82_FR_47866 82 FR 47669 - Toll Free Assignment Modernization; Toll Free Service Access Codes

82 FR 47669 - Toll Free Assignment Modernization; Toll Free Service Access Codes

FEDERAL COMMUNICATIONS COMMISSION

Federal Register Volume 82, Issue 197 (October 13, 2017)

Page Range47669-47683
FR Document2017-22187

In this document, a Notice of Proposed Rulemaking (NPRM) seeks comment on allowing the Commission to assign numbers by auction, on a first-come, first-served basis, by an alternative assignment methodology, or by a combination of methodologies. The NPRM seeks comment on allowing a secondary market for toll free numbers and on setting aside toll free numbers necessary to promote health and safety for use, without cost, by government agencies and non-profit health and safety organizations. The NPRM also seeks comment on whether to consider changes to overall toll free number administration. The intended effect of this NPRM is to make toll free numbers available on a more equitable and efficient basis by assigning mutually exclusive toll free numbers to the parties that value them most.

Federal Register, Volume 82 Issue 197 (Friday, October 13, 2017)
[Federal Register Volume 82, Number 197 (Friday, October 13, 2017)]
[Proposed Rules]
[Pages 47669-47683]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-22187]


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FEDERAL COMMUNICATIONS COMMISSION

47 CFR Part 52

[WC Docket No. 17-192, CC Docket No. 95-155; FCC 17-124]


Toll Free Assignment Modernization; Toll Free Service Access 
Codes

AGENCY: Federal Communications Commission.

ACTION: Proposed rule.

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SUMMARY: In this document, a Notice of Proposed Rulemaking (NPRM) seeks 
comment on allowing the Commission to assign numbers by auction, on a 
first-come, first-served basis, by an alternative assignment 
methodology, or by a combination of methodologies. The NPRM seeks 
comment on allowing a secondary market for toll free numbers and on 
setting aside toll free numbers necessary to promote health and safety 
for use, without cost, by government agencies and non-profit health and 
safety organizations. The NPRM also seeks comment on whether to 
consider changes to overall toll free number administration. The 
intended effect of this NPRM is to make toll free numbers available on 
a more equitable and efficient basis by assigning mutually exclusive 
toll free numbers to the parties that value them most.

DATES: Comments are due on or before November 13, 2017, and reply 
comments are due on or before December 12, 2017. Written comments on 
the Paperwork Reduction Act proposed information collection 
requirements must be submitted by the public, Office of Management and 
Budget (OMB), and other interested parties on or before December 12, 
2017.

ADDRESSES: You may submit comments, identified by both WC Docket No. 
17-192, and CC Docket No. 95-155 by any of the following methods:
    [ssquf] Federal Communications Commission's Web site: http://apps.fcc.gov/ecfs/. Follow the instructions for submitting comments.
    [ssquf] Mail: Parties who choose to file by paper must file an 
original and one copy of each filing. If more than one docket or 
rulemaking number appears in the caption of this proceeding, filers 
must submit two additional copies for each additional docket or 
rulemaking number. Filings can be sent by hand or messenger delivery, 
by commercial overnight courier, or by first-class or overnight U.S. 
Postal Service mail. All filings must be addressed to the Commission's 
Secretary, Office of the Secretary, Federal Communications Commission. 
All hand-delivered or messenger-delivered paper filings for the 
Commission's Secretary must be delivered to FCC Headquarters at 445 
12th St. SW., Room TW-A325, Washington, DC 20554. The filing hours are 
8:00 a.m. to 7:00 p.m. All hand deliveries must be held together with 
rubber bands or fasteners. Any envelopes and boxes must be disposed of 
before entering the building. Commercial overnight mail (other than 
U.S. Postal Service Express Mail and

[[Page 47670]]

Priority Mail) must be sent to 9050 Junction Drive, Annapolis Junction, 
MD 20701. U.S. Postal Service first-class, Express, and Priority mail 
must be addressed to 445 12th Street SW., Washington DC 20554.
    [ssquf] People with Disabilities: To request materials in 
accessible formats for people with disabilities (braille, large print, 
electronic files, audio format), send an email to [email protected] or 
call the Consumer & Governmental Affairs Bureau at 202-418-0530 
(voice), 202-418-0432 (TTY).
    For detailed instructions for submitting comments and additional 
information on the rulemaking process, see the SUPPLEMENTARY 
INFORMATION section of this document. In addition to filing comments 
with the Secretary, a copy of any comments on the Paperwork Reduction 
Act information collection requirements contained herein should be 
submitted to the Federal Communications Commission via email to 
[email protected] and to Nicole Ongele, Federal Communications Commission, 
via email to [email protected].

FOR FURTHER INFORMATION CONTACT: Wireline Competition Bureau, 
Competition Policy Division, E. Alex Espinoza, at (202) 418-0849, or 
[email protected]. For additional information concerning the 
Paperwork Reduction Act information collection requirements contained 
in this document, send an email to [email protected] or contact Nicole Ongele 
at (202) 418-2991.

SUPPLEMENTARY INFORMATION: This is a summary of the Commission's Notice 
of Proposed Rulemaking (NPRM) in WC Docket No. 17-192, and CC Docket 
No. 95-155, adopted September 26, 2017, and released September 28, 
2017. The full text of this document is available for public inspection 
during regular business hours in the FCC Reference Information Center, 
Portals II, 445 12th Street SW., Room CY-A257, Washington, DC 20554. It 
is available on the Commission's Web site at https://www.fcc.gov/document/fcc-proposes-modernize-toll-free-number-assignment. Pursuant 
to sections 1.415 and 1.419 of the Commission's rules, 47 CFR 1.415, 
1.419, interested parties may file comments and reply comments on or 
before the dates indicated on the first page of this document. Comments 
may be filed using the Commission's Electronic Comment Filing System 
(ECFