating the 
deployment of those services is a national priority.'' As 5G networks 
and devices are developed, we expect WEA capabilities to evolve as 
well, consistent with Congress' vision in enacting the WARN Act. Given 
the importance of our Nation's public alert and warning systems to 
promoting emergency response readiness, we must ensure that WEA Alert 
Messages continue to provide the public with vital and necessary 
information to take appropriate action to protect their families and 
property.
    72. While we understand that specific WEA capabilities for 5G 
networks and devices are not yet developed, we believe it is 
appropriate to seek comment on those capabilities now in light of the 
importance of designing these networks and devices with WEA 
capabilities in the early stages of development and throughout their 
development process. We disagree with CTIA that ``it is premature at 
this time to address specific WEA capabilities that 5G might enable.'' 
Participating CMS Providers are already examining how best to integrate 
5G technologies into their networks and industry stakeholders are 
currently working to shape the strategic development of the 5G 
ecosystem. We observe that Verizon is expected to begin 5G field trials 
in the next few months, and most experts predict that 5G will be widely 
available as soon as 2020. Further, the record suggests that 
technological upgrades can be costly and time-consuming, and we reason 
that including WEA alerts and warnings in 5G from the beginning can 
reduce total costs for Participating CMS Providers and hasten the 
deployment of improvements to WEA that could benefit the public. We 
therefore seek to initiate a dialogue that will foster a better 
understanding of how Participating CMS Providers intend to incorporate 
WEA capabilities into their 5G offerings, as well as to identify areas 
where we can help provide regulatory clarity, where needed, that can 
drive design and investment. For example, AT&T opines that ``[w]ith the 
standards for 5G now under development, it is important to have 
agreement that 360 characters is the maximum length for 4G and future 
services.''
    73. In light of the foregoing, we seek comment on how to best 
incorporate alerts and warnings into the development of 5G 
technologies, and on how 5G technologies may enable further 
enhancements to WEA. What additional measures could the Commission take 
to facilitate the incorporation of WEA capabilities into 5G as these 
networks and devices are being designed? We seek comment on what, if 
any, steps the Commission should take to continue to ensure that WEA 
evolves along with advancements in technology in the 5G environment. 
What standards need to be developed or what other mechanisms need to be 
in place to ensure that WEA will be incorporated, and what actions are 
providers undertaking already? Elsewhere in this FNPRM, we seek comment 
on how improvements in technology can help improve WEA, in terms of 
microtargeting delivery of Alert Messages to a precise geographic 
location, incorporating multimedia capabilities to improve message 
content, and facilitating swifter delivery of critical early earthquake 
alerts where every second counts. Is it anticipated that there will be 
additional space for WEA in 5G system information blocks than is 
currently allocated on the 4G control channel? To what extent will 5G 
introduce new capabilities that will permit additional life-saving 
enhancements to WEA? Are there any existing rules governing WEA that 
would be inapplicable to 5G or that would otherwise require adaptation 
to address 5G capabilities? We seek comment on how to enable further 
enhancements to WEA in 5G technologies, and on the obligations that CMS 
Providers that elect to provide WEA on 5G networks should incur, 
including related costs and benefits.

C. Developing Consumer Education Tools

1. Promoting Informed Consumer Choice at the Point of Sale
    74. In the WEA Third Report and Order, the Commission adopted 
certain disclosure requirements in order to ensure that CMS Providers 
``convey sufficient information'' to the public about the nature of 
their participation in WEA. CMS Providers electing in whole to transmit 
WEA Alert Messages are not required to provide notification of their 
participation at the point of sale. CMS Providers participating in 
part, on the other hand, are required to provide clear and conspicuous 
notice to new subscribers of their partial election at the point of 
sale. Specifically, CMS Providers participating in part must, at a 
minimum, state the following:

    [[CMS provider]] has chosen to offer wireless emergency alerts 
within portions of its service area, as defined by the terms and 
conditions of its service agreement, on wireless emergency alert 
capable devices. There is no additional charge for these wireless 
emergency alerts.
    Wireless emergency alerts may not be available on all devices or 
in the entire service area, or if a subscriber is outside of the 
[[CMS provider]] service area. For details on the availability of 
this service and wireless emergency alert capable devices, please 
ask a sales representative, or go to [[CMS provider's URL]].

    75. Similarly, CMS Providers electing not to transmit WEA Alert 
Messages are required to offer, at a minimum, the following point-of-
sale notification, ``[[CMS provider]] presently does not transmit 
wireless emergency alerts.'' We noted that our decision allowed, but 
did not require the disclosure of additional information regarding the 
technical

[[Page 78553]]

limitations of the WEA service offered by a Participating CMS Provider.
    76. We propose to require CMS Providers to disclose sufficient 
information at the point of sale to allow customers to make an informed 
decision about whether they would consistently receive WEA Alert 
Messages if they were to become a subscriber. To what extent do CMS 
Providers voluntarily provide additional information at the point of 
sale regarding the nature of their WEA participation beyond any 
disclosure required by our rules? Is our existing requirement, which 
requires CMS Providers participating in part to inform consumers at the 
point of sale that WEA ``may not be available on all devices or in the 
entire service area,'' sufficient to inform potential subscribers of 
whether they will receive a potentially life-saving alert through the 
Participating CMS Provider's network? If this point-of-sale 
notification is insufficient to support educated consumer choice among 
providers, what additional information would help to inform this choice 
and allow market forces to more aptly influence further improvements to 
WEA?
    77. If we base our proposed definitions of modes of participation 
in WEA on the devices a Participating CMS Provider makes WEA capable, 
the extent to which WEA is offered in their geographic service area, 
and the technologies they commit to use in support of their WEA 
service, would it be reasonable to require corresponding adjustments to 
consumer disclosures? We propose that, as a baseline, CMS Providers 
should provide information regarding the extent to which they offer WEA 
(in what geographic areas, and on what devices) at the point of sale. 
Would this information be sufficient to promote informed consumer 
choice? Should we also require CMS Providers to disclose at the point 
of sale the specific network technologies that they commit to use in 
offering WEA? We seek comment on the extent to which knowledge of the 
specific technologies that competing CMS Providers will use to support 
WEA would promote more informed consumer choice between CMS Providers. 
Should this disclosure also include the extent to which the 
Participating CMS providers' networks are able to offer full 360-
character Alert Messages? Would it be sufficient for Participating CMS 
Providers to provide potential subscribers with a link to a Web site 
describing their WEA capability at the point of sale, and would this 
approach help Participating CMS Providers to control costs associated 
with this proposal? With respect to CMS Providers who elect not to 
participate in WEA, should they be required to make any additional 
disclosures at the point of sale to ensure that consumers are aware 
that they will not be able to receive any potentially life-saving 
alerts through service with this carrier? We seek comment on the 
potential benefits and costs that might be associated with additional 
point-of-sale disclosures.
2. Promoting Informed Consumer Choice About the Receipt of WEA Alert 
Messages
    78. Section 602(b)(2) of the WARN Act provides that ``any 
commercial mobile service licensee electing to transmit emergency 
alerts may offer subscribers the capability of preventing the 
subscriber's device from receiving such alerts, or classes of such 
alerts, other than an alert issued by the President.'' Section 10.500 
of the Commission's rules requires Participating CMS Providers' WEA-
capable mobile devices to maintain consumers' opt-out preferences and 
display alerts to the consumer consistent with those selections. 
Pursuant to Section 10.280, a Participating CMS Provider may provide 
their subscribers with the option to opt out of Imminent Threat and 
AMBER Alerts, and must present the consumer ``with a clear indication 
of what each option means, and provide examples of the types of 
messages the customer may not receive as a result of opting out.'' The 
Commission adopted these requirements in the First Report and Order and 
the Third Report and Order, respectively, in order to allow 
Participating CMS Providers to accommodate variations in their 
infrastructures. In the WEA NPRM, we sought comment on the factors that 
lead consumers to opt out of receiving certain Alert Messages, 
including whether the manner in which Participating CMS Providers 
present their customers with opt-out choices impacts customer 
participation. We sought comment on whether Participating CMS Providers 
could offer customers a more nuanced opt-out menu in order to improve 
consumer choice.
    79. Apple states that ``enabling users to opt out of certain alerts 
at particular times or under specified conditions (such as when Do Not 
Disturb mode is turned on) would likely increase end-user 
participation.'' Microsoft agrees that consumers should have control 
over what types of alerts are received, and when. NWS observes that 
opt-out choices are currently presented in an inconsistent manner 
across devices and operating systems, and recommends standardizing the 
presentation of opt-out choices. On the other hand, ATIS expresses 
concern that ``adding complexity to the opt-out options may actually 
increase the number of subscribers choosing to opt-out of WEA,'' and 
Blackberry urges us to leave opt out functionality such as 
``scheduling'' and ``time of day'' features to device manufacturers' 
discretion. CSRIC V recommends that Commission collaborate with WEA 
stakeholders to create a set of ``minimum specifications for an 
enhanced, secured and trusted, standards-based, CMSP-controlled WEA 
mobile device based application . . . in order to ensure high level 
support.''
    80. We propose to require Participating CMS Providers to implement 
changes to the WEA application that would provide the public with more 
granular options regarding whether they receive WEA Alert Messages. In 
essence, Participating CMS Providers should provide consumers with 
tools that allow them to receive the alerts that they want to receive, 
in the manner they wish to receive them, and during the times they wish 
to receive them.
    81. First, we propose to amend Section 10.280(b) to require that 
Participating CMS Providers offer their subscribers more informed 
choices among the Alert Message classifications that they wish to 
receive. We seek comment on the approaches that Participating CMS 
Providers currently take to ``provide their subscribers will a clear 
indication of what each [Alert Message] option means,'' and on specific 
improvements that they could make to the WEA application to enable 
consumers to make more informed choices among the different types of 
WEA Alert Messages they will receive. As demonstrated in Appendix F, 
some Participating CMS Providers offer their subscribers the option to 
choose whether to receive ``Extreme'' and ``Severe'' Alert Messages, as 
well as AMBER Alerts. Are these options sufficiently clear to empower 
consumers to make informed choices among Alert Messages? Would it be 
more clear if the options that Participating CMS Providers offered 
their subscribers tracked our alert message classifications (i.e., 
``AMBER Alerts,'' ``Imminent Threat Alerts,'' and ``Public Safety 
Messages''), or would other names or phrases be more effective in 
promoting clear consumer choice about the types of Alert Messages they 
will receive? Would it be helpful to offer consumers a full explanation 
of the kinds of emergency situations about which they will receive 
information by virtue of

[[Page 78554]]

remaining opted in to receive Alert Messages of that category? For 
example, should consumers be informed that by remaining opted in to 
receive Imminent Threat Alerts they will receive information about 
imminent threats to their life and property, including significant or 
extraordinary threats that have either been observed in their area or 
likely to occur in the near future? Should consumers be informed that 
by remaining opted in to receive AMBER Alerts they will receive 
information that will empower them to assist law enforcement in 
locating abducted, lost, or otherwise missing children in their area 
that may be in imminent danger? We seek comment on best practices that 
have been developed with respect to the WEA interface that offer 
consumers a clear and easy-to-navigate menu of choices about whether 
and how to receive emergency alerts.
    82. We also propose to require that Participating CMS Providers 
enhance their subscribers' ability to personalize how they receive the 
Alert Messages of their choosing. In the Report and Order we allow 
Participating CMS Providers to offer their consumers the option to 
change the attention signal and vibration cadence for Public Safety 
Messages, and to receive Public Safety Messages only during certain 
hours. We also allow Participating CMS Providers to provide their 
customers with the option to specify how the vibration cadence and 
attention signal should be presented when a WEA Alert Message is 
received during an active voice or data session. We seek comment on 
whether we should require Participating CMS Providers to offer their 
subscribers a more granular suite of choices for Imminent Threat Alerts 
and AMBER Alerts as well, including but not limited to the options that 
we allow Participating CMS Providers to offer to their subscribers for 
Public Safety Messages, and including the ability to modify the 
attention signal and vibration cadence that is presented when an Alert 
Message is received when the phone is idle. For example, would it be 
feasible to require Participating CMS Providers to allow users to limit 
the hours within which they receive WEA AMBER Alerts (e.g., only 
between 8:00 a.m. and 8:00 p.m.)? Would it make more sense to offer 
consumers the option to modify or mute the attention signal and 
vibration cadence for Imminent Threat Alerts at night than to offer 
them the option to not receive Imminent Threat Alert during the night? 
In the alternative, we seek comment on whether we should require 
Participating CMS Providers to offer their subscribers the option to 
cache Alert Messages, rather than simply to opt in or out. Cached Alert 
Messages could be received without the associated attention signal and 
vibration cadence, and stored in a ``WEA Inbox.'' We seek comment on 
this approach. Taken together with our proposal that Alert Messages be 
appropriately preserved for user review, would providing users with the 
option to receive and cache Alert Messages provide many consumers with 
an appropriate balance between their perceived need to receive critical 
information during emergencies, and their desire to minimize the 
intrusiveness of the WEA attention signal and vibration cadence? We 
seek comment on the most common reasons why consumers opt out of 
receiving WEA AMBER Alerts and Imminent Threat Alerts, and on any 
additional steps that we can take to reduce these pain points through 
changes to the WEA opt-out menu.
    83. In the alternative, we seek comment on whether to require all 
Participating CMS Providers to adopt a standardized opt-out menu, as 
recommended by NWS, and in a manner consistent with CSRIC V's 
recommendation. In particular, we seek comment on the model opt-out 
menu produced by NWS that we attach as Appendix F. Would the subscriber 
choices modeled here be appropriate to standardize among Participating 
CMS Providers and device manufacturers? Would a standardized opt-out 
menu facilitate familiarity with emergency alerts across service 
providers, promote personalization and improve the consumer experience 
with WEA? We seek comment on how we could design a model WEA opt-out 
menu in a manner that would improve personalization without 
significantly increasing user-facing interface complexity? Would it be 
appropriate for the Commission to host a workshop for this purpose? We 
encourage commenters to submit visual representations of ideal WEA 
interfaces into the record to facilitate discussion and review of 
alternatives to this model opt-out interface. We anticipate that 
requirements for subscriber opt-out choices would implicate changes to 
the ATIS/TIA Mobile Device Behavior Specification and to WEA 
application software. We seek comment on this analysis. In our 
consideration of whether to require a standardized WEA opt-out menu, 
should we make any particular accommodations for non-nationwide 
Participating CMS Providers (e.g., small, regional, and rural 
providers)?

D. Improving WEA Transparency

1. Annual WEA Performance Reporting
    84. The Commission's Part 10 WEA rules do not establish a procedure 
for Participating CMS Providers to report the results of any required 
tests to alert originators or to government entities. As such, there is 
no available method for analyzing the success of C-interface, Required 
Monthly, or State/Local WEA Tests. In the WEA NPRM, we sought comment 
on whether we should formalize a test reporting procedure for WEA and, 
if so, on the format and specific information that we should require 
Participating CMS Providers to report.
    85. Hyper-Reach and the majority of public safety commenters 
support requiring Participating CMS Providers to report the extent of 
alert delivery latency, the accuracy of geo-targeting, and the 
availability and reliability of their WEA network because it would 
improve transparency and understanding of IPAWS/WEA among emergency 
managers, and because this transparency, in turn, could increase WEA 
adoption by non-participating emergency managers. CSRIC V states, for 
example, that ``confidence in WEA among [Alert Originators] is dampened 
by perceived unpredictability of WEA geo-targeting,'' and building 
confidence ``will require a means by which they can know that the 
polygon provided is what is actually delivered at the towers for 
distribution.'' Accordingly, CSRIC V recommends that ATIS and CTIA 
study methods of passively collecting and sharing data on the accuracy 
of geo-targeting with emergency management agencies. As demonstrated in 
Appendix G, NYCEM already independently generates performance reports 
on WEA geo-targeting, latency and reliability from actual Alert 
Messages issued in New York City. These tests demonstrate that some 
mobile devices in the target area do not receive WEA Alert Messages 
that are intended for them, and that some mobile devices do not receive 
Alert Messages intended for them until almost an hour after they are 
initially transmitted. APCO and Pinellas County EM urge the Commission 
to adopt reporting requirements specific enough to result in the 
production of uniform reports to emergency management agencies. While 
AT&T would support a requirement for Participating CMS Providers to 
report the results of RMTs, Sprint states that the kind of information 
we proposed to gather through test reporting (i.e., the extent of geo-
targeting and alert delivery latency) is not technically feasible to 
deliver.

[[Page 78555]]

Sprint and ATIS state that test reporting should be FEMA's 
responsibility.
    86. We propose to amend Section 10.350 to require Participating CMS 
Providers to submit annual reports to the Commission that demonstrate 
the following system performance metrics for their nationwide WEA 
deployment (Annual WEA Performance Reports).
     Geo-targeting. The accuracy with which the Participating 
CMS Provider can distribute WEA Alert Messages to a geographic area 
specified by an alert originator.
     Latency. An end-to-end analysis of the amount of time that 
it takes for the Participating CMS Provider to transmit a WEA Alert 
Message.
     Availability and Reliability. The annual percentage of WEA 
Alert Messages that the Participating CMS Provider processes 
successfully, and a summary of the most common errors with Alert 
Message transmission.

    We seek comment on these reporting elements and on the assessment 
methodologies Participating CMS Providers could use to produce Annual 
WEA Performance Reports below.

    87. First, we seek comment on whether an annual requirement would 
achieve the right frequency of reporting. We reason that WEA 
performance data recorded over a period of one year would be sufficient 
to provide a statistically significant sample of data to inform Annual 
WEA Performance Reports. We seek comment on this rationale. We note 
that the record reflects concern that reporting requirements will 
``result in an increased burden for carriers participating in the 
service on a voluntary basis,'' as well as concern that there is 
currently no method available to alert originators to verify system 
availability and reliability except anecdotally. Does our proposed 
approach strike the appropriate balance between these concerns? If not, 
we invite commenters to recommend alternative periodicities within 
which such reports should be required.
    88. In the alternative, would a single performance report to become 
due on a date certain, rather than an annual requirement, suffice to 
inform emergency managers and the public about WEA's capabilities? What 
types of changes, if any, would be substantive enough to warrant 
additional reporting beyond the initial report? For example, as 
Participating CMS Providers make material upgrades to their networks to 
incorporate new or updated technologies (e.g., 5G network 
technologies), would additional performance reporting be appropriate to 
demonstrate that WEA continues to satisfy its performance requirements, 
or to highlight the extent to which any system improvements may improve 
a Participating CMS Providers' WEA service? Would it be appropriate to 
adopt an alternative, less frequent reporting requirement for non-
nationwide Participating CMS Providers?
    89. We seek comment on the methodology by which Participating CMS 
Providers may develop Annual WEA Performance Reports. We anticipate 
that State/Local WEA Tests would be an effective method of collecting 
annual report data since they are test messages that may be used by 
state and local emergency managers to evaluate system readiness, and 
are required to be processed consistent with our Alert Message 
requirements. We seek comment on this analysis. Would a different 
classification of WEA Alert Message be more appropriate for use to 
collect performance data, be more likely to produce results that are 
representative of Alert Message delivery under actual emergency 
conditions, or be less burdensome to implement? For example, AT&T 
states that Participating CMS Providers' reporting obligations should 
be limited to RMTs. We observe that Section 10.350 does not require 
Participating CMS Providers to deliver RMTs to mobile devices, and 
allows RMTs to be distributed ``within 24 hours of receipt by the CMS 
Provider Gateway unless pre-empted by actual alert traffic or unable 
due to an unforeseen condition.'' Given these limitations, we seek 
comment on the value of RMTs as the basis for collecting Annual WEA 
Performance Report data. For example, could it be less burdensome and 
comparably effective for Participating CMS Providers to collect geo-
targeting data from cell sites to which RMTs are delivered, as opposed 
to from mobile devices to which State/Local WEA Tests are delivered? To 
what extent could an analysis of the radio frequency propagation 
characteristics of the particular constellation of cell sites and cell 
sectors chosen to geo-target an RMT be used as an accurate proxy for 
the geographic area to which an Alert Message with the same target area 
would actually be delivered? Further, we seek comment on whether RMTs 
could provide meaningful data about alert delivery latency, given that 
Participating CMS Providers are allowed to delay up to 24 hours before 
retransmitting them. For example, would it be less burdensome and 
comparably effective to allow Participating CMS Providers to schedule 
performance analyses during times when network usage is light? Would it 
be feasible and desirable to ``pause the timer'' on any applicable 
latency measurement at the CMS Provider Alert Gateway until such a time 
within 24 hours as becomes convenient to distribute the test message? 
Would such an approach undermine the representativeness of the latency 
data collected because actual Alert Messages are not held for any 
period of time in order to await more ideal network conditions?
    90. We seek comment on the specific data that Participating CMS 
Providers would be required to gather in order to complete 
statistically significant reports on the accuracy of WEA geo-targeting, 
the extent of alert delivery latency, and system availability and 
reliability. Would determining the accuracy of geo-targeting require 
either a measurement of the contours of the geographic area within 
which WEA-capable mobile devices receive the message, or an estimation 
of the radio frequency propagation contours of the cell broadcast 
facilities selected to geo-target the Alert Message? Would it require 
comparing the target area to the alert area? Would an average deviation 
from the target area be an adequate measure of the accuracy of geo-
targeting, or would emergency managers benefit from a report on the 
specific percentage of instances in which a Participating CMS Provider 
is able to meet our geo-targeting standard? Further, we seek comment on 
whether there are WEA geo-targeting scenarios that pose particular 
challenges to Participating CMS Providers. If so, should Participating 
CMS Providers be required to collect, analyze and report on geo-
targeting under those specific circumstances? In any case, should 
Participating CMS Providers be required to collect, analyze and report 
on their ability to geo-target Alert Messages to geocodes, circles, and 
polygons of varying complexities, and in varying geographic 
morphologies? How many samples of each type would be necessary to 
produce a statistically significant report on the accuracy of a 
Participating CMS Providers' WEA geo-targeting capability nationwide?
    91. Further, we seek comment on the specific data points that 
Participating CMS Providers would be required to gather in order to 
measure alert delivery latency. Would it be satisfactory to simply 
measure the amount of time that elapses from the moment that an alert 
originator presses ``send'' using their alert origination software to 
the moment that the Alert Message is displayed on

[[Page 78556]]

the mobile device? Would this single measurement suffice to give an 
alert originator an informed perspective on when the public could 
reasonably be expected to receive an Alert Message that they may send 
in a time-sensitive crisis? Would it also provide sufficient insight 
into system functionality to allow us to diagnose and address specific 
causes of alert delivery latency? Alternatively, would it be advisable 
to collect latency data at points in addition to the time of initial 
transmission and the time of receipt on the mobile device? For example, 
would it be advisable to analyze time stamps for Alert Messages 
received and transmitted at each of the A-E interfaces that comprise 
the WEA system in order to diagnose specific causes of latency, and to 
promote sufficient transparency to facilitate Commission action in the 
public interest? We seek comment on whether there are any particular 
circumstances in which Alert Messages are delivered more slowly than 
others. If so, should Participating CMS Providers be required to 
collect, analyze and report on alert delivery latency under those 
specific circumstances? In any case, should Participating CMS Providers 
be required to collect, analyze and report on alert delivery latency in 
varying geographic morphologies? How many independent measurements 
would be necessary to produce a statistically significant report on the 
degree of alert delivery latency at each WEA interface?
    92. Similarly, we seek comment on the specific data points that 
Participating CMS Providers would be required to collect in order to 
satisfactorily measure the regularity of system availability and 
reliability. Would the alert logging requirement that we adopt today 
suffice to determine the WEA system's rate of success at delivering 
Alert Messages? Where do errors with Alert Message transmission tend to 
occur? If at junctures other than the C-interface, does this militate 
for the collection of system availability data at each interface in the 
alert distribution chain in addition to the CMS Provider Alert Gateway? 
If less than 100 percent of WEA-capable mobile devices in the target 
area receive a WEA message intended for them, would this implicate 
shortcomings in system availability or reliability? If so, should 
Participating CMS Providers also be required to collect data on the 
percentage of WEA-capable mobile devices for which an Alert Message is 
intended that actually receive it, and to report this data to the 
Commission as a fundamental aspect of system availability and 
performance? Would this more nuanced approach be necessary in order to 
allow Participating CMS Providers to diagnose and correct any issues in 
alert distribution that may arise, and to promote sufficient 
transparency to facilitate Commission action in the public interest? 
Would an average measure of the rate of system availability be 
sufficient to grow emergency managers' confidence that the system will 
work as intended when needed, or do emergency managers require more 
granular data? Would it be necessary for Participating CMS Providers to 
log and report the CMAC attributes of each Alert Message at each of the 
C-E interfaces in order to establish whether the WEA system is able to 
deliver Alert Messages with ``five nines'' of reliability (i.e., to 
establish whether 99.999 percent of WEA Alert Messages are delivered 
successfully)? Is this an appropriate standard of reliability for the 
WEA system? If not, why not?
    93. We seek comment on whether emergency managers need any 
additional information beyond the accuracy of geo-targeting, the extent 
of alert delivery latency, and the regularity of system availability 
and reliability in order to understand the strengths and weaknesses of 
WEA as an alert origination tool. What, if any, additional data could 
Participating CMS Providers collect without incurring additional cost 
burdens, if we were to require them to collect each of the 
aforementioned data points? In the alternative, we seek comment on 
whether, and if so, to what extent making alert logs available upon 
emergency management agencies' request could satisfy their need for 
this information. Further, in addition to the possibility of requiring 
performance reports less frequently from non-nationwide Participating 
CMS Providers, we seek comment on whether such Participating CMS 
Providers should also be allowed to collect less granular data on 
system performance in order to reduce any cost burdens entailed by 
these proposed recordkeeping and reporting requirements.
    94. We seek comment on whether we should defer to Participating CMS 
Providers regarding how they collect annual report data. Does such an 
approach provide Participating CMS Providers with increased flexibility 
that will reduce the burdens of these recordkeeping and reporting 
requirements? Would this approach only be appropriate for non-
nationwide Participating CMS Providers? We seek comment on whether one 
effective and efficient method of generating national data for annual 
submission to the Commission might be through the use of a 
representative sample of the different real world environments in which 
the WEA system would be used (e.g., the dense urban, urban, suburban 
and rural morphologies defined by the ATIS-0500011 standard). We 
anticipate that the use of a representative sample of geographic 
morphologies could reduce any burdens that may be associated with 
providing Annual WEA Performance Reports by allowing Participating CMS 
Providers to collect less data. We seek comment on this analysis.
    95. In the alternative, we seek comment on whether our State/Local 
WEA Testing model provides a framework to emergency managers that is 
sufficient to enable them to collect localized geo-targeting, latency, 
and system availability data without requiring additional involvement 
from Participating CMS Providers. We observe that, even in the absence 
of State/Local WEA Tests, NYCEM deployed a network of volunteers using 
mobile device offered by an assortment of Participating CMS Providers 
to collect data on WEA geo-targeting and latency in New York City. We 
applaud NYCEM for their voluntary effort to improve awareness about WEA 
system performance. We seek comment on whether such tests demonstrate 
that it would be feasible for any emergency management agency that 
wishes to gather performance statistics about WEA to do so for 
themselves. We seek comment on whether NYCEM's tests were able to 
produce statistically significant results, and if not, we seek comment 
on whether emergency managers would be willing to voluntarily 
collaborate and share test results with one another such that their 
findings could be aggregated into a statistically significant sample 
size.
    96. We propose to treat Annual WEA Performance Reports submitted to 
the Commission as presumptively confidential, as we have reports in the 
E911, Emergency Alert System (EAS), and Network Outage Reporting System 
(NORS) contexts. Similarly, we propose to require that Participating 
CMS Providers grant emergency management agencies' requests for 
locality-specific versions of these performance metrics if and only if 
the requesting entity agrees to provide confidentiality protection at 
least equal to that provided by FOIA. Would the production of the 
proposed performance metrics require Participating CMS Providers to 
disclose information that they consider to be proprietary? Would 
offering such aspects of Annual WEA Performance Reports presumptively 
confidential treatment and only requiring that that

[[Page 78557]]

Participating CMS Providers share them with entities that agree to 
provide confidentiality protection at least equal to that provided by 
FOIA ameliorate any concerns about the disclosure of potentially 
sensitive competitive information? Further, we seek comment on steps 
that Participating CMS Providers can take to protect consumer privacy 
if producing reliable performance data requires information to be 
extracted from end user mobile devices. We observe that we are not 
requesting data at the end user/mobile device level, and therefore 
assume that any such information would be aggregated or, at a minimum, 
de-identified.
    97. We anticipate that requiring Annual WEA Performance Reports 
would be likely to benefit emergency managers and the public. For 
example, we agree with Jefferson Parish EM that performance reports 
would help to improve system transparency with respect to ``how long it 
took for the alert to reach the public,'' whether there was ``under 
alerting or overlap of the alerts,'' and how often there are network 
conditions in which ``Emergency Managers . . . could not send alerts.'' 
We also agree with NYCEM that ``[a]s with any other mission-critical 
system, mobile service providers should be required to capture and 
report system errors'' in order to improve the system's security 
posture. Further, FEMA and other commenting emergency management 
agencies agree that reporting geo-targeting, latency and system 
availability and reliability data could provide a compelling 
demonstration of WEA's capacity to deliver timely, geo-targeted Alert 
Messages to specific areas and localities on a national scale, which 
could potentially increase WEA adoption by non-participating emergency 
managers who are ``reluctant to activate WEA'' without demonstrations 
of ``coverage and delivery latency within their jurisdiction.'' We seek 
comment on this assessment. We also seek comment on whether the greater 
transparency promoted by Annual WEA Performance Reports would better 
support alert originator and emergency operations center response 
planning. At the same time, we anticipate that regular performance 
reporting requirements may also be useful to us in our efforts to bring 
to light and address potential areas for improvement in the WEA system 
nationwide. Regardless, we seek comment on whether increases in system 
transparency created by Annual WEA Performance Reports would be likely 
to improve our ability to act in the public interest to remediate any 
issues that the reports may reveal. We seek comment on our analysis of 
these potential benefits, and on any other benefits that Annual WEA 
Performance Reports may provide.
2. Alert Logging Standards and Implementation
    98. As discussed above, we require Participating CMS Providers to 
log their receipt of Alert Messages at their Alert Gateway and to 
appropriately maintain those records for review. We now seek comment on 
whether and, if so, how to create a uniform format for alert logging, 
and on how the collection of more detailed system integrity data could 
be integrated into Annual WEA Performance Reports. We seek comment on 
the extent to which emergency managers would benefit from 
standardization of the format of Participating CMS Providers' alert 
logs. Emergency managers confirm that there is value in log keeping by 
Participating CMS Providers, but CMS Providers confirm there is 
significant variation among them with respect to log keeping. Absent 
standardization of alert logging capabilities, would emergency managers 
be forced to contend with this variation in a manner that may 
significantly decrease the value of alert logs? Does this support the 
value proposition of a uniform standard consistently applied to 
Participating CMS Providers' log keeping? Would the creation of a 
uniform format require the modification of standards relevant to Alert 
Gateway functionality? Would updates to Alert Gateway software also be 
required?
    99. We also seek comment on whether the logging requirements we 
adopt today should extend beyond the CMS Provider Alert Gateway to the 
RAN and to WEA-capable mobile devices in furtherance of our goal of 
improving WEA transparency. We anticipate that alert logging beyond the 
Alert Gateway will continue to improve the transparency of the WEA 
system, will contribute to emergency managers' confidence that the 
system will work as intended when needed, and will improve our ability 
to detect and remediate any latent issues. We seek comment on this 
analysis. Will requiring Participating CMS Providers to log error 
reports and the CMAC attributes of Alert Messages at the CMS Provider 
Alert Gateway, as we do today, be sufficient to safeguard the integrity 
of WEA? If not, would it be advisable to require that Participating CMS 
Providers log this information at each of the C-E interfaces? We also 
seek comment on whether data other than, or in addition to error 
reports and CMAC attributes can be utilized as indicia of system 
integrity. Do Participating CMS Providers currently safeguard WEA 
system integrity through mechanisms other than, or in addition to alert 
logging? Further, we seek comment on whether requiring Participating 
CMS Providers to log data relevant to the accuracy of geo-targeting, 
the extent of alert delivery latency, and the system availability and 
reliability could contribute to the collection of data for Annual WEA 
Performance Reports? For example, if we were to require Participating 
CMS Providers to log alert receipt and transmission time stamps at each 
of the C-E interfaces, would that data contribute to their ability to 
report on specific sources of alert delivery latency?

E. Compliance Timeframes

    100. The rules we propose in this FNPRM would leverage commercially 
available technologies to improve public safety. In this regard, we 
take notice of the current state of technology, and propose timeframes 
that are informed by the processes and procedures that Participating 
CMS Providers and mobile device manufacturers state are necessary to 
implement changes to their WEA service. For ease of reference, the 
table below sets forth proposed timeframes for compliance with our 
proposed rules. We also seek comment on timeframes within which we 
could reasonably expect Participating CMS Providers to reach other 
policy objectives we discuss in this FNPRM.

                Figure 4--Proposed Compliance Timeframes
------------------------------------------------------------------------
             Rule amendment                    Compliance timeframe
------------------------------------------------------------------------
Defining the Modes of Participation in   Within 120 days of the rules'
 WEA.                                     publication in the Federal
                                          Register.
Infrastructure Functionality...........  Within 30 days of the rule's
                                          publication in the Federal
                                          Register.
Alert Message Preservation.............  Within 30 months of the rule's
                                          publication in the Federal
                                          Register.
Earthquake Alerting....................  Within 30 months of the rules'
                                          publication in the Federal
                                          Register.
Multimedia Alerting....................  Within 30 months of the rules'
                                          publication in the Federal
                                          Register.

[[Page 78558]]

 
Multilingual Alerting..................  We seek comment on reasonable
                                          timelines for Participating
                                          CMS Providers to support the
                                          transmission of WEA Alert
                                          Messages in various languages.
Matching the Geographic Target Area....  Within 42 months of the rules'
                                          publication in the Federal
                                          Register, or within 24 months
                                          of the completion of all
                                          relevant standards, whichever
                                          is sooner.
Promoting Informed Consumer Choice at    Within 120 days of the rules'
 the Point of Sale.                       publication in the Federal
                                          Register.
Promoting Informed Consumer Choice       Within 30 months of the rules'
 through the WEA Interface.               publication in the Federal
                                          Register.
Annual WEA Performance Reporting.......  Within 30 months of publication
                                          in the Federal Register of a
                                          notice announcing the approval
                                          by the Office of Management
                                          and Budget of the modified
                                          information collection
                                          requirements.
Alert Logging..........................  We seek comment on reasonable
                                          timeframes for Participating
                                          CMS Providers to improve their
                                          tracking of system performance
                                          through alert logging.
------------------------------------------------------------------------

    101. We propose a 30-month compliance timeframe for each proposed 
rule where compliance would be expected to require updates to standards 
and system specifications, as well as software updates for various 
components of the WEA system. These proposals include requiring 
Participating CMS Providers make changes to the WEA interface to 
promote informed consumer choice, requiring them to expedite delivery 
of earthquake-related Alert Messages, requiring them to provide a 
method of accessing pending Alert Messages, requiring support for 
multimedia content in Public Safety Messages, and requiring them to 
track and report on critical system performance metrics. We seek 
comment on this approach and analysis. In the Report and Order, we 
concluded that 30 months was an appropriate timeframe within which to 
require Participating CMS Providers to comply with rules that required 
updates to software and standards because it takes twelve months for 
appropriate industry bodies to finalize and publish relevant standards, 
another twelve months for Participating CMS Providers and mobile device 
manufacturers to develop and integrate software upgrades consistent 
with those standards into embedded plant and to complete required 
``technical acceptance testing,'' and then six more months for 
Participating CMS Providers and mobile device manufacturers to deploy 
this new technology to the field. We seek comment on whether, unlike 
changes to WEA Alert Message content we adopt in the Report and Order, 
our WEA interface and Alert Message preservation proposals will likely 
only require changes to WEA-capable mobile devices, not Participating 
CMS Providers' networks. If so, would mobile device manufacturers be 
able to integrate these enhanced capabilities into their mobile devices 
on a faster timeline than we allow for compliance with rules that 
implicate more systemic changes?
    102. With respect to our proposal to require Participating CMS 
Providers to produce and share critical system performance metrics, we 
anticipate that compliance would require updates to software and 
standards, as well as the coordinated efforts of professionals employed 
by Participating CMS Providers in order to design and implement 
appropriate data collection and sharing mechanisms. We seek comment on 
this reasoning. We seek comment whether compliance with this proposal 
would require updates to software and standards akin to those required 
by rules we adopt in the Report and Order, and, relatedly, on whether 
we could reasonably expect Participating CMS Providers to complete 
these updates within thirty months. We anticipate that some portion of 
the design planning required to determine the types of data and data 
collection methodologies appropriate for this task will take place 
during the course of this proceeding as industry stakeholders consider 
what compliance with our proposal would require of them. We also 
anticipate that this work could continue in parallel with the 
development of appropriate standards that describe this data collection 
task. Accordingly, we do not anticipate that any unique project 
planning component of this proposal will militate for allowing 
Participating CMS Providers additional time within which to comply, but 
we seek comment on this analysis. We also propose to provide 
Participating CMS Providers with a period of one year from the date of 
required compliance to produce their first annual WEA performance 
report (i.e., within 42 months of publication in the Federal Register 
of a notice announcing the approval by the Office of Management and 
Budget of the modified information collection requirements). We 
anticipate that one year will be sufficient for Participating CMS 
Providers to schedule any required data collections, and to aggregate 
that data into useful reports. We seek comment on this analysis.
    103. We propose to require Participating CMS Providers to match the 
target area specified by alert originators within 42 months of the 
rules' publication in the Federal Register, or within 24 months of the 
completion of all relevant standards, whichever is sooner. This is 
consistent with CSRIC V's recommendations that we allow 18 months for 
the development of standards ``in consideration of device 
compatibility, potential privacy issues, network congestion and 
consumer impacts due to increased data plan usage,'' and that ``[o]nce 
the standards work is complete, full system deployment including new 
handsets should be deployed within no more than 24 months.'' We seek 
comment on this proposal. We also seek comment on whether and how this 
timeframe could be expedited, given the critical public need to employ 
more precise geo-targeting standards. Rather than adopting a single 
implementation timeframe, should we benchmark compliance timeframes 
based on a percentage of Alert Messages that meet the standard (e.g., 
40 percent of Alert Messages within two years, 80 percent of Alert 
Messages within six years)? Could this approach enable compliance for a 
percentage of Alert Messages in a shorter timeframe by enabling 
Participating CMS Providers to implement improvements to geo-targeting 
by facilitating implementation on a rolling basis and without waiting 
for industry standardization? We note that Participating CMS Providers 
voluntarily improved geo-targeting relative to our foregoing county-
level

[[Page 78559]]

requirement without industry standardization. We seek comment on why 
standards would be necessary to support a ``matching'' requirement 
where they do not seem to have been needed to support a ``best 
approximate'' requirement. Further, CSRIC V finds that Participating 
CMS Providers would need 36-48 months to support nesting polygons, 
where 18-24 months is allocated to the modification of appropriate 
standards, and 18-24 months is allocated for development and 
implementation in Participating CMS Providers' networks. We seek 
comment on this analysis. Why would enabling geo-targeting to nesting 
polygons require more time than the record shows is necessary to modify 
standards and software to support rules we adopt today? We seek comment 
on a reasonable timeframe within which to integrate additional network-
based technologies, such as small cells, into the WEA infrastructure in 
order to achieve incremental improvements to WEA geo-targeting. Could 
such an integration take place within a shorter timeframe that that 
which we may allow for the integration of eMBMS or another ulterior 
technology into WEA because the network components that we consider 
above are already integrated into Participating CMS Providers 4G-LTE 
networks?
    104. We propose to require compliance with our proposed point-of-
sale notification requirements, and with our new definitions of the 
modes of participation in WEA insofar as they necessitate a renewed 
obligation to file election letters within 120 days of the rule's 
publication in the Federal Register. We anticipate that compliance with 
these proposed rules would require time and effort on the part of 
attorneys and communications professionals employed by Participating 
CMS Providers in order to update any required point-of-sale 
notifications, and potentially to update Participating CMS Providers' 
election letters on file with the Commission. We seek comment on this 
analysis, and relatedly, we seek comment on whether 120 days would be a 
sufficient period of time within which to expect Participating CMS 
Providers to complete this task. We observe that in the Ensuring the 
Continuity of 911 Communications Report and Order, the record supported 
allowing Participating CMS Providers 120 days to update their point-of-
sale notification to advise consumers of the availability of a backup 
power solution that provides 911 access during a commercial power loss. 
We seek comment on whether 120 days would also be adequate in this 
context, and if not, we invite commenters to provide specific details 
as to how our proposal presents unique challenges. We also seek comment 
on whether we could reasonably expect Participating CMS Providers to 
file any required update to their election letter within this 120-day 
timeframe, noting that in the WEA Third Report and Order, we required 
CMS Providers to file their election letter within 30 days.
    105. We propose to require compliance with our WEA infrastructure 
functionality proposal within 30 days of the rules' publication in the 
Federal Register. We do not anticipate that Participating CMS Providers 
would need to take any action to achieve compliance with this proposed 
rule, if adopted, because, as we reason above, Participating CMS 
Providers do not rely on the language we propose to remove. We seek 
comment this analysis. If the deletion of this language would require 
CMS Providers otherwise in compliance with our Part 10 rules to take 
action in order to continue to participate, what specific steps would 
be necessary to comply with these rules as revised? How much time would 
those steps take to complete? If any Participating CMS Provider were to 
fall within this category, would it likely be a non-nationwide 
Participating CMS Provider? If so, would it be appropriate to make any 
special accommodations for non-nationwide Participating CMS Providers 
to facilitate their continued participation?
    106. We also seek comment on reasonable timeframes in which to 
expect Participating CMS Providers to be able to reach the other policy 
objectives that we discuss above, including developing a uniform 
standard for alert log formatting and developing additional alert 
logging capabilities throughout the WEA system and deepening WEA's 
language support capabilities. With respect to alert logging, we seek 
comment on whether one year would be sufficient for industry to 
complete a standard to describe a uniform alert log format that will 
facilitate comparison of Participating CMS Providers' WEA services, as 
we concluded would be appropriate for standards necessitated by rules 
we adopt in the Report and Order. We also seek comment on whether 30 
months would be an appropriate period of time within which to require 
logging at additional junctures in the WEA system. Would software 
updates be required to implement this change?
    107. We seek comment on a reasonable timeframe within which to 
require Participating CMS Providers to support transmission of Alert 
Messages in languages in addition to English and Spanish. Could 
standards appropriate to support additional languages in WEA, including 
ideographic languages, be completed or otherwise integrated into WEA 
within one year, consistent with our reasoning about the time that it 
takes to complete standards in the Report and Order. We seek comment on 
whether software would need to be updated in order to support 
additional languages as well given the two-year timeframe that we allow 
Participating CMS Providers to update software to support a language in 
addition to English (i.e., Spanish) in the Report and Order. Would it 
be possible for Participating CMS Providers to bundle software upgrades 
enabling support for additional languages into any software upgrades 
that they may undertake in order to comply with our Spanish-language 
requirement? If not, why not?
    108. Finally, we seek comment on a reasonable implementation 
timeframe for our proposal to prioritize earthquake-related Alert 
Messages at the Participating CMS Provider Alert Gateway. Would 
Participating CMS Providers be able to implement this change on the 
same 30-month timeframe that we allow for other proposals anticipated 
to necessitate changes to software and standards? Could any changes to 
the prioritization of earthquake-related Alert Messages in transit be 
completed within the same timeframe? If not, what additional 
considerations should we take into account in our analysis of what 
changes in Alert Message prioritization in transit will require? We 
seek to implement each of our proposed rules in as swift of a timeframe 
as possible, while ensuring that our proposed rules do not pose undue 
burdens for Participating CMS Providers, recognizing the current state 
and technology. We invite commenters to offer into the record any 
additional considerations relevant to compliance with our proposed 
rules.

III. Ordering Clauses

    109. Accordingly, it is ordered, pursuant to Sections 1, 2, 4(i), 
4(o), 301, 303(r), 303(v), 307, 309, 335, 403, 624(g), 706, and 715 of 
the Communications Act of 1934, as amended, 47 U.S.C. 151, 152, 154(i), 
154(o), 301, 301(r), 303(v), 307, 309, 335, 403, 544(g), 606, and 615, 
as well as by sections 602(a), (b), (c), (f), 603, 604 and 606 of the 
WARN Act, 47 U.S.C. 1202(a), (b), (c), (f), 1203, 1204 and 1206, that 
the WEA Report and Order and Further Notice of Proposed

[[Page 78560]]

Rulemaking in PS Docket Nos. 15-91 and 15-94 is hereby adopted.
    110. It is further ordered that the Commission's Consumer and 
Governmental Affairs Bureau, Reference Information Center, shall send a 
copy of the WEA Report and Order and Further Notice of Proposed 
Rulemaking, including the Final and Initial Regulatory Flexibility 
Analysis, to the Chief Counsel for Advocacy of the Small Business 
Administration.

Federal Communications Commission.
Marlene H. Dortch,
Secretary, Office of the Secretary, Office of the Managing Director.
[FR Doc. 2016-26901 Filed 11-7-16; 8:45 am]
BILLING CODE 6712-01-P



                                                                    Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules                                                 78539

                                                 TABLE 2—LIST OF WYOMING INFRASTRUCTURE ELEMENTS AND REVISIONS THAT THE EPA IS PROPOSING TO TAKE NO
                                                                                            ACTION ON
                                                                                                                    Proposed for no action
                                                                                                    (revision to be made in separate rulemaking action.)

                                               January 19, 2012 submittal—2008 Pb NAAQS: (D)(i)(I) prongs 1 and 2, (D)(i)(II) prong 4.
                                               February 6, 2014 submittal—2008 Ozone NAAQS: (D)(i) prongs 1–4 and (C) (proposed action on (D)(i)(II) prong 3 and (C) at 81 FR 53365,
                                                 Aug. 12, 2016).
                                               January 31, 2013 submittal—2010 NO2 NAAQS: (D)(i)(I) prongs 1 and 2, (D)(i)(II) prong 4.
                                               June 2, 2013 submittal—2010 SO2 NAAQS: (D)(i)(I) prongs 1 and 2, (D)(i)(II) prong 4.
                                               December 22, 2015 submittal—2012 PM2.5 NAAQS: (D)(i)(I) prongs 1 and 2, (D)(i)(II) prong 4.



                                               VIII. Incorporation by Reference                           • Is certified as not having a                       Authority: 42 U.S.C. 7401 et seq.
                                                                                                       significant economic impact on a                        Dated: October 20, 2016.
                                                 In this rulemaking, the EPA is
                                                                                                       substantial number of small entities                  Shaun L. McGrath,
                                               proposing to include in a final EPA rule
                                                                                                       under the Regulatory Flexibility Act (5               Regional Administrator, Region 8.
                                               regulatory text that includes
                                                                                                       U.S.C. 601 et seq.);
                                               incorporation by reference. In                                                                                [FR Doc. 2016–26860 Filed 11–7–16; 8:45 am]
                                                                                                          • Does not contain any unfunded
                                               accordance with requirements of 1 CFR                                                                         BILLING CODE 6560–50–P
                                                                                                       mandate or significantly or uniquely
                                               51.5, the EPA is proposing to
                                                                                                       affect small governments, as described
                                               incorporate by reference the Wyoming
                                                                                                       in the Unfunded Mandates Reform Act
                                               Department of Environmental Quality
                                                                                                       of 1995 (Pub. L. 104–4);                              FEDERAL COMMUNICATIONS
                                               General Rules of Practice and                              • Does not have federalism
                                               Procedure, Chapter 1, General                                                                                 COMMISSION
                                                                                                       implications as specified in Executive
                                               Provisions, Section 16, Air Program                     Order 13132 (64 FR 43255, Aug. 10,
                                               State Implementation Plan Chapter 1,                                                                          47 CFR Parts 10 and 11
                                                                                                       1999);
                                               General Provisions, Section 16, Air                        • Is not an economically significant
                                               Program State Implementation Plan                                                                             [PS Docket No. 15–91; PS Docket No. 15–
                                                                                                       regulatory action based on health or                  94; FCC 16–127]
                                               pertaining to state board requirements                  safety risks subject to Executive Order
                                               VI.6. b. Sub-element (ii): State boards, of             13045 (62 FR 19885, April 23, 1997);                  Wireless Emergency Alerts;
                                               this preamble. The EPA has made, and                       • Is not a significant regulatory action           Amendments to the Commission’s
                                               will continue to make, these documents                  subject to Executive Order 13211 (66 FR               Rules Regarding the Emergency Alert
                                               generally available through                             28355, May 22, 2001);                                 System
                                               www.regulations.gov and/or at the EPA                      • Is not subject to requirements of
                                               Region 8 office (please contact the                                                                           AGENCY:  Federal Communications
                                                                                                       section 12(d) of the National
                                               person identified in the ‘‘For Further                                                                        Commission.
                                                                                                       Technology Transfer and Advancement
                                               Information Contact’’ section of this                   Act of 1995 (15 U.S.C. 272 note) because              ACTION: Proposed rule.
                                               preamble for more information).                         application of those requirements would
                                                                                                                                                             SUMMARY:    This document proposes
                                               IX. Statutory and Executive Orders                      be inconsistent with the CAA; and,
                                                                                                                                                             revisions to Wireless Emergency Alert
                                               Review                                                     • Does not provide the EPA with the
                                                                                                                                                             (WEA) rules to improve WEA,
                                                                                                       discretionary authority to address, as
                                                 Under the CAA, the Administrator is                                                                         leveraging advancements in technology
                                                                                                       appropriate, disproportionate human
                                               required to approve a SIP submission                                                                          to improve WEA’s multimedia,
                                                                                                       health or environmental effects, using
                                               that complies with the provisions of the                                                                      multilingual and geo-targeting
                                                                                                       practicable and legally permissible
                                               Act and applicable federal regulations                                                                        capabilities, as well as lessons learned
                                                                                                       methods, under Executive Order 12898
                                               (42 U.S.C. 7410(k), 40 CFR 52.02(a)).                                                                         from alert originators’ experience since
                                                                                                       (59 FR 7629, Feb. 16, 1994).
                                               Thus, in reviewing SIP submissions, the                                                                       WEA was initially deployed. This
                                                                                                          The SIP is not approved to apply on
                                               EPA’s role is to approve state choices,                                                                       document also proposes steps to
                                                                                                       any Indian reservation land or in any
                                               provided that they meet the criteria of                                                                       improve the availability of information
                                                                                                       other area where the EPA or an Indian
                                               the CAA. Accordingly, this proposed                                                                           about WEA, both to empower
                                                                                                       tribe has demonstrated that a tribe has
                                               action merely approves some state law                                                                         consumers to make informed choices
                                                                                                       jurisdiction. In those areas of Indian
                                               as meeting federal requirements and                                                                           about the emergency information that
                                                                                                       country, the rule does not have tribal
                                               disapproves other state law because it                                                                        they will receive, as well as to promote
                                                                                                       implications and will not impose
                                               does not meet federal requirements; this                                                                      transparency for emergency
                                                                                                       substantial direct costs on tribal
                                               proposed action does not impose                                                                               management agencies and other WEA
                                                                                                       governments or preempt tribal law as
                                               additional requirements beyond those                                                                          stakeholders. By this action, the
                                                                                                       specified by Executive Order 13175 (65
                                               imposed by state law. For that reason,                                                                        Commission affords interested parties
                                                                                                       FR 67249, November 9, 2000).
                                               this proposed action:                                                                                         an opportunity to participate more fully
                                                 • Is not a ‘‘significant regulatory                   List of Subjects in 40 CFR Part 52                    in WEA, and to enhance the utility of
                                               action’’ subject to review by the Office                  Environmental protection, Air                       WEA as an alerting tool.
Lhorne on DSK30JT082PROD with PROPOSALS




                                               of Management and Budget under                          pollution control, Carbon monoxide,                   DATES: Comments are due on or before
                                               Executive Order 12866 (58 FR 51735,                     Greenhouse gases, Incorporation by                    December 8, 2016 and reply comments
                                               Oct. 4, 1993);                                          reference, Intergovernmental relations,               are due on or before January 9, 2017.
                                                 • Does not impose an information                      Lead, Nitrogen dioxide, Ozone,                        ADDRESSES: You may submit comments,
                                               collection burden under the provisions                  Particulate matter, Reporting and                     identified by PS Docket No. 15–91, P.S.
                                               of the Paperwork Reduction Act (44                      recordkeeping requirements, Sulfur                    Docket No. 15–94, FCC 16–127, by any
                                               U.S.C. 3501 et seq.);                                   oxides, Volatile organic compounds.                   of the following methods:


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00026   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                               78540                Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules

                                                  • Federal eRulemaking Portal: http://                ‘‘further reduce the information                      of technological innovations that could
                                               www.regulations.gov. Follow the                         collection burden for small business                  expand WEA’s multimedia, multilingual
                                               instructions for submitting comments.                   concerns with fewer than 25                           and geo-targeting capabilities, including
                                                  • Federal Communications                             employees.’’                                          innovations on 5G networks. With
                                               Commission’s Web site: http://                                                                                respect to developing consumer
                                                                                                       Initial Regulatory Flexibility Analysis
                                               fjallfoss.fcc.gov/ecfs2/. Follow the                                                                          education tools, we propose to promote
                                               instructions for submitting comments.                      1. As required by the Regulatory                   more informed consumer choice
                                                  • People with Disabilities: Contact the              Flexibility Act of 1980, as amended                   through improvements to the point-of-
                                               FCC to request reasonable                               (RFA), we have prepared this present                  sale notifications for Participating CMS
                                               accommodations (accessible format                       Initial Regulatory Flexibility Analysis               Providers’ mobile devices, and to the
                                               documents, sign language interpreters,                  (IRFA) of the possible significant                    WEA interface. Finally, we propose to
                                               CART, etc.) by email: FCC504@fcc.gov                    economic impact on a substantial                      improve WEA transparency through
                                               or phone: 202–418–0530 or TTY: 202–                     number of small entities by the policies              requiring Participating CMS Providers
                                               418–0432.                                               and rules proposed in this Further                    to disclose their performance along
                                                  For detailed instructions for                        Notice of Proposed Rulemaking                         three key metrics, latency, geo-targeting,
                                               submitting comments and additional                      (FNPRM). Written public comments are                  and reliability, and we seek comment on
                                               information on the rulemaking process,                  requested on this IRFA. Comments must                 whether additional alert logging could
                                               see the SUPPLEMENTARY INFORMATION                       be identified as responses to the IRFA                be instrumental in allowing them to
                                               section of this document.                               and must be filed by the deadlines for                collect relevant data.
                                                                                                       comments on the FNPRM. We will send                     4. This FNPRM represents another
                                               FOR FURTHER INFORMATION CONTACT:
                                                                                                       a copy of the FNPRM, including this                   step towards achieving one of our
                                               James Wiley, Attorney Advisor, Public
                                                                                                       IRFA, to the Chief Counsel for Advocacy               highest priorities—‘‘to ensure that all
                                               Safety and Homeland Security Bureau,
                                                                                                       of the Small Business Administration                  Americans have the capability to receive
                                               at (202) 418–1678, or by email at
                                                                                                       (SBA). In addition, the FNPRM and                     timely and accurate alerts, warnings and
                                               James.Wiley@fcc.gov.
                                                                                                       IRFA (or summaries thereof) will be                   critical information regarding disasters
                                               SUPPLEMENTARY INFORMATION: This is a                    published in the Federal Register.                    and other emergencies.’’ This FNPRM
                                               summary of the Commission’s Further                                                                           also is consistent with our obligation
                                               Notice of Proposed Rulemaking in PS                     A. Need for, and Objectives of, the Final
                                                                                                       Rules                                                 under Executive Order 13407 to ‘‘adopt
                                               Docket No. 15–91, No. 15–94, FCC 16–                                                                          rules to ensure that communications
                                               127, released on September 29, 2016.                       2. With this FNPRM, we take another                systems have the capacity to transmit
                                               The document is available for download                  step towards strengthening Wireless                   alerts and warnings to the public as part
                                               at http://transition.fcc.gov/Daily_                     Emergency Alerts (WEA) by proposing                   of the public alert and warning system,’’
                                               Releases/Daily_Business/2016/db0929/                    revisions to our rules to empower alert               and our mandate under the
                                               FCC-16-127A1.pdf. The complete text of                  originators to participate more fully in              Communications Act to promote the
                                               this document is also available for                     WEA, to empower consumers to make                     safety of life and property through the
                                               inspection and copying during normal                    more informed decisions about the kind                use of wire and radio communication.
                                               business hours in the FCC Reference                     of WEA service that their CMS Provider                We take these steps as part of an
                                               Information Center, Portals II, 445 12th                offers, and to enhance the utility of                 overarching strategy to advance the
                                               Street SW., Room CY–A257,                               WEA as an alerting tool. Our proposals                Nation’s alerting capability, which
                                               Washington, DC 20554. To request                        fall into four categories, ensuring the               includes both WEA and the Emergency
                                               materials in accessible formats for                     provision of effective WEA Alert                      Alert System (EAS), to keep pace with
                                               people with disabilities (Braille, large                Messages, incorporating future technical              evolving technologies and to empower
                                               print, electronic files, audio format),                 advancements to improve WEA,                          communities to initiate life-saving
                                               send an email to FCC504@fcc.gov or call                 developing consumer education tools,                  alerts.
                                               the Consumer & Governmental Affairs                     and improving WEA transparency.
                                               Bureau at 202–418–0530 (voice), 202–                       3. Specifically, with respect to                   B. Legal Basis
                                               418–0432 (TTY).                                         ensuring the provision of effective WEA                  5. The proposed action in this WEA
                                                                                                       Alert Messages, we propose to establish               Further Notice of Proposed Rulemaking
                                               Initial Paperwork Reduction Act of                      clear definitions and requirements for
                                               1995 Analysis                                                                                                 is authorized on the basis of 47 U.S.C.
                                                                                                       CMS Providers participating in WEA in                 151, 152, 154(i) and (o), 301, 301(r),
                                                  This Further Notice of Proposed                      whole and in part. We ensure the                      303(v), 307, 309, 335, 403, 544(g), 606
                                               Rulemaking seeks comment on potential                   provision of effective WEA Alert                      and 615 of the Communications Act of
                                               new or revised proposed information                     Messages by removing language from                    1934, as amended, as well as by sections
                                               collection requirements. If the                         our rules that may contribute to                      602(a), (b), (c), (f), 603, 604 and 606 of
                                               Commission adopts any new or revised                    emergency management agencies’                        the WARN Act.
                                               final information collection                            uncertainty about WEA’s quality of
                                               requirements when the final rules are                   service. We require Participating CMS                 C. Description and Estimate of the
                                               adopted, the Commission will publish a                  Providers to offer subscribers a method               Number of Small Entities to Which the
                                               notice in the Federal Register inviting                 of accessing pending Alert Messages.                  Proposed Rules Will Apply
                                               further comments from the public on                     We propose to require that earthquake-                  6. The RFA directs agencies to
                                               the final information collection                        related alerts be delivered to the public             provide a description of, and where
                                               requirements, as required by the                        in fewer than three seconds. We also                  feasible, an estimate of the number of
Lhorne on DSK30JT082PROD with PROPOSALS




                                               Paperwork Reduction Act of 1995,                        seek comment on how to leverage the                   small entities that may be affected by
                                               Public Law 104–13 (44 U.S.C. 3501–                      improvements to WEA that we adopt                     the proposed rules, if adopted. The RFA
                                               3520). In addition, pursuant to the                     today to continue to improve WEA’s                    generally defines the term ‘‘small
                                               Small Business Paperwork Relief Act of                  value during disaster relief efforts. With            entity’’ as having the same meaning as
                                               2002, Public Law 107–198, see 44 U.S.C.                 respect to incorporating future technical             the terms ‘‘small business,’’ ‘‘small
                                               3506(c)(4), the Commission seeks                        advancements into WEA, we seek                        organization,’’ and ‘‘small governmental
                                               specific comment on how it might                        comment on and propose of a number                    jurisdiction.’’ In addition, the term


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00027   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                                                    Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules                                            78541

                                               ‘‘small business’’ has the same meaning                 six frequency blocks designated A                     the two auctions that have already been
                                               as the term ‘‘small-business concern’’                  through F, and the Commission has held                held, ‘‘small businesses’’ were entities
                                               under the Small Business Act. A small-                  auctions for each block. The                          with average gross revenues for the prior
                                               business concern’’ is one which: (1) Is                 Commission initially defined a ‘‘small                three calendar years of $40 million or
                                               independently owned and operated; (2)                   business’’ for C- and F-Block licenses as             less. Through these auctions, the
                                               is not dominant in its field of operation;              an entity that has average gross revenues             Commission has awarded a total of 41
                                               and (3) satisfies any additional criteria               of $40 million or less in the three                   licenses, out of which 11 were obtained
                                               established by the SBA.                                 previous calendar years. For F-Block                  by small businesses. To ensure
                                                  7. Small Businesses, Small                           licenses, an additional small business                meaningful participation of small
                                               Organizations, and Small Governmental                   size standard for ‘‘very small business’’             business entities in future auctions, the
                                               Jurisdictions. Our action may, over time,               was added and is defined as an entity                 Commission has adopted a two-tiered
                                               affect small entities that are not easily               that, together with its affiliates, has               small business size standard in the
                                               categorized at present. We therefore                    average gross revenues of not more than               Narrowband PCS Second Report and
                                               describe here, at the outset, three                     $15 million for the preceding three                   Order. A ‘‘small business’’ is an entity
                                               comprehensive, statutory small entity                   calendar years. These small business                  that, together with affiliates and
                                               size standards. First, nationwide, there                size standards, in the context of                     controlling interests, has average gross
                                               are a total of approximately 27.5 million               broadband PCS auctions, have been                     revenues for the three preceding years of
                                               small businesses, according to the SBA.                 approved by the SBA. No small                         not more than $40 million. A ‘‘very
                                               In addition, a ‘‘small organization’’ is                businesses within the SBA-approved                    small business’’ is an entity that,
                                               generally ‘‘any not-for-profit enterprise               small business size standards bid                     together with affiliates and controlling
                                               which is independently owned and                        successfully for licenses in Blocks A                 interests, has average gross revenues for
                                               operated and is not dominant in its                     and B. There were 90 winning bidders                  the three preceding years of not more
                                               field.’’ Nationwide, as of 2007, there                  that claimed small business status in the             than $15 million. The SBA has
                                               were approximately 1,621,315 small                      first two C-Block auctions. A total of 93             approved these small business size
                                               organizations. Finally, the term ‘‘small                bidders that claimed small business                   standards.
                                               governmental jurisdiction’’ is defined                  status won approximately 40 percent of                   12. Wireless Communications
                                               generally as ‘‘governments of cities,                   the 1,479 licenses in the first auction for           Services. This service can be used for
                                               towns, townships, villages, school                      the D, E, and F Blocks. On April 15,                  fixed, mobile, radiolocation, and digital
                                               districts, or special districts, with a                 1999, the Commission completed the                    audio broadcasting satellite uses. The
                                               population of less than fifty thousand.’’               reauction of 347 C-, D-, E-, and F-Block              Commission defined ‘‘small business’’
                                               Census Bureau data for 2011 indicate                    licenses in Auction No. 22. Of the 57                 for the wireless communications
                                               that there were 89,476 local                            winning bidders in that auction, 48                   services (WCS) auction as an entity with
                                               governmental jurisdictions in the                       claimed small business status and won                 average gross revenues of $40 million
                                               United States. We estimate that, of this                277 licenses.                                         for each of the three preceding years,
                                               total, as many as 88, 506 entities may                     10. On January 26, 2001, the                       and a ‘‘very small business’’ as an entity
                                               qualify as ‘‘small governmental                         Commission completed the auction of                   with average gross revenues of $15
                                               jurisdictions.’’ Thus, we estimate that                 422 C and F Block Broadband PCS                       million for each of the three preceding
                                               most governmental jurisdictions are                     licenses in Auction No. 35. Of the 35                 years. The SBA has approved these
                                               small.                                                  winning bidders in that auction, 29                   definitions.
                                                  8. Wireless Telecommunications                       claimed small business status.                           13. 700 MHz Guard Band Licensees.
                                               Carriers (except satellite). This industry              Subsequent events concerning Auction                  In 2000, in the 700 MHz Guard Band
                                               comprises establishments engaged in                     35, including judicial and agency                     Order, the Commission adopted size
                                               operating and maintaining switching                     determinations, resulted in a total of 163            standards for ‘‘small businesses’’ and
                                               and transmission facilities to provide                  C and F Block licenses being available                ‘‘very small businesses’’ for purposes of
                                               communications via the airwaves.                        for grant. On February 15, 2005, the                  determining their eligibility for special
                                               Establishments in this industry have                    Commission completed an auction of                    provisions such as bidding credits and
                                               spectrum licenses and provide services                  242 C-, D-, E-, and F-Block licenses in               installment payments. A small business
                                               using that spectrum, such as cellular                   Auction No. 58. Of the 24 winning                     in this service is an entity that, together
                                               phone services, paging services,                        bidders in that auction, 16 claimed                   with its affiliates and controlling
                                               wireless Internet access, and wireless                  small business status and won 156                     principals, has average gross revenues
                                               video services. The appropriate size                    licenses. On May 21, 2007, the                        not exceeding $40 million for the
                                               standard under SBA rules for the                        Commission completed an auction of 33                 preceding three years. Additionally, a
                                               category Wireless Telecommunications                    licenses in the A, C, and F Blocks in                 very small business is an entity that,
                                               Carriers (except satellite) is that a                   Auction No. 71. Of the 12 winning                     together with its affiliates and
                                               business is small if it has 1,500 or fewer              bidders in that auction, five claimed                 controlling principals, has average gross
                                               employees. Census data for 2012 show                    small business status and won 18                      revenues that are not more than $15
                                               that there were 967 firms that operated                 licenses. On August 20, 2008, the                     million for the preceding three years.
                                               for the entire year. Of this total, 955                 Commission completed the auction of                   SBA approval of these definitions is not
                                               firms had employment of fewer than                      20 C-, D-, E-, and F-Block Broadband                  required. An auction of 52 Major
                                               1,000 employees. Thus under this                        PCS licenses in Auction No. 78. Of the                Economic Area licenses commenced on
                                               category and the associated small                       eight winning bidders for Broadband                   September 6, 2000, and closed on
                                               business size standard, the Commission                                                                        September 21, 2000. Of the 104 licenses
Lhorne on DSK30JT082PROD with PROPOSALS




                                                                                                       PCS licenses in that auction, six claimed
                                               estimates that the majority of wireless                 small business status and won 14                      auctioned, 96 licenses were sold to nine
                                               telecommunications carriers (except                     licenses.                                             bidders. Five of these bidders were
                                               satellite) are small.                                      11. Narrowband Personal                            small businesses that won a total of 26
                                                  9. Broadband Personal                                Communications Service. To date, two                  licenses. A second auction of 700 MHz
                                               Communications Service. The                             auctions of narrowband personal                       Guard Band licenses commenced on
                                               broadband personal communications                       communications services (PCS) licenses                February 13, 2001, and closed on
                                               services (PCS) spectrum is divided into                 have been conducted. For purposes of                  February 21, 2001. All eight of the


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00028   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                               78542                Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules

                                               licenses auctioned were sold to three                   business status (those with attributable              Broadband Radio Service (BRS) and
                                               bidders. One of these bidders was a                     average annual gross revenues that                    Educational Broadband Service (EBS)
                                               small business that won a total of two                  exceed $15 million and do not exceed                  (previously referred to as the
                                               licenses.                                               $40 million for the preceding three                   Instructional Television Fixed Service
                                                  14. Lower 700 MHz Band Licenses.                     years) won 49 licenses. Thirty three                  (ITFS)). In connection with the 1996
                                               The Commission previously adopted                       winning bidders claiming very small                   BRS auction, the Commission
                                               criteria for defining three groups of                   business status (those with attributable              established a small business size
                                               small businesses for purposes of                        average annual gross revenues that do                 standard as an entity that had annual
                                               determining their eligibility for special               not exceed $15 million for the preceding              average gross revenues of no more than
                                               provisions such as bidding credits. The                 three years) won 325 licenses.                        $40 million in the previous three
                                               Commission defined a ‘‘small business’’                    16. Upper 700 MHz Band Licenses. In                calendar years. The BRS auctions
                                               as an entity that, together with its                    the 700 MHz Second Report and Order,                  resulted in 67 successful bidders
                                               affiliates and controlling principals, has              the Commission revised its rules                      obtaining licensing opportunities for
                                               average gross revenues not exceeding                    regarding Upper 700 MHz licenses. On                  493 Basic Trading Areas (BTAs). Of the
                                               $40 million for the preceding three                     January 24, 2008, the Commission                      67 auction winners, 61 met the
                                               years. A ‘‘very small business’’ is                     commenced Auction 73 in which                         definition of a small business. BRS also
                                               defined as an entity that, together with                several licenses in the Upper 700 MHz                 includes licensees of stations authorized
                                               its affiliates and controlling principals,              band were available for licensing: 12                 prior to the auction. At this time, we
                                               has average gross revenues that are not                 Regional Economic Area Grouping                       estimate that of the 61 small business
                                               more than $15 million for the preceding                 licenses in the C Block, and one                      BRS auction winners, 48 remain small
                                               three years. Additionally, the lower 700                nationwide license in the D Block. The                business licensees. In addition to the 48
                                               MHz Service had a third category of                     auction concluded on March 18, 2008,                  small businesses that hold BTA
                                               small business status for Metropolitan/                 with 3 winning bidders claiming very                  authorizations, there are approximately
                                               Rural Service Area (MSA/RSA)                            small business status (those with                     392 incumbent BRS licensees that are
                                               licenses—‘‘entrepreneur’’—which is                      attributable average annual gross                     considered small entities. After adding
                                               defined as an entity that, together with                revenues that do not exceed $15 million               the number of small business auction
                                               its affiliates and controlling principals,              for the preceding three years) and                    licensees to the number of incumbent
                                               has average gross revenues that are not                 winning five licenses.                                licensees not already counted, we find
                                               more than $3 million for the preceding                     17. Advanced Wireless Services. AWS                that there are currently approximately
                                               three years. The SBA approved these                     Services (1710–1755 MHz and 2110–                     440 BRS licensees that are defined as
                                               small size standards. An auction of 740                 2155 MHz bands (AWS–1); 1915–1920                     small businesses under either the SBA
                                               licenses (one license in each of the 734                MHz, 1995–2000 MHz, 2020–2025 MHz                     or the Commission’s rules.
                                               MSAs/RSAs and one license in each of                    and 2175–2180 MHz bands (AWS–2);                         19. In 2009, the Commission
                                               the six Economic Area Groupings                         2155–2175 MHz band (AWS–3)). For the                  conducted Auction 86, the sale of 78
                                               (EAGs)) commenced on August 27,                         AWS–1 bands, the Commission has                       licenses in the BRS areas. The
                                               2002, and closed on September 18,                       defined a ‘‘small business’’ as an entity             Commission offered three levels of
                                               2002. Of the 740 licenses available for                 with average annual gross revenues for                bidding credits: (i) A bidder with
                                               auction, 484 licenses were won by 102                   the preceding three years not exceeding               attributed average annual gross revenues
                                               winning bidders. Seventy-two of the                     $40 million, and a ‘‘very small                       that exceed $15 million and do not
                                               winning bidders claimed small                           business’’ as an entity with average                  exceed $40 million for the preceding
                                               business, very small business or                        annual gross revenues for the preceding               three years (small business) received a
                                               entrepreneur status and won a total of                  three years not exceeding $15 million.                15 percent discount on its winning bid;
                                               329 licenses. A second auction                          For AWS–2 and AWS–3, although we                      (ii) a bidder with attributed average
                                               commenced on May 28, 2003, closed on                    do not know for certain which entities                annual gross revenues that exceed $3
                                               June 13, 2003, and included 256                         are likely to apply for these frequencies,            million and do not exceed $15 million
                                               licenses: 5 EAG licenses and 476                        we note that the AWS–1 bands are                      for the preceding three years (very small
                                               Cellular Market Area licenses.                          comparable to those used for cellular                 business) received a 25 percent discount
                                               Seventeen winning bidders claimed                       service and personal communications                   on its winning bid; and (iii) a bidder
                                               small or very small business status and                 service. The Commission has not yet                   with attributed average annual gross
                                               won 60 licenses, and nine winning                       adopted size standards for the AWS–2                  revenues that do not exceed $3 million
                                               bidders claimed entrepreneur status and                 or AWS–3 bands but proposes to treat                  for the preceding three years
                                               won 154 licenses. On July 26, 2005, the                 both AWS–2 and AWS–3 similarly to                     (entrepreneur) received a 35 percent
                                               Commission completed an auction of 5                    broadband PCS service and AWS–1                       discount on its winning bid. Auction 86
                                               licenses in the Lower 700 MHz band                      service due to the comparable capital                 concluded in 2009 with the sale of 61
                                               (Auction No. 60). There were three                      requirements and other factors, such as               licenses. Of the ten winning bidders,
                                               winning bidders for five licenses. All                  issues involved in relocating                         two bidders that claimed small business
                                               three winning bidders claimed small                     incumbents and developing markets,                    status won 4 licenses; one bidder that
                                               business status.                                        technologies, and services.                           claimed very small business status won
                                                  15. In 2007, the Commission                             18. Broadband Radio Service and                    three licenses; and two bidders that
                                               reexamined its rules governing the 700                  Educational Broadband Service.                        claimed entrepreneur status won six
                                               MHz band in the 700 MHz Second                          Broadband Radio Service systems,                      licenses.
                                               Report and Order. An auction of 700                     previously referred to as Multipoint                     20. In addition, the SBA’s Cable
Lhorne on DSK30JT082PROD with PROPOSALS




                                               MHz licenses commenced January 24,                      Distribution Service (MDS) and                        Television Distribution Services small
                                               2008 and closed on March 18, 2008,                      Multichannel Multipoint Distribution                  business size standard is applicable to
                                               which included, 176 Economic Area                       Service (MMDS) systems, and ‘‘wireless                EBS. There are presently 2,436 EBS
                                               licenses in the A Block, 734 Cellular                   cable,’’ transmit video programming to                licensees. All but 100 of these licenses
                                               Market Area licenses in the B Block, and                subscribers and provide two-way high                  are held by educational institutions.
                                               176 EA licenses in the E Block. Twenty                  speed data operations using the                       Educational institutions are included in
                                               winning bidders, claiming small                         microwave frequencies of the                          this analysis as small entities. Thus, we


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00029   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                                                    Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules                                             78543

                                               estimate that at least 2,336 licensees are                 21. Wireless Communications Service.               this category as follows: ‘‘This industry
                                               small businesses. Since 2007, Cable                     This service can be used for fixed,                   comprises establishments primarily
                                               Television Distribution Services have                   mobile, radiolocation, and digital audio              engaged in broadcasting images together
                                               been defined within the broad economic                  broadcasting satellite uses. The                      with sound. These establishments
                                               census category of Wired                                Commission established small business                 operate television broadcasting studios
                                               Telecommunications Carriers; that                       size standards for the wireless                       and facilities for the programming and
                                               category is defined as follows: ‘‘This                  communications services (WCS)                         transmission of programs to the public.’’
                                               industry comprises establishments                       auction. A ‘‘small business’’ is an entity            The SBA has created a small business
                                               primarily engaged in operating and/or                   with average gross revenues of $40                    size standard for Television
                                               providing access to transmission                        million for each of the three preceding               Broadcasting entities, which is: Such
                                               facilities and infrastructure that they                 years, and a ‘‘very small business’’ is an            firms having $13 million or less in
                                               own and/or lease for the transmission of                entity with average gross revenues of                 annual receipts. According to
                                               voice, data, text, sound, and video using               $15 million for each of the three                     Commission staff review of the BIA
                                               wired telecommunications networks.                      preceding years. The SBA has approved                 Publications, Inc., Master Access
                                               Transmission facilities may be based on                 these small business size standards. The              Television Analyzer Database as of May
                                                                                                       Commission auctioned geographic area                  16, 2003, about 814 of the 1,220
                                               a single technology or a combination of
                                                                                                       licenses in the WCS service. In the                   commercial television stations in the
                                               technologies.’’ The SBA has developed
                                                                                                       auction, there were seven winning                     United States had revenues of $12
                                               a small business size standard for this
                                                                                                       bidders that qualified as ‘‘very small                (twelve) million or less. We note,
                                               category, which is: All such firms                      business’’ entities, and one that                     however, that in assessing whether a
                                               having 1,500 or fewer employees. To                     qualified as a ‘‘small business’’ entity.             business concern qualifies as small
                                               gauge small business prevalence for                        22. Radio and Television                           under the above definition, business
                                               these cable services we must, however,                  Broadcasting and Wireless                             (control) affiliations must be included.
                                               use the most current census data that                   Communications Equipment                              Our estimate, therefore, likely overstates
                                               are based on the previous category of                   Manufacturing. This industry comprises                the number of small entities that might
                                               Cable and Other Program Distribution                    establishments primarily engaged in                   be affected by our action, because the
                                               and its associated size standard; that                  manufacturing radio and television                    revenue figure on which it is based does
                                               size standard was: All such firms having                broadcast and wireless communications                 not include or aggregate revenues from
                                               $13.5 million or less in annual receipts.               equipment. Examples of products made                  affiliated companies.
                                               According to Census Bureau data for                     by these establishments are:                             25. In addition, an element of the
                                               2007, there were a total of 996 firms in                Transmitting and receiving antennas,                  definition of ‘‘small business’’ is that the
                                               this category that operated for the entire              cable television equipment, GPS                       entity not be dominant in its field of
                                               year. Of this total, 948 firms had annual               equipment, pagers, cellular phones,                   operation. We are unable at this time to
                                               receipts of under $10 million, and 48                   mobile communications equipment, and                  define or quantify the criteria that
                                               firms had receipts of $10 million or                    radio and television studio and                       would establish whether a specific
                                               more but less than $25 million. Thus,                   broadcasting equipment. The Small                     television station is dominant in its field
                                               the majority of these firms can be                      Business Administration has established               of operation. Accordingly, the estimate
                                               considered small. In the Paging Third                   a size standard for this industry of 750              of small businesses to which rules may
                                               Report and Order, we developed a small                  employees or less. Census data for 2012               apply do not exclude any television
                                               business size standard for ‘‘small                      show that 841 establishments operated                 station from the definition of a small
                                               businesses’’ and ‘‘very small                           in this industry in that year. Of that                business on this basis and are therefore
                                               businesses’’ for purposes of determining                number, 819 establishments operated                   over-inclusive to that extent. Also as
                                               their eligibility for special provisions                with less than 500 employees. Based on                noted, an additional element of the
                                               such as bidding credits and installment                 this data, we conclude that a majority of             definition of ‘‘small business’’ is that the
                                               payments. A ‘‘small business’’ is an                    manufacturers in this industry is small.              entity must be independently owned
                                                                                                          23. Software Publishers. Since 2007                and operated. We note that it is difficult
                                               entity that, together with its affiliates
                                                                                                       these services have been defined within               at times to assess these criteria in the
                                               and controlling principals, has average
                                                                                                       the broad economic census category of                 context of media entities and our
                                               gross revenues not exceeding $15
                                                                                                       Custom Computer Programming                           estimates of small businesses to which
                                               million for the preceding three years.                  Services; that category is defined as                 they apply may be over-inclusive to this
                                               Additionally, a ‘‘very small business’’ is              establishments primarily engaged in                   extent. There are also 2,117 low power
                                               an entity that, together with its affiliates            writing, modifying, testing, and                      television stations (LPTV). Given the
                                               and controlling principals, has average                 supporting software to meet the needs of              nature of this service, we will presume
                                               gross revenues that are not more than $3                a particular customer. The SBA has                    that all LPTV licensees qualify as small
                                               million for the preceding three years.                  developed a small business size                       entities under the above SBA small
                                               The SBA has approved these small                        standard for this category, which is                  business size standard.
                                               business size standards. An auction of                  annual gross receipts of $25 million or                  26. The Commission has, under SBA
                                               Metropolitan Economic Area licenses                     less. According to data from the 2007                 regulations, estimated the number of
                                               commenced on February 24, 2000, and                     U.S. Census, there were 41,571                        licensed NCE television stations to be
                                               closed on March 2, 2000. Of the 985                     establishments engaged in this business               380. We note, however, that, in
                                               licenses auctioned, 440 were sold. Fifty-               in 2007. Of these, 40,149 had annual                  assessing whether a business concern
                                               seven companies claiming small                          gross receipts of less than $10,000,000.              qualifies as small under the above
Lhorne on DSK30JT082PROD with PROPOSALS




                                               business status won. Also, according to                 Another 1,422 establishments had gross                definition, business (control) affiliations
                                               Commission data, 365 carriers reported                  receipts of $10,000,000 or more. Based                must be included. Our estimate,
                                               that they were engaged in the provision                 on this data, the Commission concludes                therefore, likely overstates the number
                                               of paging and messaging services. Of                    that the majority of the businesses                   of small entities that might be affected
                                               those, we estimate that 360 are small,                  engaged in this industry are small.                   by our action, because the revenue
                                               under the SBA-approved small business                      24. NCE and Public Broadcast                       figure on which it is based does not
                                               size standard.                                          Stations. The Census Bureau defines                   include or aggregate revenues from


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00030   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                               78544                Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules

                                               affiliated companies. The Commission                    Alert Messages, incorporating future                  II. Further Notice of Proposed
                                               does not compile and otherwise does                     technical advancements to improve                     Rulemaking
                                               not have access to information on the                   WEA, developing consumer education
                                                                                                                                                             A. Ensuring the Provision of Effective
                                               revenue of NCE stations that would                      tools, and improving WEA
                                                                                                                                                             WEA Alert Messages
                                               permit it to determine how many such                    transparency.
                                               stations would qualify as small entities.                  31. With respect to ensuring the                   1. Defining the Modes of Participation
                                               D. Description of Projected Reporting,                  provision of effective WEA Alert                      in WEA
                                               Recordkeeping, and Other Compliance                     Messages, we seek comment on whether                  a. Discussion
                                               Requirements                                            there are any particular considerations
                                                                                                       that we should take into account when                   33. We propose to adopt definitions
                                                 27. This FNPRM proposes new or                                                                              for participation in WEA ‘‘in whole’’
                                               modified reporting or recordkeeping                     defining the nature of a Participating
                                                                                                       CMS Provider’s participation in WEA                   and ‘‘in part’’ based on the attestations
                                               requirements. We seek comment on                                                                              that CMS Providers are required to offer
                                               whether the reporting, recordkeeping,                   due to the electing entity’s size. We also
                                                                                                       seek comment on whether non-                          in their election letters, and on the
                                               and other compliance requirements we                                                                          notifications that CMS Providers offer
                                               adopt today should affect all entities in               nationwide Participating CMS Providers
                                                                                                                                                             potential subscribers at the point of sale.
                                               the same manner, or whether we should                   require the regulatory flexibility
                                                                                                                                                             Specifically, we propose to define CMS
                                               make special accommodations for non-                    implicated by certain provisions of
                                                                                                                                                             Providers participating in WEA ‘‘in
                                               nationwide entities.                                    Sections 10.330 and 10.500, and if so,
                                                                                                                                                             whole’’ as CMS Providers that have
                                                 28. We propose to require                             whether we should retain the flexibility
                                                                                                                                                             agreed to transmit WEA Alert Messages
                                               Participating CMS Providers, to gather,                 that the current language of those rules
                                                                                                                                                             in a manner consistent with the
                                               analyze and report on system                            may provide only as applicable to them.
                                                                                                                                                             technical standards, protocols,
                                               performance metrics such as the geo-                    With respect to incorporating technical
                                                                                                                                                             procedures, and other technical
                                               targeting, latency, and availability and                advancements to improve WEA, we seek
                                                                                                                                                             requirements implemented by the
                                               reliability. We propose to require                      comment on whether support for
                                                                                                                                                             Commission in the entirety of their
                                               Participating CMS Providers to offer                    additional languages would be unduly                  geographic service area and to all
                                               potential subscribers notice at the point               burdensome for non-nationwide                         mobile devices on their network.
                                               of sale that more accurately reflects the               Participating CMS Providers, and if so,               Similarly, we propose to define CMS
                                               extent to which they will offer WEA. We                 whether there are steps that we can take              Providers participating in WEA ‘‘in
                                               seek comment on whether Participating                   to accommodate these entities to make                 part’’ as CMS Providers that have agreed
                                               CMS Providers should be required to                     compliance more feasible. We also seek                to transmit WEA Alert Messages in a
                                               update their election to participate in                 comment on whether alternative geo-                   manner consistent with the technical
                                               WEA. We seek comment on the costs of                    targeting standards would be                          standards, protocols, procedures, and
                                               compliance.                                             appropriate for non-nationwide                        other technical requirements
                                               E. Steps Taken To Minimize the                          Participating CMS Providers. With                     implemented by the Commission in
                                               Significant Economic Impact on Small                    respect to developing consumer                        some, if not all of their geographic
                                               Entities, and Significant Alternatives                  education tools, we seek comment on                   service area, and to some, if not all of
                                               Considered                                              whether we should give special                        the mobile devices on their network. We
                                                                                                       consideration to non-nationwide                       seek comment on these proposed
                                                  29. The RFA requires an agency to                    entities if we were to require
                                               describe any significant alternatives that                                                                    definitions for CMS Provider
                                                                                                       Participating CMS Providers to offer a                participation in WEA. What are the
                                               it has considered in developing its                     consistent menu of opt-out choices, and
                                               approach, which may include the                                                                               technical prerequisites to offering WEA
                                                                                                       on whether non-nationwide                             in a geographic area where a
                                               following four alternatives (among                      Participating CMS Providers should be
                                               others): ‘‘(1) The establishment of                                                                           commercial mobile service is available?
                                                                                                       required to make more lenient                         What factors lead Participating CMS
                                               differing compliance or reporting
                                                                                                       disclosures at the point of sale. Finally,            Providers to offer WEA in a geographic
                                               requirements or timetables that take into
                                                                                                       with respect to improving WEA                         area smaller than the area in which they
                                               account the resources available to small
                                                                                                       transparency, we propose the use of                   offer commercial mobile service, or to
                                               entities; (2) the clarification,
                                                                                                       performance, rather than design                       fewer than all mobile devices on their
                                               consolidation, or simplification of
                                                                                                       standards to collect information relevant             network?
                                               compliance and reporting requirements
                                                                                                       to our analysis of WEA’s system                         34. We also seek comment on our
                                               under the rule for such small entities;
                                                                                                       integrity. We also seek comment on                    proposal to incorporate the extent to
                                               (3) the use of performance rather than
                                                                                                       whether it would be appropriate to                    which CMS Providers offer WEA on
                                               design standards; and (4) an exemption
                                                                                                       adopt an alternative, less frequent                   mobile devices on their networks into
                                               from coverage of the rule, or any part
                                                                                                       reporting requirement for non-                        our definitions of participation in whole
                                               thereof, for such small entities.’’
                                                  30. As noted in paragraph 1 above,                   nationwide Participating CMS                          and in part. Bluegrass Cellular states
                                               this FNPRM initiates a rulemaking to                    Providers, and on whether such                        that ‘‘participation in whole has no
                                               update the rules governing the WEA                      Participating CMS Providers should also               bearing on the number or percentage of
                                               system by which Participating CMS                       be allowed to collect less granular data              devices on the network that are WEA
                                               Providers may elect to transmit                         on system performance in order to                     capable.’’ If this were the case, however,
                                               emergency alerts to the public, a goal                  reduce any cost burdens entailed by                   could a CMS Provider that offers WEA
Lhorne on DSK30JT082PROD with PROPOSALS




                                               mandated by the WARN Act and                            these proposed recordkeeping and                      on only one mobile device qualify as
                                               consistent with the Commission’s                        reporting requirements.                               participating in whole? Would this be
                                               obligation to protect the lives and                     F. Federal Rules That May Duplicate,                  consistent with a common-sense
                                               property of the public. Primarily, this                 Overlap, or Conflict With the Proposed                interpretation of ‘‘in whole’’
                                               FNPRM seeks comment on four general                     Rules                                                 participation, or with our requirement
                                               categories of proposed rule changes:                                                                          that only CMS Providers participating in
                                               Ensuring the provision of effective WEA                   32. None.                                           part must disclose at the point of sale


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00031   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                                                    Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules                                           78545

                                               that WEA may not be available on all                    Participating CMS Providers make WEA                  become necessary to understanding the
                                               devices on this provider’s network?                     available using all available network                 Nation’s readiness in times of disaster?
                                                 35. If participation in WEA in whole                  technologies. To what extent should                     38. We anticipate that adopting these
                                               entails offering WEA on all mobile                      Participating CMS Providers’ attestation              definitions for the modes of
                                               devices on the network, we seek                         that they will ‘‘support the development              Participation in WEA would improve
                                               comment on how ‘‘mobile devices’’                       and deployment of technology for the                  long-term participation in WEA while
                                               should be defined. For purposes of                      ‘C’ interface, the CMS Provider                       incenting achievement of evolving WEA
                                               WEA, Section 10.10(j) defines ‘‘mobile                  Gateway, the CMS Provider                             objectives, consistent with Participating
                                               devices’’ as ‘‘[t]he subscriber equipment               infrastructure, and mobile devices with               CMS Providers technology refresh cycle.
                                               generally offered by CMS providers that                 WEA functionality’’ be read as a                      We seek comment on this analysis.
                                               supports the distribution of WEA Alert                  commitment to support WEA using all                   What steps can we take to encourage
                                               Messages.’’ This definition would                       available network technologies? To                    Participating CMS Providers to increase
                                               encompass any mobile device                             what extent do Participating CMS                      their engagement with WEA
                                               connected to a Participating CMS                        Providers currently use available                     voluntarily? Further, we seek comment
                                               Providers’ network that is capable of                   technologies, such as Wi-Fi and small                 on whether clearly delineated modes of
                                               receiving WEA Alert Messages,                           cells, in support of their WEA                        participation in WEA, taken together
                                               including but not limited to LTE-                       deployments? To the extent that                       with a renewed election requirement,
                                               enabled and future generation tablet                    Participating CMS Providers do not                    would facilitate emergency management
                                               computers, and phablets. The record                     leverage all available technologies to                agencies’ response planning efforts by
                                               shows, however, that there is significant               further their participation in WEA, we                evincing the extent to which WEA is
                                               variation among Participating CMS                       seek comment on any factors that have                 available in local communities. To what
                                               Providers with respect to mobile devices                contributed to this decision. We seek                 extent could information about each
                                               on their networks that support WEA                      comment on any additional                             Participating CMS Provider’s WEA
                                               capability. For example, the Department                 technologies already commercially                     service offerings by geographic area,
                                               of Homeland Security’s WEA Mobile                       deployed in CMS networks that could                   device, and technology facilitate
                                               Penetration Strategy Report shows that                  be leveraged in support of WEA, and on                community reliance on WEA as an
                                               WEA is already available on some                        any additional functionalities that they              emergency management tool? What
                                               tablets, including iPads running iOS 6                  may enable.                                           steps can we take to make this
                                               or greater, and emergency managers                                                                            information as useful as possible to
                                               agree that WEA should be made                              37. We seek comment on whether, in                 emergency management agencies while
                                               available to the public ‘‘by all available              the event we adopt new definitions for                limiting burdens on Participating CMS
                                               means,’’ including on tablets. On the                   participation in WEA, it would be                     Providers? Are there alternative
                                               other hand, CTIA suggests that while                    appropriate to require CMS Providers to               approaches that we could consider in
                                               4G–LTE tablets can be WEA capable,                      refresh and renew their election to                   order to accomplish our objective of
                                               Wi-Fi-only tablets cannot, and states                   participate in WEA. Further,                          incenting increased engagement with
                                               that ‘‘even if there are LTE-enabled                    notwithstanding whether we ultimately                 WEA by Participating CMS Providers
                                               tablets with the capability to receive cell             adopt new definitions for WEA                         and emergency management agencies?
                                               broadcast messages through the network                  participation, have the nature of CMS
                                                                                                       networks (having evolved from 2 and 3G                2. Infrastructure Functionality
                                               infrastructure, additional mobile device
                                               behavior standards and device                           to 4G technologies) and the                              39. We propose to amend Sections
                                               development are required to support the                 requirements of Part 10 changed                       10.330 and 10.500 to delete parallel
                                               handling and presentation of WEA                        sufficiently since WEA’s deployment to                statements that ‘‘WEA mobile device
                                               messages.’’ AT&T simply concludes that                  merit a renewed election? How                         functionality is dependent on the
                                               they ‘‘do not believe customers could                   frequently, if at all, should Participating           capabilities of a Participating CMS
                                               view WEA messages on their existing                     CMS Providers be required to update                   Provider’s delivery technologies’’ and
                                               tablets.’’ We seek comment on the                       their election in order to provide the                that ‘‘[i]nfrastructure functions are
                                               technical characteristics needed in a                   Commission and the public with an up-                 dependent upon the capabilities of the
                                               device to allow it to receive WEA Alert                 to-date account of their WEA service                  delivery technologies implemented by a
                                               Messages. Would it be advisable for us                  offerings? Alternatively, should the                  Participating CMS Provider.’’ Since the
                                               to revise our definition of the term                    occurrence of a certain event or events               time these provisions were adopted,
                                               ‘‘mobile device’’ in our Part 10 rules to               trigger a Participating CMS Provider’s                Participating CMS Providers have
                                               reflect the technical prerequisites to                  obligation to renew their election? If so,            overwhelmingly elected to utilize cell
                                               supporting WEA service? Finally, we                     what specific event or events should                  broadcast technology in fulfillment of
                                               seek comment on whether there are any                   give rise to a requirement for a                      their WEA election. Participating CMS
                                               barriers that may prevent the delivery of               Participating CMS Provider to renew                   Providers’ infrastructure has proven to
                                               WEA to the full range of consumer                       their election? We seek comment on                    be universally capable of the basic
                                               devices for which Participating CMS                     steps that we can take to mitigate any                functionalities described by Section
                                               Providers may wish to provide                           burden that disclosure of this                        10.330 and 10.500. Accordingly, we
                                               emergency alerts, and which could fall                  information may present for                           believe these provisions are no longer
                                               within the scope of the WARN Act.                       Participating CMS Providers, and                      necessary. Moreover, removing these
                                                 36. In addition to defining                           especially non-nationwide Participating               provisions from our Part 10 rules would
                                               participation in WEA in whole and in                    CMS (e.g., small, regional, and rural                 likely clarify for emergency
Lhorne on DSK30JT082PROD with PROPOSALS




                                               part with reference to the extent to                    providers). To what extent would any                  management agencies considering
                                               which Participating CMS Providers offer                 information that Participating CMS                    whether to become authorized as WEA
                                               WEA in the entirety of their geographic                 Providers may be required to disclose be              alert initiators that the alerting service
                                               service area and to all mobile devices                  considered sensitive? As WEA has                      WEA offers is capable of providing these
                                               operating on their networks, we seek                    evolved into a vital and relied-upon                  critical functions, especially when taken
                                               comment on whether these definitions                    component of the Nation’s public safety               together with the performance reporting
                                               should include the extent to which                      infrastructure, has this information                  and alert logging requirements


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00032   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                               78546                Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules

                                               discussed below. We seek comment on                     If WEA Alert Messages are retained past               FY2016 Omnibus Appropriations
                                               this analysis.                                          this expiration time, Denver OEMHS                    Explanatory Statement directed the FCC
                                                  40. We seek comment on whether                       expresses concern that users will view                to report to the Appropriations
                                               Providers CMS Providers, and                            expired Alert Messages and assume that                Committee on all regulatory and
                                               particularly non-nationwide CMS                         they are current, causing confusion and               statutory changes that would be
                                               Providers (small, rural or regional                     panic. Where Alert Messages are                       necessary to ensure that earthquake-
                                               Participating CMS Providers), continue                  preserved for user review, for how long               related emergency alerts can be received
                                               to require the flexibility that this                    are they preserved? If Alert Messages                 by the public in fewer than three
                                               language may provide. There is no                       continue to be preserved after the                    seconds using IPAWS and its associated
                                               record about why these caveats remain                   underlying emergency condition has                    alerting systems, including WEA.
                                               necessary given changes in technology                   expired, are expired Alert Messages                   Earthquake warnings are currently
                                               over the four years since WEA’s                         clearly marked as such to prevent user                issued as Imminent Threat Alerts, but it
                                               deployment. Does the flexibility that                   confusion? To what extent do                          is unclear whether Participating CMS
                                               this language may provide enable CMS                    Participating CMS Providers’ existing                 Providers’ WEA infrastructure is able to
                                               Providers to participate in WEA that                    practices achieve our goal of providing               process and transmit these Alert
                                               otherwise would be unable to do so? We                  subscribers with a straightforward                    Messages fast enough for them to
                                               invite comment from any Participating                   method of accessing Alert Messages                    provide timely warning to the public,
                                               CMS Provider that would no longer be                    until they expire?                                    particularly to those that are closest to
                                               able to participate in WEA in whole or                     43. Based on the comments, we                      the epicenter. To be effective, it is
                                               in part were we to remove this language                 believe that having continued access to               crucial that these messages are delivered
                                               from Sections 10.330 and 10.500. Such                   WEA Alert Messages, including                         as rapidly as possible because, in order
                                               commenters should specify the manner                    information regarding protective                      to be effective, they must be delivered
                                               in which their WEA service would be                     measures the public can take to protect               to the public in advance of fast-
                                               unable to comply with the requirements                  life and property, could promote                      travelling seismic waves. ATIS states
                                               of Sections 10.330 and 10.500 were we                   superior public safety outcomes.                      that it would be technically feasible to
                                               to remove the prefatory language from                   NYCEM and APCO have already                           transmit earthquake-related Alert
                                               those Sections, while still being capable               suggested several use cases in which                  Messages from the Alert Gateway upon
                                               of providing the WEA service described                  public response outcomes could be                     receipt in order to expedite their
                                               elsewhere in Part 10. Similarly, would                  improved through easy access to active                transmission to the public. AT&T states,
                                               removing this language make any WEA-                    Alert Messages, such as to review                     however that ‘‘[w]ithout a re-design of
                                               capable mobile devices incapable of                     details about shelter locations and                   the entire system, it is not possible to
                                               continuing to support WEA? If so, why?                  commodity distribution points, and to                 prioritize WEA messages on anything
                                               We seek comment on whether, if we                       recall complex information presented in               other than a FIFO basis.’’
                                               retain this language at all, it should be               longer WEA Alert Messages. Further,
                                               modified to apply only to non-                                                                                   45. We propose to require
                                                                                                       FEMA states that requiring appropriate                Participating CMS Providers to deliver
                                               nationwide Participating CMS                            alert preservation ‘‘would reduce user
                                               Providers.                                                                                                    earthquake-related Alert Messages to the
                                                                                                       confusion, make training easier, and                  public in fewer than three seconds,
                                               3. Alert Message Preservation                           would require only one educational                    measured from the time an earthquake-
                                                  41. We propose to amend Section                      campaign if preservation was consistent               related Alert Message is created to when
                                               10.500 to state that WEA-capable mobile                 across platforms.’’ FEMA further states               it is delivered and displayed at the
                                               devices must preserve Alert Messages in                 that requiring appropriate alert                      mobile device. We seek comment on the
                                               an easily accessible format and location                preservation ‘‘could alleviate some                   parameters for WEA to deliver
                                               until the Alert Message expires. We seek                milling behavior, as some will search for             earthquake alerts in less than three
                                               comment on this proposal. We seek                       alerts on the internet once dismissed to              seconds, including any operational or
                                               comment on the various approaches that                  find the content.’’ We seek comment on                regulatory changes that may be
                                               Participating CMS Providers currently                   these analyses, as well as on additional              necessary in order to achieve this
                                               take to Alert Message preservation, and                 use cases in which access to pending                  objective. We seek comment on the
                                               on any best practices that have emerged                 Alert Messages could have public safety               appropriate points by which to measure
                                               in this area. We seek comment on                        benefits.                                             the applicable delivery timeframe.
                                               whether we should standardize the                       4. Earthquake Alert Prioritization                    Should the applicable timeframe be
                                               manner in which Participating CMS                                                                             measured from the time the alert
                                               Providers preserve Alert Messages,                      a. Background                                         originator issues the earthquake alert to
                                               informed by relevant best practices.                       44. As we discussed in the Report and              the time it arrives at the end user
                                                  42. We seek comment on the extent to                 Order, Sections 10.320 and 10.410 of the              device? In order to meet our end-to-end
                                               which Participating CMS Providers                       Commission’s WEA rules require                        latency objective while respecting the
                                               currently offer users the ability to access             Participating CMS Providers to program                limitations of Participating CMS
                                               Alert Messages after they have been                     their Alert Gateways to process Alert                 Provider infrastructure, should the
                                               viewed and dismissed. Is Blackberry,                    Messages on a FIFO basis, except for                  delivery delay from the IPAWS Alert
                                               Android and Windows’ practice of                        Presidential Alerts, which must be                    Gateway to the end user be limited to
                                               providing access to dismissed Alert                     processed ‘‘upon receipt,’’ before any                two seconds? If Alert Messages are not
                                               Messages in an ‘‘inbox’’ or in ‘‘message                non-Presidential Alert Messages that                  received by all WEA-capable mobile
Lhorne on DSK30JT082PROD with PROPOSALS




                                               history’’ consistent among all devices                  may also be queued for transmission. In               devices in the target area
                                               and providers? Section 10.420 specifies                 the WEA NPRM, we sought comment on                    simultaneously, how should we
                                               ‘‘Expiration Time’’ as a required CAP                   whether we should amend Section                       determine whether earthquake alerts are
                                               element in WEA Alert Messages. Is it                    10.410 of the Commission’s rules to                   being delivered on time to meet our
                                               feasible to use this CAP element as a                   address prioritization at the CMS                     proposed requirement? We seek
                                               basis for identifying the time at which                 Provider’s Gateway, in transit, and at                comment on these proposals, as well as
                                               an Alert Message should be discarded?                   the mobile device. Subsequently, the                  any potential alternatives. We also seek


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00033   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                                                    Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules                                           78547

                                               comment on their costs and benefits. In                 and on when this standard could                       analysis, including to on the extent to
                                               addition, we seek comment on the                        feasibly be achieved. In the alternative,             which such prioritization would
                                               implementation timeframe in which                       we seek comment on whether a different                mitigate earthquake-related losses and
                                               delivery of earthquake alerts in fewer                  Alert Message latency requirement                     on the costs of any related upgrades to
                                               than three seconds could be achieved.                   would strike a more appropriate balance               WEA to permit such prioritization.
                                               Would this be achievable within the                     between the costs of prioritization and               5. Disaster Relief Messaging
                                               next thirty months? If not, how much                    the benefits of earthquake early
                                               time would be needed?                                   warning. With respect to AT&T’s                          48. Commenters address several
                                                  46. In order to help eliminate any                   perspective that changing the way that                potential uses for WEA as a secondary
                                               delays that could unnecessarily affect                  Alert Messages are prioritized would                  messaging service, i.e., a tool for
                                               the delivery of an earthquake alert, we                 require a ‘‘re-design of the entire                   communicating to the public emergency
                                               seek comment on whether we should                       system,’’ we seek comment on what, if                 instructions intended to supplement
                                               require prioritization of earthquake-                   any aspects of the WEA system would                   information provided in the initial
                                               related Alert Messages at the CMS                       need to be redesigned in order to allow               (primary) message. For example,
                                               Provider Alert Gateway by processing                                                                          NYCEM, Ashtabula County EMA and
                                                                                                       earthquake alerts to be delivered to the
                                               them ‘‘upon receipt,’’ before any non-                                                                        the California Governor’s OES observe
                                                                                                       public in fewer than three seconds.
                                               Presidential Alert that may also be                                                                           that our new Alert Message
                                                                                                       Why, if at all, would changing the way
                                               queued for transmission. We expect that                                                                       classification, Public Safety Messages,
                                                                                                       that the Participating CMS Provider
                                               prioritization at the CMS Provider Alert                                                                      creates a framework for secondary
                                                                                                       Alert Gateway prioritizes WEA Alert
                                               Gateway would remove the possibility                                                                          messaging that can assist with disaster
                                                                                                       Messages affect any aspect of the WEA                 recovery efforts. In the Alerting
                                               of any queuing delay that may occur
                                                                                                       system other than the Participating CMS               Paradigm NPRM as well as in the WEA
                                               due to simultaneous arrival of multiple
                                                                                                       Provider Alert Gateway itself? From a                 NPRM, we sought comment on the
                                               alerts. We seek comment on the extent
                                                                                                       technical standpoint, how is it currently             extent to which emergency managers
                                               to which prioritizing earthquake alerts
                                                                                                       possible to prioritize Presidential Alerts            leverage targeted community feedback
                                               at the Alert Gateway would reduce their
                                                                                                       but not other types of Alert Messages?                during and after emergency situations to
                                               end-to-end latency in instances where
                                                                                                       We anticipate that changing the manner                disseminate and gather information. We
                                               the Alert Gateway is processing more
                                                                                                       in which this Gateway handles                         observed that the Peta Jakarta initiative
                                               than one Alert Message at a time, as
                                                                                                       earthquake alerts would necessitate                   in Indonesia may provide an example of
                                               well as in other instances. We also seek
                                               comment on whether it would be                          revisions to Gateway software, and                    how a government alert initiator can
                                               appropriate to prioritize earthquake                    relevant standards. We seek comment                   leverage crowdsourced data to increase
                                               alerts in transit over other Alert                      on this analysis. Can the Participating               the overall effectiveness of alerts. While
                                               Messages or control channel activity if                 CMS Provider Alert Gateway’s                          many emergency management agencies
                                               giving them elevated priority at the                    standards and software be updated to                  expressed concern about the potential
                                               Participating CMS Provider Alert                        allow it to distinguish earthquake alerts             for an additional data stream for
                                               Gateway would not sufficiently reduce                   from other Imminent Threat Alerts, for                crowdsourced information to
                                               delivery latency for them to arrive on                  example, by reference to the its CAP                  overwhelm already understaffed Public
                                               time to save lives. We note that WEA                    ‘‘event code’’ parameter? If not, what                Safety Answering Points (PSAPs),
                                               Alert Message segments are transmitted                  steps should we take to allow for                     ‘‘NYCEM strongly believes that the
                                               by the Radio Access Network (RAN)                       earthquake-related alerts to be treated               future of crowdsourcing is through
                                               every 80ms to 5.12 seconds. Could                       differently from other Imminent Threat                leveraging individual consumer cellular
                                               standardizing the transmission                          Alerts? We anticipate that reducing the               phones by upgrading the Wireless
                                               periodicity of WEA message segments                     end-to-end latency for earthquake alerts              Emergency Alert System to support
                                               reduce end-to-end alert delivery latency                will facilitate the use of WEA during                 bidirectional, ‘‘many-to-one’’
                                               for all WEA Alert Messages? What are                    such incidents, providing a unique                    communication.’’ CSRIC V finds that the
                                               the advantages and disadvantages of                     mechanism in the United States for                    ability to gather information from the
                                               shorter WEA transmission periods? Can                   warning the public about earthquakes                  community (many-to-one
                                               they be changed dynamically? We seek                    before the damaging tremors occur. We                 communication) can make alerting (one-
                                               comment on the extent to which giving                   observe that Japan’s Earthquake and                   to-many communication) more effective
                                               earthquake alerts priority at the Alert                 Tsunami Warning System (ETWS) is                      if ‘‘appropriately integrated into
                                               Gateway, in transit, and through other                  currently the only earthquake early                   operations in a way that is responsive to
                                               means could enable earthquake-related                   warning service in the world that                     the context of operation.’’ CSRIC V
                                               Alert Messages to be delivered to the                   integrates mass earthquake-related                    identifies three use cases where many-
                                               public in fewer than three seconds.                     communications with cellular networks.                to-one communications could be a
                                               Even if prioritization of earthquake                    We anticipate that making WEA an                      particularly beneficial supplement to
                                               alerts at the Alert Gateway, by itself,                 effective platform for early earthquake               one-to-many communications, gathering
                                               would not be sufficient, should we                      warnings could, in combination with                   targeted community feedback, assessing
                                               require such prioritization as an                       other earthquake mitigation efforts, help             evacuation compliance, and during
                                               intermediate step towards this goal? We                 to mitigate the $4.4 billion dollars in               active shooter scenarios. CSRIC V
                                               also seek comment on whether any                        earthquake-related losses FEMA                        recommends that ‘‘FEMA should
                                               other types of events merit higher                      estimates that the United States suffers              investigate modifying IPAWS to support
                                                                                                       annually, by saving lives and preventing              ‘[m]any to one’ communication and data
Lhorne on DSK30JT082PROD with PROPOSALS




                                               priority treatment because of their
                                               extreme time sensitivity (e.g., hurricane,              and mitigating injuries, thereby                      collection,’’ that ‘‘ATIS should study the
                                               tornadoes, bioterrorism, epidemic                       reducing income loss and by helping to                feasibility of mechanisms for the
                                               crises).                                                mitigate damage to infrastructure by                  delivery of ‘‘many to one’’ data to FEMA
                                                  47. We seek comment on any                           alerting members of the public who are                IPAWS,’’ and that the Commission
                                               technical issues that prioritizing                      in a position to take preparatory actions             should convene a panel of relevant
                                               earthquake alerts in transit might                      to prevent damage in the event of an                  experts to promote data science literacy
                                               present for Participating CMS Providers,                earthquake. We seek comment on this                   among emergency managers and


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00034   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                               78548                Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules

                                               establish best practices for using data                 circumstances. Would such an approach                 circumstances where the public would
                                               gathered from ‘‘social media’’                          make WEA more useful to emergency                     benefit from the receipt of multimedia
                                               monitoring. NAB and NPR also                            managers in disaster relief situations?               content over WEA cell broadcast, even
                                               encourage the Commission to recognize                                                                         if they have to wait a minute to receive
                                                                                                       B. Incorporating Future Technical
                                               the consumer benefits of Alert Messages                                                                       it. We therefore propose to require
                                                                                                       Advancements To Improve WEA
                                               that direct the public to turn on their                                                                       support for multimedia content only in
                                               radios for additional information during                1. Multimedia Alerting                                Public Safety Messages, which may
                                               disaster recovery efforts.                                 51. As noted above, we are committed               contain information that is not as time-
                                                  49. In light of the foregoing, we seek               to allowing the public to realize the                 sensitive as other types of Alert
                                               comment on the potential for WEA to                     benefits of multimedia content in WEA,                Messages. As Alert Messages in the
                                               serve as a secondary messaging tool for                 and we propose that an appropriate path               Public Safety Message classification are
                                               emergency managers, specifically                                                                              designed for issuance for in connection
                                                                                                       to achieve this goal would be to require
                                               during disaster relief efforts.                                                                               with Alert Messages of other types, we
                                                                                                       support for certain multimedia content,
                                               Specifically, we seek comment on how                                                                          believe they would provide an
                                                                                                       including thumbnail-sized images and
                                               to enhance WEA’s support for many-                                                                            appropriate vehicle for multimedia-
                                                                                                       hazard symbols, in Public Safety
                                               back-to-one communication to facilitate                                                                       enabled content even when they cannot
                                                                                                       Messages on 4G LTE and future
                                               emergency managers’ response planning                                                                         be delivered until minutes after the
                                                                                                       networks. We recognize that
                                               efforts, and on whether WEA can be                                                                            initial Imminent Threat or AMBER Alert
                                                                                                       Participating CMS Providers have
                                               made a more useful tool during and                                                                            delivers the primary, text-based Alert
                                                                                                       concerns about message delivery latency
                                               after emergencies by facilitating its                                                                         Message. We seek comment on this
                                                                                                       and network congestion that may result
                                               ability to interface other authoritative                                                                      analysis.
                                               sources of information. Are there                       from including multimedia in WEA                         53. We seek comment on any
                                               existing needs or gaps in the public                    Alert Messages. Further, we                           appropriate technical constraints that
                                               communications tools currently                          acknowledge the record indicates that                 should apply to the multimedia content
                                               available to emergency managers for use                 further standards development is                      that Participating CMS Providers would
                                               during disaster relief efforts that WEA                 necessary to support multimedia                       be required to support. We anticipate
                                               can fill? What, if any, critical capacities             capabilities in WEA. As we discuss in                 that constraints on the permissible size
                                               does WEA lack that could inhibit its                    further detail below, we believe these                of multimedia data files would also help
                                               utility for post-disaster                               issues can be addressed given an                      Participating CMS Providers to manage
                                               communications?                                         appropriate regulatory framework and                  network loading. The ATIS Feasibility
                                                  50. We seek comment on                               timeframe for compliance. Accordingly,                Study for WEA Supplemental Text
                                               improvements to WEA that we should                      we seek to develop the record on data                 shows that transmitting a thumbnail-
                                               consider in order to ensure that it is                  constraints and technical parameters                  sized photo over WEA cell broadcast
                                               optimized for this use, including by                    that should be associated with                        would require the transmission of at
                                               enabling WEA to be used as a tool for                   developing and implementing this                      least eleven WEA binary messages. The
                                               queueing the collection of targeted                     functionality, and on a reasonable                    ATIS Feasibility Study for WEA
                                               community feedback during disaster                      timeframe within which to require                     Supplemental Text considers a
                                               recovery efforts, to measure evacuation                 Participating CMS Providers to support                ‘‘thumbnail-sized photo’’ to be
                                               effectiveness, and during active shooter                it. Pursuant to the approach we propose               approximately 1.5 x 1.5 inches, to have
                                               scenarios, as recommended by CSRIC V.                   to adopt, emergency management                        a resolution of 72 dots per inch (DPI),
                                               We seek comment on whether using                        agencies could use Public Safety                      and to be presented as using 120 x 120
                                               WEA in this manner could assist                         Messages to transmit thumbnail-sized                  pixels. ATIS reasons that a thumbnail-
                                               emergency management agencies’                          images of evacuation routes in                        sized image would be 14,400 bytes in
                                               resource-need pairing during                            connection with Imminent Threat                       size if an 8-bit color scale is used, and
                                               emergencies, and on any additional use                  Alerts, an image of the face of a missing             would require the broadcast of 3600
                                               cases where ‘‘many-to-one’’ feedback                    child after an AMBER Alert, or specific               octets, assuming 25 percent
                                               could improve emergency response. We                    instructions for protective action to the             compression. We seek comment on
                                               seek comment from technology vendors                    access and functional needs community                 whether that 14,400 bytes would be an
                                               who have developed innovative                           through the use of hazard symbols. We                 appropriate maximum size for any
                                               solutions to aggregating and analyzing                  invite commenters to offer additional                 multimedia content that a Participating
                                               public response on the potential for                    use cases where this functionality could              CMS Provider could be required to
                                               implementation of those technologies in                 help meet the public’s need for                       transmit, as well as on any additional
                                               the emergency management context. We                    actionable, multimedia-enabled content                technical specifications or parameters
                                               seek comment on whether best practices                  during emergencies.                                   that could facilitate multimedia
                                               based in data science literacy are                         52. With respect to the potential for              transmission. We seek comment on any
                                               available to facilitate emergency                       alert delivery latency, we observe that,              other implications or considerations we
                                               managers’ skillful use of targeted                      according to the ATIS Feasibility Study               should take into account.
                                               community feedback, and if not, on                      for LTE WEA Message Length, WEA                          54. With respect to the integration of
                                               whether we should direct the Public                     Alert Message segments can be                         support for hazard symbols into WEA’s
                                               Safety and Homeland Security Bureau                     transmitted every 80 milliseconds to                  core functionality, CSRIC IV and CSRIC
                                               to convene a panel of experts to produce                5.12 seconds. We reason, therefore, that              V recommend further study. The ATIS
                                               recommendations for this purpose, as                    a thumbnail-sized image could be                      Feasibility Study for WEA Supplemental
Lhorne on DSK30JT082PROD with PROPOSALS




                                               recommended by CSRIC V. We also seek                    transmitted over WEA cell broadcast in                Text recommends that a study of the
                                               comment on the extent to which WEA                      between 0.88 seconds and 56.32                        ‘‘User Experience Design’’ covering the
                                               can be used to funnel milling behavior                  seconds. We would not want the                        ‘‘human-computer interaction’’ between
                                               towards other authoritative sources of                  transmission of multimedia content to                 mobile users and hazard symbols
                                               information, such as radio or television,               delay receipt of the most time-sensitive              should be undertaken by the WEA
                                               that may be better fit to provide critical              Alert Message text. At the same time,                 stakeholders followed by global
                                               information to the public in certain                    however, we also believe that there are               standardization. According to ATIS,


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00035   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                                                    Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules                                          78549

                                               standards would be needed to identify                   could improve Alert Message                           support for new character sets would be
                                               the specific hazard symbols appropriate                 interpretation by individuals with                    required in order to enable them to
                                               for this use, and to describe hazard                    limited English proficiency. NCMEC                    support WEA Alert Messages in
                                               warning icon delivery to the mobile                     states that multimedia content would                  languages other than English and
                                               device, either via mobile device                        ‘‘greatly enhance the immediate                       Spanish. Further, AT&T and Verizon
                                               software or cell broadcast. We seek                     usefulness of AMBER Alerts.’’ San                     observe that each additional WEA Alert
                                               comment on this analysis. Would it be                   Joaquin County OES adds that                          Message language option will require
                                               feasible to integrate support for hazard                multimedia content in WEA Alert                       Participating CMS Providers to transmit
                                               symbols into WEA using the GSM–7                        Messages would hasten protective                      an additional Alert Message, which
                                               character set or a Unicode character set?               action taking and reduce milling. We                  could threaten network capacity and
                                               If so, would this approach offer a less                 seek comment on these analyses, as well               risk alert delivery delays. In light of
                                               burdensome alternative to supporting                    as on any additional public safety                    these ongoing issues and additional
                                               hazard symbols in all Alert Messages?                   benefits that multimedia messaging may                data, we agree with T-Mobile that ‘‘[t]he
                                                  55. With respect to concerns in the                  enable. Even though Chester County                    Commission should promote further
                                               record regarding the possibility for                    EMA and The Weather Company                           study of the technical impact of
                                               increased network load, we propose to                   suggest the inclusion of multimedia                   multilingual WEA messages so that such
                                               allow Participating CMS Providers to                    would be unnecessary in light of the                  messages can be incorporated into the
                                               use network congestion mitigation                       availability of embedded references and               WEA system in the future without
                                               strategies to feasibly and timely deliver               ‘‘third party apps and television that                creating unintended, adverse impacts.’’
                                               multimedia-enabled Public Safety                        users normally use,’’ we find that                       58. Only 79 percent of individuals
                                               Messages. For example, we seek                          unique benefits could result from                     living in the United States that are 5-
                                               comment on whether staggering                           including multimedia content in Alert                 years old or older speak only English at
                                               transmission of multimedia message                      Messages, especially as Participating                 home. According to the ACS Language
                                               segments could facilitate delivery of this              CMS Providers’ ability to support this                Report, the top ten most spoken
                                               content to subscribers, while mitigating                functionality evolves along with                      languages in the U.S. among individuals
                                               potential network congestion concerns.                  advancements in technology. For                       5-years old or older are English, Spanish
                                               Would it make sense to constrain any                    example, WEA Public Safety Messages                   or Spanish Creole, Chinese, French or
                                               requirement to support multimedia to                    could be used to push an authoritative                French Creole, Tagalog, Vietnamese,
                                               devices operating on 4G LTE and future                  interactive map to every community                    Korean, Arabic, Russian, and African
                                               networks? We seek comment on best                       member with a WEA-capable mobile                      languages. English-speaking ability
                                               practices that emergency management                     device that shows the recipient’s                     varies greatly, even among speakers of
                                               agencies could implement with respect                   location relative to evacuation routes,               the top ten languages in the United
                                               to multimedia messaging if the                          shelter locations or resource distribution            States. According to recent census data,
                                               transmission of such content implicated                 points. For communities struggling to                 ‘‘less than 50 percent of those who
                                               greater delay than text-only Alert                      recover from natural disasters, for                   spoke Korean, Chinese, or Vietnamese
                                               Messages, and if Alert Messages that                    example, this functionality would hold                spoke English ‘very well.’ ’’ According
                                               contained multimedia content could not                  tremendous public safety value above                  to the ACS Language Report, ‘‘[p]eople
                                               be received by members of their                         and apart from multimedia-enabled                     who cannot speak English ‘very well’
                                               communities on legacy networks or that                  emergency information available                       can be helped with translation services,
                                               are using legacy devices that no longer                 through other sources that in any case                education, or assistance in accessing
                                               accept software updates. Recognizing                    may not be as readily available as a                  government services.’’
                                               the limitations of cell broadcast                       consumer’s mobile device. We also seek                   59. We seek comment on the potential
                                               technology, to what extent would a                      comment on whether those benefits                     benefits of requiring Participating CMS
                                               requirement to support thumbnail-sized                  would be particularly acute when                      Providers to support Alert Messages in
                                               images and hazard symbols spur                          implemented in an authoritative alerting              languages other than English and
                                               Participating CMS Providers to integrate                services such as WEA that the public                  Spanish. To what extent would
                                               new technologies into their WEA                         receives by default.                                  emergency management agencies
                                               systems that could improve their ability                                                                      initiate Alert Messages in languages in
                                               to support the low-latency transmission                 2. Multilingual Alerting                              addition to English and Spanish were
                                               of high-quality multimedia content? For                    57. We observe that, according to                  Participating CMS Providers required to
                                               example, commenters agree that                          commenters, expanding the language                    support them? To what extent would
                                               Multimedia Broadcast Multicast Service                  capabilities of WEA has potential to                  CMS Provider support for additional
                                               (eMBMS) would permit the broadcast of                   yield particular benefits for those with              languages incent emergency
                                               ‘‘large amounts of data, including                      limited English proficiency. The record               management agencies to further develop
                                               multimedia content.’’ We seek comment                   suggests, however, that the technical                 their capabilities in initiating Alert
                                               on the technical steps that would be                    issues that prevented Participating CMS               Messages in those languages where
                                               required to integrate technology that                   Providers from supporting multilingual                relevant to their respective
                                               supports the transmission of multimedia                 Alert Messages when WEA was first                     communities? What, if any, additional
                                               content into WEA.                                       deployed continue to limit their ability              steps can we take to support emergency
                                                  56. Allowing multimedia content in                   to support Alert Messages in languages                management agencies’ efforts to develop
                                               WEA Alert Messages would have                           other than English and Spanish. While                 multilingual alerting capabilities? We
                                               tremendous public safety benefits.                      FEMA states that IPAWS and CAP have                   expect that emergency management
Lhorne on DSK30JT082PROD with PROPOSALS




                                               NYCEM, FEMA and TDI, for example,                       the capacity to support Alert Messages                agencies already integrate individuals
                                               believe that allowing multimedia                        in languages other than English and                   who don’t speak English very well into
                                               content in WEA Alert Messages would                     Spanish, additional languages are not                 their communities’ emergency response
                                               significantly contribute to Alert Message               currently supported in Participating                  plans, and we seek comment on
                                               comprehension, particularly for                         CMS Provider networks. According to                   whether increasing emergency
                                               individuals with disabilities, and FEMA                 Participating CMS Providers, significant              management agencies’ multilingual
                                               adds that the use of graphical symbols                  standards-setting work and potentially                alerting capability could help to further


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00036   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                               78550                Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules

                                               improve disaster preparedness for these                 (ASL) for subscribers that are deaf or                between current capabilities and
                                               communities. How do emergency                           hard of hearing. How would the                        aspirational goals.’’
                                               management agencies currently expect                    provision of WEA Alert Messages in                       64. As we emphasize above, more
                                               individuals with limited English                        ASL allow for better accessibility to                 granular geo-targeting remains a critical
                                               proficiency to receive and respond to                   those who are ASL-fluent?                             need for both consumers and emergency
                                               emergency information? Are the                            62. In addition to any potential                    managers. Accordingly, we propose to
                                               emergency management mechanisms                         changes to the WEA character set that                 require Participating CMS Providers to
                                               currently in place sufficient to safeguard              may be required, we seek comment on                   match the target area specified by alert
                                               those individuals during crises?                        any necessary preconditions to                        originators. We anticipate that this may
                                                  60. If we were to adopt rules to                     supporting additional languages in WEA                require Participating CMS Providers to
                                               deepen WEA’s language capabilities, we                  in general, and to supporting Korean,                 leveraging the location sense of WEA-
                                               seek comment on whether we should                       Vietnamese or Chinese Alert Messages                  capable mobile devices on their
                                               prioritize support for those languages                  in particular. We also seek comment on                networks. In the following paragraphs,
                                               predominantly spoken in communities                     whether support for additional                        we seek comment on how we should
                                               where, according to Census data, 50                     languages would be burdensome for                     define ‘‘matching’’ the target area for
                                               percent or fewer speak English ‘‘very                   non-nationwide (e.g., regional, small,                purposes of any such requirement, as
                                               well’’ (e.g., Vietnamese, Chinese,                      and rural) Participating CMS Providers,               well as on steps that alert initiators and
                                               Korean). Is the area of greatest need with              and if so, whether there are steps that               Participating CMS Providers can take to
                                               respect to WEA’s language capabilities                  we can take to accommodate these                      minimize alert delivery latency and
                                               ensuring that people who struggle with                  entities to make compliance more                      maximize the amount of data available
                                               English comprehension can understand                    feasible. Would it be more appropriate                for other Alert Message content. We also
                                               emergency communications? In the                        for non-nationwide Participating CMS                  seek comment on the readiness of
                                               alternative, should we prioritize support               Providers to be required to support only              innovations that could allow alert
                                               for the largest language communities in                                                                       initiators to geo-target more flexibly,
                                                                                                       the those particular languages, other
                                               the United States, notwithstanding the                                                                        and to smaller areas.
                                                                                                       than English and Spanish, that are
                                               tendency of individuals in those                                                                                 65. As an initial matter, should a
                                                                                                       predominant in the particular areas in                Participating CMS Provider be
                                               language groups to speak English ‘‘very
                                                                                                       which they provide service? We seek                   considered to have ‘‘matched’’ the
                                               well’’? We observe, for example, that,
                                                                                                       comment on any alternative approaches                 targeted area for the purpose of this
                                               according to recent Census data, English
                                                                                                       that would help achieve our objective of              requirement if, as recommended by
                                               and Spanish are by far the most popular
                                                                                                       promoting accessibility of WEA Alert                  CSRIC V, 100 percent of devices within
                                               languages in the United States, with
                                                                                                       Messages.                                             the targeted area receive the Alert
                                               Chinese and French a distant third and
                                               fourth.                                                 3. Matching the Geographic Target Area                Message with not more than 0.1 mile
                                                  61. We seek comment on whether                                                                             overshoot? In the alternative, if
                                               supporting Alert Messages written in                       63. While our geo-targeting                        providers are leveraging the same
                                               ideographic languages, such as                          requirement, as amended above, will                   technology in the WEA context that is
                                               Vietnamese, Chinese and Korean, would                   improve WEA geo-targeting by                          being used to provide indoor location,
                                               pose unique challenges for WEA                          facilitating the delivery of Alert                    would it make sense to harmonize our
                                               stakeholders, including Participating                   Messages to a more granular polygon                   geo-targeting accuracy requirement for
                                               CMS Providers and emergency mangers.                    level, the limitations of cell broadcast-             WEA with our wireless E911 indoor
                                               We note that WEA messages use GSM                       based geo-targeting may result in                     location accuracy requirements? If not,
                                               7-bit encoding, and that the 3GPP                       continued over-alerting. According to                 why not? Further, would an alternative
                                               standard for cell broadcast allows                      CSRIC IV, the ‘‘ideal case’’ from an alert            accuracy requirement be appropriate for
                                               switching to the basic Unicode (UCS–2)                  originator perspective would be where                 non-nationwide Participating CMS
                                               character set, which includes all living                ‘‘all WEA-enabled mobile devices in the               Providers? We seek comment on any
                                               languages, in order to provide support                  geographic area affected by an                        alternative approaches to defining
                                               for modern, ideographic languages such                  emergency event would receive the                     ‘‘matching’’ for the purposes of
                                               as Kanji. Do Participating CMS                          WEA Alert Message broadcast, and no                   assessing compliance with our proposed
                                               Providers’ WEA infrastructure and                       mobile devices outside the defined alert              requirement. In circumstances where
                                               WEA-capable mobile devices support                      area would receive those particular                   Participating CMS Providers are unable
                                               this functionality? If not, what steps                  WEA Alert Message broadcasts.’’                       to match the target area, we propose that
                                               would be necessary to incorporate                       ‘‘However,’’ CSRIC IV reports, ‘‘this                 they should be required to provide their
                                               Unicode into WEA? We also seek                          ideal case cannot be realized using                   best approximation of the target area, as
                                               comment on whether emergency                            currently deployed cell broadcast                     we require in the Order. We seek
                                               management agencies would face                          alone.’’ CSRIC V recommends that the                  comment on this approach.
                                               particular difficulties in initiating Alert             Commission collaborate with WEA                          66. The record indicates that it will be
                                               Messages in ideographic languages.                      stakeholders to develop standards and                 technically feasible for Participating
                                               Does alert origination software currently               implement systems that support                        CMS Providers to comply with our
                                               support initiating Alert Messages in                    enhanced, device-based geo-targeting.                 requirement that they geo-target Alert
                                               ideographic languages? If not, what                     CSRIC V recommends that the                           Messages to an area that matches the
                                               steps would be required in order to                     Commission set a goal that Participating              target area, given appropriate time for
                                               upgrade this software? Are there                        CMS Providers geo-target Alert                        the development of relevant standards
Lhorne on DSK30JT082PROD with PROPOSALS




                                               additional standards, protocols and                     Messages in a manner that includes                    and network modifications. We expect
                                               system updates that would be required                   ‘‘100% of the targeted devices within                 that Participating CMS Providers will be
                                               to enable alerting in Vietnamese,                       the specified alert area with not more                able to geo-fence their transmission of
                                               Chinese and Korean in particular?                       than .10 mile overshoot,’’ and states that            Alert Messages by transmitting target
                                               Further, we seek comment on whether                     WEA stakeholders, including                           area coordinates to 100 percent of
                                               WEA Alert Messages can be made                          Participating CMS Providers, ‘‘have                   mobile devices in the target area, erring
                                               available in American Sign Language                     committed to working to close the gap                 on the side of over-inclusion where


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00037   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                                                    Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules                                            78551

                                               necessary. WEA-capable mobile devices                   limit, for example, if a mobile device is             technology? We observe that these
                                               would receive the Alert Message,                        turned off, or if its location services are           network-based technologies are widely
                                               including the target area coordinates,                  turned off? Should the default setting be             deployed across the United States, and
                                               and determine whether they are                          to display the Alert Message?                         particularly in urban areas. Are CMS
                                               currently located within the area those                    67. We seek comment on the extent to               Provider networks configured to be able
                                               coordinates describe. If and only if the                which polygon compression techniques                  to send a WEA Alert Message over the
                                               mobile device is within the target area,                and alert originator best practices could             control channel to these network-based
                                               it would display the Alert Message to                   maximize the amount of data that                      technologies? What steps would be
                                               the subscriber. Commenters indicate                     remains for Alert Message content if                  necessary to enable these technologies
                                               that the suppression of the Alert                       Alert Message coordinates are                         to assist in geo-targeting? Since the
                                               Messages on mobile devices that are                     transmitted along with content to WEA-                radio frequency propagation areas of
                                               outside of the target area (geo-fencing)                capable mobile devices. ATIS concludes                these technologies are significantly
                                               would allow Participating CMS                           that each coordinate pair would require               smaller than the propagation areas for
                                               Providers to match the target area                      data equivalent to that needed to                     large cell sites, do they hold potential to
                                               specified by alert originators. We seek                 display thirteen characters using current             improve geo-targeting? If not, why not?
                                               comment on this analysis, including any                 methods. However, researchers have                    We also seek comment on the reliability
                                               alternative approaches that Participating               examined methods of compressing                       of network-based technologies relative
                                               CMS Providers could use to match the                    coordinate data to consume between 9.7                to the larger transmission facilities
                                               target area or to implement a device-                   percent and 23.6 percent of this data.                Participating CMS Providers
                                                                                                       We seek comment on feasible methods                   traditionally use for WEA cell broadcast.
                                               based approach to geo-targeting. The
                                                                                                       of leveraging polygon compression                     Would relying on these technologies as
                                               record indicates that technical issues,
                                                                                                       techniques in WEA. Should such                        a path forward to further improving geo-
                                               such as potential increases in message
                                                                                                       techniques be used to set a maximum on                targeting leave the system vulnerable to
                                               delivery latency, and reductions in the
                                                                                                       the amount of data that can be                        becoming far less accurate when its
                                               amount of data available for Alert
                                                                                                       consumed by polygon coordinates?                      accuracy is needed most, including
                                               Message text, can be resolved. We seek
                                                                                                       Further, we seek comment on                           during Imminent Threat Alerts?
                                               comment on how Participating CMS
                                                                                                       appropriate best practices for the
                                               Providers will address these issues in                                                                           69. Finally, we seek comment on
                                                                                                       number of decimal places to which a
                                               conversation with other relevant WEA                                                                          whether additional, incremental
                                                                                                       coordinate should be specified in order
                                               stakeholders. We seek comment on                        to conserve Alert Message space for text.             improvements to geo-targeting could be
                                               feasible methods Participating CMS                      CSRIC V recommends that alert                         achieved through standards updates that
                                               Providers could use to mitigate sources                 originators determine the granularity of              could allow Participating CMS
                                               of alert delivery latency that may be                   alert areas using vertices with two to                Providers to support ‘‘nesting
                                               implicated by geo-targeting Alert                       five decimal places, depending on the                 polygons.’’ Nesting polygons describe
                                               Messages to an area that matches the                    nature of the hazard. CSRIC V finds that              overlapping geographic areas where one
                                               target area specified by the alert                      this would allow alert originators to                 polygon is situated, or ‘‘nests,’’ at least
                                               originator. Participating CMS Providers                 target Alert Messages to with precision               in part, within the boundaries of
                                               and ATIS agree that meeting such an                     from 1.1 km to 1.1 meters. We seek                    another, larger polygon. We seek
                                               accurate geo-targeting standard could                   comment on this recommendation and                    comment on the extent to which
                                               cause message delivery delay due to the                 analysis. We note that, under current                 existing network technologies can be
                                               device needing to determine its location                standards, a valid polygon consists of                leveraged to support nesting polygons,
                                               before displaying the message, and due                  one-hundred coordinate pairs or fewer.                provided that relevant standards are
                                               to network constraints. ATIS states that                Would rules or best practices be                      updated to support them. We anticipate
                                               ‘‘the only currently readily available                  appropriate to determine the maximum                  that a scenario where nesting polygons
                                               technology [for device-based geo-                       number of coordinate pairs that should                could be useful would be where one
                                               fencing] is GPS/GNSS’’ and that,                        be included in an Alert Message? We                   WEA Alert Message is appropriate for
                                               without network assistance, the ‘‘time to               seek comment on any additional                        broadcast in the area where an incident,
                                               acquire a GPS position can be over 13                   technical challenges that Participating               such as a chemical spill, has occurred
                                               minutes from a cold start . . . and up                  CMS Providers may face in complying                   (e.g., an instruction to shelter in place),
                                               to 30 seconds for a warm start.’’ To what               with a more accurate geo-targeting                    and another WEA Alert Message is
                                               extent could Assisted GPS reduce these                  standard, and on feasible methods of                  appropriate for broadcast in the
                                               times and to what extent would the                      overcoming them.                                      surrounding area (e.g., an instruction to
                                               CMS network be burdened by providing                       68. While we believe that a device-                evacuate). We seek comment on this
                                               this assistance? Further, we seek                       based approach is most likely to enable               example, and invite commenters to
                                               comment on how long the mobile                          Participating CMS Providers to match                  specify additional use cases where it
                                               device should wait while attempting to                  the target area, we seek comment on                   would be useful to be able to specify
                                               determine its current location (e.g.,                   whether continued focus on network-                   nesting polygons as a target area.
                                               acceptable Time-To-First-Fix (TTFF))?                   based approaches could enable                         According to ATIS, current standards
                                               We note that, in the 911 context, we                    Participating CMS Providers to meet                   support geo-targeting Alert Messages to
                                               have established a maximum TTFF                         this accuracy requirement. For example,               multiple polygons, but existing
                                               latency standard of 30 seconds for                      could geo-targeting be improved by                    standards would interpret multiple,
                                               outdoor calls. Would that same standard                 leveraging the relatively smaller                     overlapping polygons as the union of
Lhorne on DSK30JT082PROD with PROPOSALS




                                               be appropriate for geo-targeting to an                  coverage areas of network-based                       those polygons. Nesting polygons, on
                                               area that matches the target area in light              technologies, such as small cell                      the other hand, would require CMS
                                               of our concerns about alert delivery                    technology, distributed antenna systems               networks to sometimes interpret
                                               latency? Finally, what should be the                    (DAS), Wi-Fi access points, beacons,                  overlapping polygons as providing an
                                               action of the mobile device if the mobile               commercial location-based services                    instruction to ‘‘subtract’’ the internal
                                               device location cannot be determined or                 (cLBS), institutional and enterprise                  polygon from the external polygon.
                                               cannot be determined within the time                    location systems, or smart building                   According to ATIS, this functionality


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00038   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                               78552                Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules

                                               would require an update to J–STD 101                       72. While we understand that specific              location, incorporating multimedia
                                               as well as to the CAP standard. Would                   WEA capabilities for 5G networks and                  capabilities to improve message content,
                                               additional updates to alert origination                 devices are not yet developed, we                     and facilitating swifter delivery of
                                               software be required to support sending                 believe it is appropriate to seek                     critical early earthquake alerts where
                                               different messages to nested polygons?                  comment on those capabilities now in                  every second counts. Is it anticipated
                                                  70. We reason that achieving a geo-                  light of the importance of designing                  that there will be additional space for
                                               targeting standard whereby Participating                these networks and devices with WEA                   WEA in 5G system information blocks
                                               CMS Providers can match the target area                 capabilities in the early stages of                   than is currently allocated on the 4G
                                               specified by an alert originator, either                development and throughout their                      control channel? To what extent will 5G
                                               through device- or network-based                        development process. We disagree with                 introduce new capabilities that will
                                               techniques, would have tremendous                       CTIA that ‘‘it is premature at this time              permit additional life-saving
                                               benefits for public safety, and would                   to address specific WEA capabilities                  enhancements to WEA? Are there any
                                               eliminate the current dangers of poor                   that 5G might enable.’’ Participating                 existing rules governing WEA that
                                               geo-targeting that deter many emergency                 CMS Providers are already examining                   would be inapplicable to 5G or that
                                               managers from becoming authorized as                    how best to integrate 5G technologies                 would otherwise require adaptation to
                                               WEA alert originators. As discussed                     into their networks and industry                      address 5G capabilities? We seek
                                               above, alert originators continue to                    stakeholders are currently working to                 comment on how to enable further
                                               demand more accurate geo-targeting                      shape the strategic development of the                enhancements to WEA in 5G
                                               from WEA before they will rely on it for                5G ecosystem. We observe that Verizon                 technologies, and on the obligations that
                                               emergency messaging in situations                       is expected to begin 5G field trials in the           CMS Providers that elect to provide
                                               where it could be dangerous for                         next few months, and most experts                     WEA on 5G networks should incur,
                                               individuals in areas adjacent to the                    predict that 5G will be widely available              including related costs and benefits.
                                               target area to receive instructions                     as soon as 2020. Further, the record
                                               intended only for individuals within the                                                                      C. Developing Consumer Education
                                                                                                       suggests that technological upgrades can
                                               target area. Further, each incremental                                                                        Tools
                                                                                                       be costly and time-consuming, and we
                                               improvement that Participating CMS                      reason that including WEA alerts and                  1. Promoting Informed Consumer
                                               Providers can make to geo-targeting                     warnings in 5G from the beginning can                 Choice at the Point of Sale
                                               incrementally reduces alert fatigue, and                reduce total costs for Participating CMS
                                               increases the public’s trust in WEA as                  Providers and hasten the deployment of                  74. In the WEA Third Report and
                                               an alerting platform, thereby reducing                  improvements to WEA that could                        Order, the Commission adopted certain
                                               milling and, potentially, network                       benefit the public. We therefore seek to              disclosure requirements in order to
                                               congestion. We seek comment on this                     initiate a dialogue that will foster a                ensure that CMS Providers ‘‘convey
                                               reasoning. Finally, we note that the                    better understanding of how                           sufficient information’’ to the public
                                               ATIS Feasibility Study for Supplemental                 Participating CMS Providers intend to                 about the nature of their participation in
                                               Text observed that delivering target area               incorporate WEA capabilities into their               WEA. CMS Providers electing in whole
                                               coordinates to the mobile device                        5G offerings, as well as to identify areas            to transmit WEA Alert Messages are not
                                               consistent with a device-based approach                 where we can help provide regulatory                  required to provide notification of their
                                               to geo-targeting would be the first step                clarity, where needed, that can drive                 participation at the point of sale. CMS
                                               towards enabling WEA Alert Messages                     design and investment. For example,                   Providers participating in part, on the
                                               to support high-information maps, an                                                                          other hand, are required to provide clear
                                                                                                       AT&T opines that ‘‘[w]ith the standards
                                               improvement that emergency managers                                                                           and conspicuous notice to new
                                                                                                       for 5G now under development, it is
                                               universally endorse. We seek comment                                                                          subscribers of their partial election at
                                                                                                       important to have agreement that 360
                                               on this observation. We also seek                                                                             the point of sale. Specifically, CMS
                                                                                                       characters is the maximum length for 4G
                                               comment on alternative approaches we                                                                          Providers participating in part must, at
                                                                                                       and future services.’’
                                               can take to improving WEA geo-                                                                                a minimum, state the following:
                                               targeting that would meet emergency                        73. In light of the foregoing, we seek
                                                                                                       comment on how to best incorporate                       [[CMS provider]] has chosen to offer
                                               managers’ objectives while presenting                                                                         wireless emergency alerts within portions of
                                               lesser cost burdens to Participating CMS                alerts and warnings into the
                                                                                                                                                             its service area, as defined by the terms and
                                               Providers.                                              development of 5G technologies, and on
                                                                                                                                                             conditions of its service agreement, on
                                                                                                       how 5G technologies may enable further                wireless emergency alert capable devices.
                                               4. WEA on 5G Networks                                   enhancements to WEA. What additional                  There is no additional charge for these
                                                  71. As we noted in our Spectrum                      measures could the Commission take to                 wireless emergency alerts.
                                               Frontiers proceeding in July 2016, 5G                   facilitate the incorporation of WEA                      Wireless emergency alerts may not be
                                               networks ‘‘will enable valuable new                     capabilities into 5G as these networks                available on all devices or in the entire
                                               services, and accelerating the                          and devices are being designed? We                    service area, or if a subscriber is outside of
                                               deployment of those services is a                       seek comment on what, if any, steps the               the [[CMS provider]] service area. For details
                                               national priority.’’ As 5G networks and                 Commission should take to continue to                 on the availability of this service and
                                                                                                                                                             wireless emergency alert capable devices,
                                               devices are developed, we expect WEA                    ensure that WEA evolves along with
                                                                                                                                                             please ask a sales representative, or go to
                                               capabilities to evolve as well, consistent              advancements in technology in the 5G                  [[CMS provider’s URL]].
                                               with Congress’ vision in enacting the                   environment. What standards need to be
                                               WARN Act. Given the importance of our                   developed or what other mechanisms                       75. Similarly, CMS Providers electing
                                               Nation’s public alert and warning                       need to be in place to ensure that WEA                not to transmit WEA Alert Messages are
Lhorne on DSK30JT082PROD with PROPOSALS




                                               systems to promoting emergency                          will be incorporated, and what actions                required to offer, at a minimum, the
                                               response readiness, we must ensure that                 are providers undertaking already?                    following point-of-sale notification,
                                               WEA Alert Messages continue to                          Elsewhere in this FNPRM, we seek                      ‘‘[[CMS provider]] presently does not
                                               provide the public with vital and                       comment on how improvements in                        transmit wireless emergency alerts.’’ We
                                               necessary information to take                           technology can help improve WEA, in                   noted that our decision allowed, but did
                                               appropriate action to protect their                     terms of microtargeting delivery of Alert             not require the disclosure of additional
                                               families and property.                                  Messages to a precise geographic                      information regarding the technical


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00039   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                                                    Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules                                            78553

                                               limitations of the WEA service offered                  respect to CMS Providers who elect not                operating systems, and recommends
                                               by a Participating CMS Provider.                        to participate in WEA, should they be                 standardizing the presentation of opt-
                                                  76. We propose to require CMS                        required to make any additional                       out choices. On the other hand, ATIS
                                               Providers to disclose sufficient                        disclosures at the point of sale to ensure            expresses concern that ‘‘adding
                                               information at the point of sale to allow               that consumers are aware that they will               complexity to the opt-out options may
                                               customers to make an informed decision                  not be able to receive any potentially                actually increase the number of
                                               about whether they would consistently                   life-saving alerts through service with               subscribers choosing to opt-out of
                                               receive WEA Alert Messages if they                      this carrier? We seek comment on the                  WEA,’’ and Blackberry urges us to leave
                                               were to become a subscriber. To what                    potential benefits and costs that might               opt out functionality such as
                                               extent do CMS Providers voluntarily                     be associated with additional point-of-               ‘‘scheduling’’ and ‘‘time of day’’ features
                                               provide additional information at the                   sale disclosures.                                     to device manufacturers’ discretion.
                                               point of sale regarding the nature of                                                                         CSRIC V recommends that Commission
                                               their WEA participation beyond any                      2. Promoting Informed Consumer
                                                                                                                                                             collaborate with WEA stakeholders to
                                               disclosure required by our rules? Is our                Choice About the Receipt of WEA Alert
                                                                                                                                                             create a set of ‘‘minimum specifications
                                               existing requirement, which requires                    Messages
                                                                                                                                                             for an enhanced, secured and trusted,
                                               CMS Providers participating in part to                     78. Section 602(b)(2) of the WARN                  standards-based, CMSP-controlled WEA
                                               inform consumers at the point of sale                   Act provides that ‘‘any commercial                    mobile device based application . . . in
                                               that WEA ‘‘may not be available on all                  mobile service licensee electing to                   order to ensure high level support.’’
                                               devices or in the entire service area,’’                transmit emergency alerts may offer                      80. We propose to require
                                               sufficient to inform potential                          subscribers the capability of preventing              Participating CMS Providers to
                                               subscribers of whether they will receive                the subscriber’s device from receiving                implement changes to the WEA
                                               a potentially life-saving alert through                 such alerts, or classes of such alerts,               application that would provide the
                                               the Participating CMS Provider’s                        other than an alert issued by the                     public with more granular options
                                               network? If this point-of-sale                          President.’’ Section 10.500 of the                    regarding whether they receive WEA
                                               notification is insufficient to support                 Commission’s rules requires                           Alert Messages. In essence, Participating
                                               educated consumer choice among                          Participating CMS Providers’ WEA-                     CMS Providers should provide
                                               providers, what additional information                  capable mobile devices to maintain                    consumers with tools that allow them to
                                               would help to inform this choice and                    consumers’ opt-out preferences and                    receive the alerts that they want to
                                               allow market forces to more aptly                       display alerts to the consumer                        receive, in the manner they wish to
                                               influence further improvements to                       consistent with those selections.                     receive them, and during the times they
                                               WEA?                                                    Pursuant to Section 10.280, a                         wish to receive them.
                                                  77. If we base our proposed                          Participating CMS Provider may provide                   81. First, we propose to amend
                                               definitions of modes of participation in                their subscribers with the option to opt              Section 10.280(b) to require that
                                               WEA on the devices a Participating                      out of Imminent Threat and AMBER                      Participating CMS Providers offer their
                                               CMS Provider makes WEA capable, the                     Alerts, and must present the consumer                 subscribers more informed choices
                                               extent to which WEA is offered in their                 ‘‘with a clear indication of what each                among the Alert Message classifications
                                               geographic service area, and the                        option means, and provide examples of                 that they wish to receive. We seek
                                               technologies they commit to use in                      the types of messages the customer may                comment on the approaches that
                                               support of their WEA service, would it                  not receive as a result of opting out.’’              Participating CMS Providers currently
                                               be reasonable to require corresponding                  The Commission adopted these                          take to ‘‘provide their subscribers will a
                                               adjustments to consumer disclosures?                    requirements in the First Report and                  clear indication of what each [Alert
                                               We propose that, as a baseline, CMS                     Order and the Third Report and Order,                 Message] option means,’’ and on
                                               Providers should provide information                    respectively, in order to allow                       specific improvements that they could
                                               regarding the extent to which they offer                Participating CMS Providers to                        make to the WEA application to enable
                                               WEA (in what geographic areas, and on                   accommodate variations in their                       consumers to make more informed
                                               what devices) at the point of sale.                     infrastructures. In the WEA NPRM, we                  choices among the different types of
                                               Would this information be sufficient to                 sought comment on the factors that lead               WEA Alert Messages they will receive.
                                               promote informed consumer choice?                       consumers to opt out of receiving                     As demonstrated in Appendix F, some
                                               Should we also require CMS Providers                    certain Alert Messages, including                     Participating CMS Providers offer their
                                               to disclose at the point of sale the                    whether the manner in which                           subscribers the option to choose
                                               specific network technologies that they                 Participating CMS Providers present                   whether to receive ‘‘Extreme’’ and
                                               commit to use in offering WEA? We                       their customers with opt-out choices                  ‘‘Severe’’ Alert Messages, as well as
                                               seek comment on the extent to which                     impacts customer participation. We                    AMBER Alerts. Are these options
                                               knowledge of the specific technologies                  sought comment on whether                             sufficiently clear to empower consumers
                                               that competing CMS Providers will use                   Participating CMS Providers could offer               to make informed choices among Alert
                                               to support WEA would promote more                       customers a more nuanced opt-out                      Messages? Would it be more clear if the
                                               informed consumer choice between                        menu in order to improve consumer                     options that Participating CMS
                                               CMS Providers. Should this disclosure                   choice.                                               Providers offered their subscribers
                                               also include the extent to which the                       79. Apple states that ‘‘enabling users             tracked our alert message classifications
                                               Participating CMS providers’ networks                   to opt out of certain alerts at particular            (i.e., ‘‘AMBER Alerts,’’ ‘‘Imminent
                                               are able to offer full 360-character Alert              times or under specified conditions                   Threat Alerts,’’ and ‘‘Public Safety
                                               Messages? Would it be sufficient for                    (such as when Do Not Disturb mode is                  Messages’’), or would other names or
Lhorne on DSK30JT082PROD with PROPOSALS




                                               Participating CMS Providers to provide                  turned on) would likely increase end-                 phrases be more effective in promoting
                                               potential subscribers with a link to a                  user participation.’’ Microsoft agrees                clear consumer choice about the types
                                               Web site describing their WEA                           that consumers should have control                    of Alert Messages they will receive?
                                               capability at the point of sale, and                    over what types of alerts are received,               Would it be helpful to offer consumers
                                               would this approach help Participating                  and when. NWS observes that opt-out                   a full explanation of the kinds of
                                               CMS Providers to control costs                          choices are currently presented in an                 emergency situations about which they
                                               associated with this proposal? With                     inconsistent manner across devices and                will receive information by virtue of


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00040   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                               78554                Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules

                                               remaining opted in to receive Alert                     offer their subscribers the option to                 D. Improving WEA Transparency
                                               Messages of that category? For example,                 cache Alert Messages, rather than
                                                                                                                                                             1. Annual WEA Performance Reporting
                                               should consumers be informed that by                    simply to opt in or out. Cached Alert
                                               remaining opted in to receive Imminent                  Messages could be received without the                   84. The Commission’s Part 10 WEA
                                               Threat Alerts they will receive                         associated attention signal and vibration             rules do not establish a procedure for
                                               information about imminent threats to                   cadence, and stored in a ‘‘WEA Inbox.’’               Participating CMS Providers to report
                                               their life and property, including                      We seek comment on this approach.                     the results of any required tests to alert
                                               significant or extraordinary threats that               Taken together with our proposal that                 originators or to government entities. As
                                               have either been observed in their area                 Alert Messages be appropriately                       such, there is no available method for
                                               or likely to occur in the near future?                  preserved for user review, would                      analyzing the success of C-interface,
                                               Should consumers be informed that by                    providing users with the option to                    Required Monthly, or State/Local WEA
                                               remaining opted in to receive AMBER                     receive and cache Alert Messages                      Tests. In the WEA NPRM, we sought
                                               Alerts they will receive information that               provide many consumers with an                        comment on whether we should
                                               will empower them to assist law                         appropriate balance between their                     formalize a test reporting procedure for
                                               enforcement in locating abducted, lost,                 perceived need to receive critical                    WEA and, if so, on the format and
                                               or otherwise missing children in their                  information during emergencies, and                   specific information that we should
                                               area that may be in imminent danger?                    their desire to minimize the                          require Participating CMS Providers to
                                               We seek comment on best practices that                  intrusiveness of the WEA attention                    report.
                                               have been developed with respect to the                 signal and vibration cadence? We seek                    85. Hyper-Reach and the majority of
                                               WEA interface that offer consumers a                    comment on the most common reasons                    public safety commenters support
                                               clear and easy-to-navigate menu of                      why consumers opt out of receiving                    requiring Participating CMS Providers
                                               choices about whether and how to                        WEA AMBER Alerts and Imminent                         to report the extent of alert delivery
                                               receive emergency alerts.                               Threat Alerts, and on any additional                  latency, the accuracy of geo-targeting,
                                                 82. We also propose to require that                   steps that we can take to reduce these                and the availability and reliability of
                                               Participating CMS Providers enhance                     pain points through changes to the WEA                their WEA network because it would
                                               their subscribers’ ability to personalize               opt-out menu.                                         improve transparency and
                                               how they receive the Alert Messages of                     83. In the alternative, we seek                    understanding of IPAWS/WEA among
                                               their choosing. In the Report and Order                 comment on whether to require all                     emergency managers, and because this
                                               we allow Participating CMS Providers to                 Participating CMS Providers to adopt a                transparency, in turn, could increase
                                               offer their consumers the option to                     standardized opt-out menu, as                         WEA adoption by non-participating
                                               change the attention signal and                         recommended by NWS, and in a manner                   emergency managers. CSRIC V states,
                                               vibration cadence for Public Safety                     consistent with CSRIC V’s                             for example, that ‘‘confidence in WEA
                                               Messages, and to receive Public Safety                  recommendation. In particular, we seek                among [Alert Originators] is dampened
                                               Messages only during certain hours. We                  comment on the model opt-out menu                     by perceived unpredictability of WEA
                                               also allow Participating CMS Providers                  produced by NWS that we attach as                     geo-targeting,’’ and building confidence
                                               to provide their customers with the                     Appendix F. Would the subscriber                      ‘‘will require a means by which they can
                                               option to specify how the vibration                     choices modeled here be appropriate to                know that the polygon provided is what
                                               cadence and attention signal should be                  standardize among Participating CMS                   is actually delivered at the towers for
                                               presented when a WEA Alert Message is                   Providers and device manufacturers?                   distribution.’’ Accordingly, CSRIC V
                                               received during an active voice or data                 Would a standardized opt-out menu                     recommends that ATIS and CTIA study
                                               session. We seek comment on whether                     facilitate familiarity with emergency                 methods of passively collecting and
                                               we should require Participating CMS                     alerts across service providers, promote              sharing data on the accuracy of geo-
                                               Providers to offer their subscribers a                  personalization and improve the                       targeting with emergency management
                                               more granular suite of choices for                      consumer experience with WEA? We                      agencies. As demonstrated in Appendix
                                               Imminent Threat Alerts and AMBER                        seek comment on how we could design                   G, NYCEM already independently
                                               Alerts as well, including but not limited               a model WEA opt-out menu in a manner                  generates performance reports on WEA
                                               to the options that we allow                            that would improve personalization                    geo-targeting, latency and reliability
                                               Participating CMS Providers to offer to                 without significantly increasing user-                from actual Alert Messages issued in
                                               their subscribers for Public Safety                     facing interface complexity? Would it be              New York City. These tests demonstrate
                                               Messages, and including the ability to                  appropriate for the Commission to host                that some mobile devices in the target
                                               modify the attention signal and                         a workshop for this purpose? We                       area do not receive WEA Alert Messages
                                               vibration cadence that is presented                     encourage commenters to submit visual                 that are intended for them, and that
                                               when an Alert Message is received                       representations of ideal WEA interfaces               some mobile devices do not receive
                                               when the phone is idle. For example,                    into the record to facilitate discussion              Alert Messages intended for them until
                                               would it be feasible to require                         and review of alternatives to this model              almost an hour after they are initially
                                               Participating CMS Providers to allow                    opt-out interface. We anticipate that                 transmitted. APCO and Pinellas County
                                               users to limit the hours within which                   requirements for subscriber opt-out                   EM urge the Commission to adopt
                                               they receive WEA AMBER Alerts (e.g.,                    choices would implicate changes to the                reporting requirements specific enough
                                               only between 8:00 a.m. and 8:00 p.m.)?                  ATIS/TIA Mobile Device Behavior                       to result in the production of uniform
                                               Would it make more sense to offer                       Specification and to WEA application                  reports to emergency management
                                               consumers the option to modify or mute                  software. We seek comment on this                     agencies. While AT&T would support a
Lhorne on DSK30JT082PROD with PROPOSALS




                                               the attention signal and vibration                      analysis. In our consideration of                     requirement for Participating CMS
                                               cadence for Imminent Threat Alerts at                   whether to require a standardized WEA                 Providers to report the results of RMTs,
                                               night than to offer them the option to                  opt-out menu, should we make any                      Sprint states that the kind of
                                               not receive Imminent Threat Alert                       particular accommodations for non-                    information we proposed to gather
                                               during the night? In the alternative, we                nationwide Participating CMS Providers                through test reporting (i.e., the extent of
                                               seek comment on whether we should                       (e.g., small, regional, and rural                     geo-targeting and alert delivery latency)
                                               require Participating CMS Providers to                  providers)?                                           is not technically feasible to deliver.


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00041   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                                                    Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules                                            78555

                                               Sprint and ATIS state that test reporting               demonstrate that WEA continues to                     Participating CMS Providers to schedule
                                               should be FEMA’s responsibility.                        satisfy its performance requirements, or              performance analyses during times
                                                 86. We propose to amend Section                       to highlight the extent to which any                  when network usage is light? Would it
                                               10.350 to require Participating CMS                     system improvements may improve a                     be feasible and desirable to ‘‘pause the
                                               Providers to submit annual reports to                   Participating CMS Providers’ WEA                      timer’’ on any applicable latency
                                               the Commission that demonstrate the                     service? Would it be appropriate to                   measurement at the CMS Provider Alert
                                               following system performance metrics                    adopt an alternative, less frequent                   Gateway until such a time within 24
                                               for their nationwide WEA deployment                     reporting requirement for non-                        hours as becomes convenient to
                                               (Annual WEA Performance Reports).                       nationwide Participating CMS                          distribute the test message? Would such
                                                 • Geo-targeting. The accuracy with                    Providers?                                            an approach undermine the
                                               which the Participating CMS Provider                      89. We seek comment on the                          representativeness of the latency data
                                               can distribute WEA Alert Messages to a                  methodology by which Participating                    collected because actual Alert Messages
                                               geographic area specified by an alert                   CMS Providers may develop Annual                      are not held for any period of time in
                                               originator.                                             WEA Performance Reports. We                           order to await more ideal network
                                                 • Latency. An end-to-end analysis of                  anticipate that State/Local WEA Tests                 conditions?
                                               the amount of time that it takes for the                would be an effective method of                          90. We seek comment on the specific
                                               Participating CMS Provider to transmit                  collecting annual report data since they              data that Participating CMS Providers
                                               a WEA Alert Message.                                    are test messages that may be used by                 would be required to gather in order to
                                                  • Availability and Reliability. The                  state and local emergency managers to
                                                                                                                                                             complete statistically significant reports
                                               annual percentage of WEA Alert                                                                                on the accuracy of WEA geo-targeting,
                                                                                                       evaluate system readiness, and are
                                               Messages that the Participating CMS                                                                           the extent of alert delivery latency, and
                                                                                                       required to be processed consistent with
                                               Provider processes successfully, and a                                                                        system availability and reliability.
                                                                                                       our Alert Message requirements. We
                                               summary of the most common errors                                                                             Would determining the accuracy of geo-
                                                                                                       seek comment on this analysis. Would
                                               with Alert Message transmission.                                                                              targeting require either a measurement
                                                                                                       a different classification of WEA Alert
                                                  We seek comment on these reporting                                                                         of the contours of the geographic area
                                                                                                       Message be more appropriate for use to
                                               elements and on the assessment                                                                                within which WEA-capable mobile
                                                                                                       collect performance data, be more likely
                                               methodologies Participating CMS                                                                               devices receive the message, or an
                                                                                                       to produce results that are
                                               Providers could use to produce Annual                                                                         estimation of the radio frequency
                                                                                                       representative of Alert Message delivery              propagation contours of the cell
                                               WEA Performance Reports below.                          under actual emergency conditions, or                 broadcast facilities selected to geo-target
                                                  87. First, we seek comment on                        be less burdensome to implement? For                  the Alert Message? Would it require
                                               whether an annual requirement would                     example, AT&T states that Participating               comparing the target area to the alert
                                               achieve the right frequency of reporting.               CMS Providers’ reporting obligations                  area? Would an average deviation from
                                               We reason that WEA performance data                     should be limited to RMTs. We observe                 the target area be an adequate measure
                                               recorded over a period of one year                      that Section 10.350 does not require                  of the accuracy of geo-targeting, or
                                               would be sufficient to provide a                        Participating CMS Providers to deliver                would emergency managers benefit from
                                               statistically significant sample of data to             RMTs to mobile devices, and allows                    a report on the specific percentage of
                                               inform Annual WEA Performance                           RMTs to be distributed ‘‘within 24                    instances in which a Participating CMS
                                               Reports. We seek comment on this                        hours of receipt by the CMS Provider                  Provider is able to meet our geo-
                                               rationale. We note that the record                      Gateway unless pre-empted by actual                   targeting standard? Further, we seek
                                               reflects concern that reporting                         alert traffic or unable due to an                     comment on whether there are WEA
                                               requirements will ‘‘result in an                        unforeseen condition.’’ Given these                   geo-targeting scenarios that pose
                                               increased burden for carriers                           limitations, we seek comment on the                   particular challenges to Participating
                                               participating in the service on a                       value of RMTs as the basis for collecting             CMS Providers. If so, should
                                               voluntary basis,’’ as well as concern that              Annual WEA Performance Report data.                   Participating CMS Providers be required
                                               there is currently no method available to               For example, could it be less                         to collect, analyze and report on geo-
                                               alert originators to verify system                      burdensome and comparably effective                   targeting under those specific
                                               availability and reliability except                     for Participating CMS Providers to                    circumstances? In any case, should
                                               anecdotally. Does our proposed                          collect geo-targeting data from cell sites            Participating CMS Providers be required
                                               approach strike the appropriate balance                 to which RMTs are delivered, as                       to collect, analyze and report on their
                                               between these concerns? If not, we                      opposed to from mobile devices to                     ability to geo-target Alert Messages to
                                               invite commenters to recommend                          which State/Local WEA Tests are                       geocodes, circles, and polygons of
                                               alternative periodicities within which                  delivered? To what extent could an                    varying complexities, and in varying
                                               such reports should be required.                        analysis of the radio frequency                       geographic morphologies? How many
                                                  88. In the alternative, would a single               propagation characteristics of the                    samples of each type would be
                                               performance report to become due on a                   particular constellation of cell sites and            necessary to produce a statistically
                                               date certain, rather than an annual                     cell sectors chosen to geo-target an RMT              significant report on the accuracy of a
                                               requirement, suffice to inform                          be used as an accurate proxy for the                  Participating CMS Providers’ WEA geo-
                                               emergency managers and the public                       geographic area to which an Alert                     targeting capability nationwide?
                                               about WEA’s capabilities? What types of                 Message with the same target area                        91. Further, we seek comment on the
                                               changes, if any, would be substantive                   would actually be delivered? Further,                 specific data points that Participating
                                               enough to warrant additional reporting                  we seek comment on whether RMTs                       CMS Providers would be required to
Lhorne on DSK30JT082PROD with PROPOSALS




                                               beyond the initial report? For example,                 could provide meaningful data about                   gather in order to measure alert delivery
                                               as Participating CMS Providers make                     alert delivery latency, given that                    latency. Would it be satisfactory to
                                               material upgrades to their networks to                  Participating CMS Providers are allowed               simply measure the amount of time that
                                               incorporate new or updated                              to delay up to 24 hours before                        elapses from the moment that an alert
                                               technologies (e.g., 5G network                          retransmitting them. For example,                     originator presses ‘‘send’’ using their
                                               technologies), would additional                         would it be less burdensome and                       alert origination software to the moment
                                               performance reporting be appropriate to                 comparably effective to allow                         that the Alert Message is displayed on


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00042   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                               78556                Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules

                                               the mobile device? Would this single                    Would this more nuanced approach be                   Commission might be through the use of
                                               measurement suffice to give an alert                    necessary in order to allow Participating             a representative sample of the different
                                               originator an informed perspective on                   CMS Providers to diagnose and correct                 real world environments in which the
                                               when the public could reasonably be                     any issues in alert distribution that may             WEA system would be used (e.g., the
                                               expected to receive an Alert Message                    arise, and to promote sufficient                      dense urban, urban, suburban and rural
                                               that they may send in a time-sensitive                  transparency to facilitate Commission                 morphologies defined by the ATIS–
                                               crisis? Would it also provide sufficient                action in the public interest? Would an               0500011 standard). We anticipate that
                                               insight into system functionality to                    average measure of the rate of system                 the use of a representative sample of
                                               allow us to diagnose and address                        availability be sufficient to grow                    geographic morphologies could reduce
                                               specific causes of alert delivery latency?              emergency managers’ confidence that                   any burdens that may be associated with
                                               Alternatively, would it be advisable to                 the system will work as intended when                 providing Annual WEA Performance
                                               collect latency data at points in addition              needed, or do emergency managers                      Reports by allowing Participating CMS
                                               to the time of initial transmission and                 require more granular data? Would it be               Providers to collect less data. We seek
                                               the time of receipt on the mobile                       necessary for Participating CMS                       comment on this analysis.
                                               device? For example, would it be                        Providers to log and report the CMAC                     95. In the alternative, we seek
                                               advisable to analyze time stamps for                    attributes of each Alert Message at each              comment on whether our State/Local
                                               Alert Messages received and transmitted                 of the C–E interfaces in order to                     WEA Testing model provides a
                                               at each of the A–E interfaces that                      establish whether the WEA system is                   framework to emergency managers that
                                               comprise the WEA system in order to                     able to deliver Alert Messages with ‘‘five            is sufficient to enable them to collect
                                               diagnose specific causes of latency, and                nines’’ of reliability (i.e., to establish            localized geo-targeting, latency, and
                                               to promote sufficient transparency to                   whether 99.999 percent of WEA Alert                   system availability data without
                                               facilitate Commission action in the                     Messages are delivered successfully)? Is              requiring additional involvement from
                                               public interest? We seek comment on                     this an appropriate standard of                       Participating CMS Providers. We
                                               whether there are any particular                        reliability for the WEA system? If not,               observe that, even in the absence of
                                               circumstances in which Alert Messages                   why not?                                              State/Local WEA Tests, NYCEM
                                               are delivered more slowly than others.                     93. We seek comment on whether                     deployed a network of volunteers using
                                               If so, should Participating CMS                         emergency managers need any                           mobile device offered by an assortment
                                               Providers be required to collect, analyze               additional information beyond the                     of Participating CMS Providers to
                                               and report on alert delivery latency                    accuracy of geo-targeting, the extent of              collect data on WEA geo-targeting and
                                               under those specific circumstances? In                  alert delivery latency, and the regularity            latency in New York City. We applaud
                                               any case, should Participating CMS                      of system availability and reliability in             NYCEM for their voluntary effort to
                                               Providers be required to collect, analyze               order to understand the strengths and                 improve awareness about WEA system
                                               and report on alert delivery latency in                 weaknesses of WEA as an alert                         performance. We seek comment on
                                               varying geographic morphologies? How                    origination tool. What, if any, additional            whether such tests demonstrate that it
                                               many independent measurements                           data could Participating CMS Providers                would be feasible for any emergency
                                               would be necessary to produce a                         collect without incurring additional cost             management agency that wishes to
                                               statistically significant report on the                 burdens, if we were to require them to                gather performance statistics about WEA
                                               degree of alert delivery latency at each                collect each of the aforementioned data               to do so for themselves. We seek
                                                                                                       points? In the alternative, we seek                   comment on whether NYCEM’s tests
                                               WEA interface?
                                                                                                       comment on whether, and if so, to what                were able to produce statistically
                                                  92. Similarly, we seek comment on                    extent making alert logs available upon               significant results, and if not, we seek
                                               the specific data points that                           emergency management agencies’                        comment on whether emergency
                                               Participating CMS Providers would be                    request could satisfy their need for this             managers would be willing to
                                               required to collect in order to                         information. Further, in addition to the              voluntarily collaborate and share test
                                               satisfactorily measure the regularity of                possibility of requiring performance                  results with one another such that their
                                               system availability and reliability.                    reports less frequently from non-                     findings could be aggregated into a
                                               Would the alert logging requirement                     nationwide Participating CMS                          statistically significant sample size.
                                               that we adopt today suffice to determine                Providers, we seek comment on whether                    96. We propose to treat Annual WEA
                                               the WEA system’s rate of success at                     such Participating CMS Providers                      Performance Reports submitted to the
                                               delivering Alert Messages? Where do                     should also be allowed to collect less                Commission as presumptively
                                               errors with Alert Message transmission                  granular data on system performance in                confidential, as we have reports in the
                                               tend to occur? If at junctures other than               order to reduce any cost burdens                      E911, Emergency Alert System (EAS),
                                               the C-interface, does this militate for the             entailed by these proposed                            and Network Outage Reporting System
                                               collection of system availability data at               recordkeeping and reporting                           (NORS) contexts. Similarly, we propose
                                               each interface in the alert distribution                requirements.                                         to require that Participating CMS
                                               chain in addition to the CMS Provider                      94. We seek comment on whether we                  Providers grant emergency management
                                               Alert Gateway? If less than 100 percent                 should defer to Participating CMS                     agencies’ requests for locality-specific
                                               of WEA-capable mobile devices in the                    Providers regarding how they collect                  versions of these performance metrics if
                                               target area receive a WEA message                       annual report data. Does such an                      and only if the requesting entity agrees
                                               intended for them, would this implicate                 approach provide Participating CMS                    to provide confidentiality protection at
                                               shortcomings in system availability or                  Providers with increased flexibility that             least equal to that provided by FOIA.
                                               reliability? If so, should Participating                will reduce the burdens of these                      Would the production of the proposed
Lhorne on DSK30JT082PROD with PROPOSALS




                                               CMS Providers also be required to                       recordkeeping and reporting                           performance metrics require
                                               collect data on the percentage of WEA-                  requirements? Would this approach                     Participating CMS Providers to disclose
                                               capable mobile devices for which an                     only be appropriate for non-nationwide                information that they consider to be
                                               Alert Message is intended that actually                 Participating CMS Providers? We seek                  proprietary? Would offering such
                                               receive it, and to report this data to the              comment on whether one effective and                  aspects of Annual WEA Performance
                                               Commission as a fundamental aspect of                   efficient method of generating national               Reports presumptively confidential
                                               system availability and performance?                    data for annual submission to the                     treatment and only requiring that that


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00043   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                                                           Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules                                                               78557

                                               Participating CMS Providers share them                                performance reporting requirements                            will continue to improve the
                                               with entities that agree to provide                                   may also be useful to us in our efforts                       transparency of the WEA system, will
                                               confidentiality protection at least equal                             to bring to light and address potential                       contribute to emergency managers’
                                               to that provided by FOIA ameliorate any                               areas for improvement in the WEA                              confidence that the system will work as
                                               concerns about the disclosure of                                      system nationwide. Regardless, we seek                        intended when needed, and will
                                               potentially sensitive competitive                                     comment on whether increases in                               improve our ability to detect and
                                               information? Further, we seek comment                                 system transparency created by Annual                         remediate any latent issues. We seek
                                               on steps that Participating CMS                                       WEA Performance Reports would be                              comment on this analysis. Will
                                               Providers can take to protect consumer                                likely to improve our ability to act in the                   requiring Participating CMS Providers
                                               privacy if producing reliable                                         public interest to remediate any issues                       to log error reports and the CMAC
                                               performance data requires information                                 that the reports may reveal. We seek                          attributes of Alert Messages at the CMS
                                               to be extracted from end user mobile                                  comment on our analysis of these                              Provider Alert Gateway, as we do today,
                                               devices. We observe that we are not                                   potential benefits, and on any other                          be sufficient to safeguard the integrity of
                                               requesting data at the end user/mobile                                benefits that Annual WEA Performance                          WEA? If not, would it be advisable to
                                               device level, and therefore assume that                               Reports may provide.                                          require that Participating CMS Providers
                                               any such information would be                                                                                                       log this information at each of the C–E
                                                                                                                     2. Alert Logging Standards and
                                               aggregated or, at a minimum, de-                                                                                                    interfaces? We also seek comment on
                                                                                                                     Implementation
                                               identified.                                                                                                                         whether data other than, or in addition
                                                  97. We anticipate that requiring                                      98. As discussed above, we require                         to error reports and CMAC attributes
                                               Annual WEA Performance Reports                                        Participating CMS Providers to log their                      can be utilized as indicia of system
                                               would be likely to benefit emergency                                  receipt of Alert Messages at their Alert                      integrity. Do Participating CMS
                                               managers and the public. For example,                                 Gateway and to appropriately maintain                         Providers currently safeguard WEA
                                               we agree with Jefferson Parish EM that                                those records for review. We now seek                         system integrity through mechanisms
                                               performance reports would help to                                     comment on whether and, if so, how to                         other than, or in addition to alert
                                               improve system transparency with                                      create a uniform format for alert logging,                    logging? Further, we seek comment on
                                               respect to ‘‘how long it took for the alert                           and on how the collection of more                             whether requiring Participating CMS
                                               to reach the public,’’ whether there was                              detailed system integrity data could be                       Providers to log data relevant to the
                                               ‘‘under alerting or overlap of the alerts,’’                          integrated into Annual WEA                                    accuracy of geo-targeting, the extent of
                                               and how often there are network                                       Performance Reports. We seek comment                          alert delivery latency, and the system
                                               conditions in which ‘‘Emergency                                       on the extent to which emergency                              availability and reliability could
                                               Managers . . . could not send alerts.’’                               managers would benefit from                                   contribute to the collection of data for
                                               We also agree with NYCEM that ‘‘[a]s                                  standardization of the format of                              Annual WEA Performance Reports? For
                                               with any other mission-critical system,                               Participating CMS Providers’ alert logs.                      example, if we were to require
                                               mobile service providers should be                                    Emergency managers confirm that there                         Participating CMS Providers to log alert
                                               required to capture and report system                                 is value in log keeping by Participating                      receipt and transmission time stamps at
                                               errors’’ in order to improve the system’s                             CMS Providers, but CMS Providers                              each of the C–E interfaces, would that
                                               security posture. Further, FEMA and                                   confirm there is significant variation                        data contribute to their ability to report
                                               other commenting emergency                                            among them with respect to log keeping.                       on specific sources of alert delivery
                                               management agencies agree that                                        Absent standardization of alert logging                       latency?
                                               reporting geo-targeting, latency and                                  capabilities, would emergency managers
                                               system availability and reliability data                              be forced to contend with this variation                      E. Compliance Timeframes
                                               could provide a compelling                                            in a manner that may significantly                              100. The rules we propose in this
                                               demonstration of WEA’s capacity to                                    decrease the value of alert logs? Does                        FNPRM would leverage commercially
                                               deliver timely, geo-targeted Alert                                    this support the value proposition of a                       available technologies to improve public
                                               Messages to specific areas and localities                             uniform standard consistently applied                         safety. In this regard, we take notice of
                                               on a national scale, which could                                      to Participating CMS Providers’ log                           the current state of technology, and
                                               potentially increase WEA adoption by                                  keeping? Would the creation of a                              propose timeframes that are informed by
                                               non-participating emergency managers                                  uniform format require the modification                       the processes and procedures that
                                               who are ‘‘reluctant to activate WEA’’                                 of standards relevant to Alert Gateway                        Participating CMS Providers and mobile
                                               without demonstrations of ‘‘coverage                                  functionality? Would updates to Alert                         device manufacturers state are necessary
                                               and delivery latency within their                                     Gateway software also be required?                            to implement changes to their WEA
                                               jurisdiction.’’ We seek comment on this                                  99. We also seek comment on whether                        service. For ease of reference, the table
                                               assessment. We also seek comment on                                   the logging requirements we adopt                             below sets forth proposed timeframes
                                               whether the greater transparency                                      today should extend beyond the CMS                            for compliance with our proposed rules.
                                               promoted by Annual WEA Performance                                    Provider Alert Gateway to the RAN and                         We also seek comment on timeframes
                                               Reports would better support alert                                    to WEA-capable mobile devices in                              within which we could reasonably
                                               originator and emergency operations                                   furtherance of our goal of improving                          expect Participating CMS Providers to
                                               center response planning. At the same                                 WEA transparency. We anticipate that                          reach other policy objectives we discuss
                                               time, we anticipate that regular                                      alert logging beyond the Alert Gateway                        in this FNPRM.

                                                                                                             FIGURE 4—PROPOSED COMPLIANCE TIMEFRAMES
Lhorne on DSK30JT082PROD with PROPOSALS




                                                                                      Rule amendment                                                                               Compliance timeframe

                                               Defining the Modes of Participation in WEA ............................................                   Within   120 days of the rules’ publication in the Federal Register.
                                               Infrastructure Functionality .......................................................................      Within   30 days of the rule’s publication in the Federal Register.
                                               Alert Message Preservation .....................................................................          Within   30 months of the rule’s publication in the Federal Register.
                                               Earthquake Alerting ..................................................................................    Within   30 months of the rules’ publication in the Federal Register.
                                               Multimedia Alerting ...................................................................................   Within   30 months of the rules’ publication in the Federal Register.



                                          VerDate Sep<11>2014        14:20 Nov 07, 2016       Jkt 241001      PO 00000      Frm 00044       Fmt 4702     Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                               78558                       Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules

                                                                                                   FIGURE 4—PROPOSED COMPLIANCE TIMEFRAMES—Continued
                                                                                       Rule amendment                                                                                Compliance timeframe

                                               Multilingual Alerting ..................................................................................     We seek comment on reasonable timelines for Participating CMS Pro-
                                                                                                                                                             viders to support the transmission of WEA Alert Messages in various
                                                                                                                                                             languages.
                                               Matching the Geographic Target Area .....................................................                    Within 42 months of the rules’ publication in the Federal Register, or
                                                                                                                                                             within 24 months of the completion of all relevant standards, which-
                                                                                                                                                             ever is sooner.
                                               Promoting Informed Consumer Choice at the Point of Sale ...................                                  Within 120 days of the rules’ publication in the Federal Register.
                                               Promoting Informed Consumer Choice through the WEA Interface ........                                        Within 30 months of the rules’ publication in the Federal Register.
                                               Annual WEA Performance Reporting .......................................................                     Within 30 months of publication in the Federal Register of a notice an-
                                                                                                                                                             nouncing the approval by the Office of Management and Budget of
                                                                                                                                                             the modified information collection requirements.
                                               Alert Logging ............................................................................................   We seek comment on reasonable timeframes for Participating CMS
                                                                                                                                                             Providers to improve their tracking of system performance through
                                                                                                                                                             alert logging.



                                                 101. We propose a 30-month                                            into their mobile devices on a faster                         of Management and Budget of the
                                               compliance timeframe for each                                           timeline than we allow for compliance                         modified information collection
                                               proposed rule where compliance would                                    with rules that implicate more systemic                       requirements). We anticipate that one
                                               be expected to require updates to                                       changes?                                                      year will be sufficient for Participating
                                               standards and system specifications, as                                    102. With respect to our proposal to                       CMS Providers to schedule any required
                                               well as software updates for various                                    require Participating CMS Providers to                        data collections, and to aggregate that
                                               components of the WEA system. These                                     produce and share critical system                             data into useful reports. We seek
                                               proposals include requiring                                             performance metrics, we anticipate that                       comment on this analysis.
                                               Participating CMS Providers make                                        compliance would require updates to                              103. We propose to require
                                               changes to the WEA interface to                                         software and standards, as well as the                        Participating CMS Providers to match
                                               promote informed consumer choice,                                       coordinated efforts of professionals                          the target area specified by alert
                                               requiring them to expedite delivery of                                  employed by Participating CMS                                 originators within 42 months of the
                                               earthquake-related Alert Messages,                                      Providers in order to design and                              rules’ publication in the Federal
                                               requiring them to provide a method of                                   implement appropriate data collection                         Register, or within 24 months of the
                                               accessing pending Alert Messages,                                       and sharing mechanisms. We seek                               completion of all relevant standards,
                                               requiring support for multimedia                                        comment on this reasoning. We seek                            whichever is sooner. This is consistent
                                               content in Public Safety Messages, and                                  comment whether compliance with this                          with CSRIC V’s recommendations that
                                               requiring them to track and report on                                   proposal would require updates to                             we allow 18 months for the
                                               critical system performance metrics. We                                 software and standards akin to those                          development of standards ‘‘in
                                                                                                                       required by rules we adopt in the Report                      consideration of device compatibility,
                                               seek comment on this approach and
                                                                                                                       and Order, and, relatedly, on whether                         potential privacy issues, network
                                               analysis. In the Report and Order, we
                                                                                                                       we could reasonably expect                                    congestion and consumer impacts due
                                               concluded that 30 months was an
                                                                                                                       Participating CMS Providers to                                to increased data plan usage,’’ and that
                                               appropriate timeframe within which to
                                                                                                                       complete these updates within thirty                          ‘‘[o]nce the standards work is complete,
                                               require Participating CMS Providers to
                                                                                                                       months. We anticipate that some                               full system deployment including new
                                               comply with rules that required updates                                 portion of the design planning required                       handsets should be deployed within no
                                               to software and standards because it                                    to determine the types of data and data                       more than 24 months.’’ We seek
                                               takes twelve months for appropriate                                     collection methodologies appropriate                          comment on this proposal. We also seek
                                               industry bodies to finalize and publish                                 for this task will take place during the                      comment on whether and how this
                                               relevant standards, another twelve                                      course of this proceeding as industry                         timeframe could be expedited, given the
                                               months for Participating CMS Providers                                  stakeholders consider what compliance                         critical public need to employ more
                                               and mobile device manufacturers to                                      with our proposal would require of                            precise geo-targeting standards. Rather
                                               develop and integrate software upgrades                                 them. We also anticipate that this work                       than adopting a single implementation
                                               consistent with those standards into                                    could continue in parallel with the                           timeframe, should we benchmark
                                               embedded plant and to complete                                          development of appropriate standards                          compliance timeframes based on a
                                               required ‘‘technical acceptance testing,’’                              that describe this data collection task.                      percentage of Alert Messages that meet
                                               and then six more months for                                            Accordingly, we do not anticipate that                        the standard (e.g., 40 percent of Alert
                                               Participating CMS Providers and mobile                                  any unique project planning component                         Messages within two years, 80 percent
                                               device manufacturers to deploy this                                     of this proposal will militate for                            of Alert Messages within six years)?
                                               new technology to the field. We seek                                    allowing Participating CMS Providers                          Could this approach enable compliance
                                               comment on whether, unlike changes to                                   additional time within which to                               for a percentage of Alert Messages in a
                                               WEA Alert Message content we adopt in                                   comply, but we seek comment on this                           shorter timeframe by enabling
                                               the Report and Order, our WEA                                           analysis. We also propose to provide                          Participating CMS Providers to
Lhorne on DSK30JT082PROD with PROPOSALS




                                               interface and Alert Message                                             Participating CMS Providers with a                            implement improvements to geo-
                                               preservation proposals will likely only                                 period of one year from the date of                           targeting by facilitating implementation
                                               require changes to WEA-capable mobile                                   required compliance to produce their                          on a rolling basis and without waiting
                                               devices, not Participating CMS                                          first annual WEA performance report                           for industry standardization? We note
                                               Providers’ networks. If so, would mobile                                (i.e., within 42 months of publication in                     that Participating CMS Providers
                                               device manufacturers be able to                                         the Federal Register of a notice                              voluntarily improved geo-targeting
                                               integrate these enhanced capabilities                                   announcing the approval by the Office                         relative to our foregoing county-level


                                          VerDate Sep<11>2014        14:20 Nov 07, 2016        Jkt 241001      PO 00000       Frm 00045       Fmt 4702      Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                                                    Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules                                            78559

                                               requirement without industry                            context, and if not, we invite                        require Participating CMS Providers to
                                               standardization. We seek comment on                     commenters to provide specific details                support transmission of Alert Messages
                                               why standards would be necessary to                     as to how our proposal presents unique                in languages in addition to English and
                                               support a ‘‘matching’’ requirement                      challenges. We also seek comment on                   Spanish. Could standards appropriate to
                                               where they do not seem to have been                     whether we could reasonably expect                    support additional languages in WEA,
                                               needed to support a ‘‘best approximate’’                Participating CMS Providers to file any               including ideographic languages, be
                                               requirement. Further, CSRIC V finds                     required update to their election letter              completed or otherwise integrated into
                                               that Participating CMS Providers would                  within this 120-day timeframe, noting                 WEA within one year, consistent with
                                               need 36–48 months to support nesting                    that in the WEA Third Report and                      our reasoning about the time that it
                                               polygons, where 18–24 months is                         Order, we required CMS Providers to                   takes to complete standards in the
                                               allocated to the modification of                        file their election letter within 30 days.            Report and Order. We seek comment on
                                               appropriate standards, and 18–24                           105. We propose to require                         whether software would need to be
                                               months is allocated for development                     compliance with our WEA                               updated in order to support additional
                                               and implementation in Participating                     infrastructure functionality proposal                 languages as well given the two-year
                                               CMS Providers’ networks. We seek                        within 30 days of the rules’ publication              timeframe that we allow Participating
                                               comment on this analysis. Why would                     in the Federal Register. We do not                    CMS Providers to update software to
                                               enabling geo-targeting to nesting                       anticipate that Participating CMS                     support a language in addition to
                                               polygons require more time than the                     Providers would need to take any action               English (i.e., Spanish) in the Report and
                                               record shows is necessary to modify                     to achieve compliance with this                       Order. Would it be possible for
                                               standards and software to support rules                 proposed rule, if adopted, because, as                Participating CMS Providers to bundle
                                               we adopt today? We seek comment on                      we reason above, Participating CMS                    software upgrades enabling support for
                                               a reasonable timeframe within which to                  Providers do not rely on the language                 additional languages into any software
                                               integrate additional network-based                      we propose to remove. We seek                         upgrades that they may undertake in
                                               technologies, such as small cells, into                 comment this analysis. If the deletion of             order to comply with our Spanish-
                                               the WEA infrastructure in order to                      this language would require CMS                       language requirement? If not, why not?
                                               achieve incremental improvements to                     Providers otherwise in compliance with
                                                                                                                                                                108. Finally, we seek comment on a
                                               WEA geo-targeting. Could such an                        our Part 10 rules to take action in order
                                                                                                                                                             reasonable implementation timeframe
                                               integration take place within a shorter                 to continue to participate, what specific
                                                                                                                                                             for our proposal to prioritize
                                               timeframe that that which we may allow                  steps would be necessary to comply
                                                                                                                                                             earthquake-related Alert Messages at the
                                               for the integration of eMBMS or another                 with these rules as revised? How much
                                                                                                                                                             Participating CMS Provider Alert
                                               ulterior technology into WEA because                    time would those steps take to
                                                                                                                                                             Gateway. Would Participating CMS
                                               the network components that we                          complete? If any Participating CMS
                                                                                                                                                             Providers be able to implement this
                                               consider above are already integrated                   Provider were to fall within this
                                                                                                                                                             change on the same 30-month timeframe
                                               into Participating CMS Providers 4G–                    category, would it likely be a non-
                                                                                                       nationwide Participating CMS Provider?                that we allow for other proposals
                                               LTE networks?                                                                                                 anticipated to necessitate changes to
                                                                                                       If so, would it be appropriate to make
                                                  104. We propose to require                           any special accommodations for non-                   software and standards? Could any
                                               compliance with our proposed point-of-                  nationwide Participating CMS Providers                changes to the prioritization of
                                               sale notification requirements, and with                to facilitate their continued                         earthquake-related Alert Messages in
                                               our new definitions of the modes of                     participation?                                        transit be completed within the same
                                               participation in WEA insofar as they                       106. We also seek comment on                       timeframe? If not, what additional
                                               necessitate a renewed obligation to file                reasonable timeframes in which to                     considerations should we take into
                                               election letters within 120 days of the                 expect Participating CMS Providers to                 account in our analysis of what changes
                                               rule’s publication in the Federal                       be able to reach the other policy                     in Alert Message prioritization in transit
                                               Register. We anticipate that compliance                 objectives that we discuss above,                     will require? We seek to implement
                                               with these proposed rules would require                 including developing a uniform                        each of our proposed rules in as swift
                                               time and effort on the part of attorneys                standard for alert log formatting and                 of a timeframe as possible, while
                                               and communications professionals                        developing additional alert logging                   ensuring that our proposed rules do not
                                               employed by Participating CMS                           capabilities throughout the WEA system                pose undue burdens for Participating
                                               Providers in order to update any                        and deepening WEA’s language support                  CMS Providers, recognizing the current
                                               required point-of-sale notifications, and               capabilities. With respect to alert                   state and technology. We invite
                                               potentially to update Participating CMS                 logging, we seek comment on whether                   commenters to offer into the record any
                                               Providers’ election letters on file with                one year would be sufficient for                      additional considerations relevant to
                                               the Commission. We seek comment on                      industry to complete a standard to                    compliance with our proposed rules.
                                               this analysis, and relatedly, we seek                   describe a uniform alert log format that              III. Ordering Clauses
                                               comment on whether 120 days would be                    will facilitate comparison of
                                               a sufficient period of time within which                Participating CMS Providers’ WEA                        109. Accordingly, it is ordered,
                                               to expect Participating CMS Providers to                services, as we concluded would be                    pursuant to Sections 1, 2, 4(i), 4(o), 301,
                                               complete this task. We observe that in                  appropriate for standards necessitated                303(r), 303(v), 307, 309, 335, 403,
                                               the Ensuring the Continuity of 911                      by rules we adopt in the Report and                   624(g), 706, and 715 of the
                                               Communications Report and Order, the                    Order. We also seek comment on                        Communications Act of 1934, as
                                               record supported allowing Participating                 whether 30 months would be an                         amended, 47 U.S.C. 151, 152, 154(i),
Lhorne on DSK30JT082PROD with PROPOSALS




                                               CMS Providers 120 days to update their                  appropriate period of time within which               154(o), 301, 301(r), 303(v), 307, 309,
                                               point-of-sale notification to advise                    to require logging at additional                      335, 403, 544(g), 606, and 615, as well
                                               consumers of the availability of a                      junctures in the WEA system. Would                    as by sections 602(a), (b), (c), (f), 603,
                                               backup power solution that provides                     software updates be required to                       604 and 606 of the WARN Act, 47
                                               911 access during a commercial power                    implement this change?                                U.S.C. 1202(a), (b), (c), (f), 1203, 1204
                                               loss. We seek comment on whether 120                       107. We seek comment on a                          and 1206, that the WEA Report and
                                               days would also be adequate in this                     reasonable timeframe within which to                  Order and Further Notice of Proposed


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00046   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1


                                               78560                Federal Register / Vol. 81, No. 216 / Tuesday, November 8, 2016 / Proposed Rules

                                               Rulemaking in PS Docket Nos. 15–91                      practices for polar bears in Alaska;                  Background
                                               and 15–94 is hereby adopted.                            managing and monitoring the harvest of
                                                 110. It is further ordered that the                   polar bears for subsistence use; and                     As previously mentioned, the U.S.-
                                               Commission’s Consumer and                               developing a polar bear co-management                 Russia Agreement is implemented in the
                                               Governmental Affairs Bureau, Reference                  structure.                                            United States through title V of the
                                               Information Center, shall send a copy of                                                                      MMPA. Congress passed the MMPA in
                                                                                                       DATES: We will accept comments                        1972 to prevent marine mammal species
                                               the WEA Report and Order and Further
                                                                                                       received or postmarked by the end of                  and population stocks from declining
                                               Notice of Proposed Rulemaking,
                                                                                                       the day on January 9, 2017.                           beyond the point at which they ceased
                                               including the Final and Initial
                                               Regulatory Flexibility Analysis, to the                 ADDRESSES:  Comment submission: You                   to be significant functioning elements in
                                               Chief Counsel for Advocacy of the Small                 may submit comments by one of the                     the ecosystems of which they are a part.
                                               Business Administration.                                following methods:                                    The MMPA prohibits, with certain
                                                                                                         • U.S. mail or hand-delivery: Public                exceptions and exemptions, the take of
                                               Federal Communications Commission.
                                                                                                       Comments Processing, ATTN: FWS–R7–                    marine mammals. Prior to enactment of
                                               Marlene H. Dortch,                                                                                            title V of the MMPA and ratification of
                                               Secretary, Office of the Secretary, Office of           ES–2016–0056, U.S. Fish and Wildlife
                                                                                                       Service Headquarters, MS: BPHC, 5275                  the U.S.-Russia Agreement, section
                                               the Managing Director.                                                                                        101(b) of the MMPA governed the take
                                               [FR Doc. 2016–26901 Filed 11–7–16; 8:45 am]             Leesburg Pike, Falls Church, Virginia
                                                                                                       22041–3803.                                           of polar bears from the Alaska-Chukotka
                                               BILLING CODE 6712–01–P                                                                                        population, providing a general
                                                                                                         • Federal eRulemaking Portal: http://               exemption for the taking of all marine
                                                                                                       www.regulations.gov. Follow the                       mammals by any Indian, Aleut, or
                                               DEPARTMENT OF THE INTERIOR                              instructions for submitting comments to               Eskimo who lives in Alaska and who
                                                                                                       Docket No. FWS–R7–ES–2016–0056.                       dwells on the coast of the North Pacific
                                               Fish and Wildlife Service                               FOR FURTHER INFORMATION CONTACT:                      Ocean or the Arctic Ocean if such taking
                                                                                                       Hilary Cooley, Polar Bear Project                     is for subsistence purposes or for the
                                               50 CFR Part 18                                          Leader, U.S. Fish and Wildlife Service,               purpose of creating and selling
                                               [Docket No. FWS–R7–ES–2016–0056;                        Marine Mammals Management Office,                     authentic native articles of handicraft
                                               FF07CAMM00–FX–F R133707PB000]                           1011 East Tudor Road, Anchorage,                      and clothing, provided that the taking is
                                               RIN 1018–BA66                                           Alaska 99503; by telephone (907) 786–                 not accomplished in a wasteful manner.
                                                                                                       3800; or by facsimile (907) 786–3816.                 Under MMPA section 101(b), if the
                                               Co-Management of Subsistence Use of                     Persons who use a telecommunications                  Secretary determines any species or
                                               Polar Bears by Alaska Natives;                          device for the deaf (TDD) may call the                stock of marine mammal subject to
                                               Conservation of the Alaska-Chukotka                     Federal Information Relay Service                     taking by Indians, Aleuts, or Eskimos is
                                               Polar Bear Population                                   (FIRS) at (800) 877–8339.                             depleted, the taking may be regulated.
                                                                                                       SUPPLEMENTARY INFORMATION:     One of the                The MMPA also recognizes the
                                               AGENCY:   Fish and Wildlife Service,
                                                                                                       purposes of this advance notice of                    intrinsic role that marine mammals have
                                               Interior.
                                                                                                       proposed rulemaking (ANPR) is to                      played and continue to play in the
                                               ACTION: Advance notice of proposed
                                                                                                       solicit public comments on developing                 subsistence, cultural, and economic
                                               rulemaking; solicitation of comments.                                                                         lives of Alaska Natives. The Service, in
                                                                                                       and administering a co-management
                                               SUMMARY:   The U.S. Fish and Wildlife                   framework to manage the subsistence                   turn, recognizes the important role that
                                               Service (Service) is authorized to issue                use of polar bears in Alaska. This effort             Alaska Natives can play in the
                                               regulations to facilitate the                           would include implementation of the                   conservation of marine mammals such
                                               implementation of the sustainable                       sustainable harvest management                        as the polar bear. Amendments to the
                                               harvest management obligations under                    obligations of the Agreement between                  MMPA in 1994 acknowledged this role
                                               the Agreement between the Government                    the Government of the United States of                by authorizing the Service to enter into
                                               of the United States of America and the                 America and the Government of the                     cooperative agreements with Alaska
                                               Government of the Russian Federation                    Russian Federation on the Conservation                Natives for the conservation and co-
                                               on the Conservation and Management of                   and Management of the Alaska-                         management of subsistence use of
                                               the Alaska-Chukotka Polar Bear                          Chukotka Polar Bear Population (U.S.-                 marine mammals (16 U.S.C. 1388).
                                               Population (U.S.-Russia Agreement). To                  Russia Agreement) as implemented                         Upon enactment of title V of the
                                               that end, the Service is soliciting public              under title V of the Marine Mammal                    MMPA and ratification of the U.S.-
                                               comment on the development of a                         Protection Act of 1972, as amended                    Russia Agreement in 2007, the MMPA’s
                                               regulatory program and local                            (MMPA; 16 U.S.C. 1361 et seq.).                       Alaskan Native exemption under
                                               management structures for carrying out                  Activities under a cooperative                        section 101(b) no longer applied with
                                               the responsibilities under the U.S.-                    agreement could include the following:                respect to take from the Alaska-
                                               Russia Agreement and title V of the                     collaborating to collect information on               Chukotka population of polar bears (16
                                               Marine Mammal Protection Act of 1972,                   the distribution, abundance, and health               U.S.C. 1423g). The U.S.-Russia
                                               as amended. The Service is also                         of polar bears; managing human and                    Agreement and title V of the MMPA
                                               interested in entering into a cooperative               polar bear conflicts; assessing and                   continues to allow consumptive use of
                                               agreement with an Alaska Native                         protecting important habitats; and                    polar bears for subsistence purposes or
                                               Organization for the purposes of                        monitoring and managing subsistence                   the creation of authentic native
Lhorne on DSK30JT082PROD with PROPOSALS




                                               involving subsistence users in                          harvest. We are also soliciting                       handicrafts and clothing by Alaskan
                                               conservation and management of polar                    preliminary ideas about the content of                natives, but subjects that use to a
                                               bears in Alaska, including the creation                 regulations to facilitate implementation              number of restrictions, including those
                                               of effective two-way communication                      of harvest regulations for polar bears in             adopted by the U.S.-Russia Polar Bear
                                               pathways; collecting and exchanging                     the Alaska-Chukotka population in                     Commission (Commission), the bilateral
                                               local observations on polar bears for the               accordance with our obligations under                 authority established under the U.S.-
                                               development of sound management                         the U.S.-Russia Agreement.                            Russia Agreement.


                                          VerDate Sep<11>2014   14:20 Nov 07, 2016   Jkt 241001   PO 00000   Frm 00047   Fmt 4702   Sfmt 4702   E:\FR\FM\08NOP1.SGM   08NOP1



Document Created: 2018-02-14 08:23:39
Document Modified: 2018-02-14 08:23:39
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.
DatesComments are due on or before December 8, 2016 and reply comments are due on or before January 9, 2017.
ContactJames Wiley, Attorney Advisor, Public Safety and Homeland Security Bureau, at (202) 418-1678, or by email at [email protected]
FR Citation81 FR 78539 
CFR Citation47 CFR 10
47 CFR 11

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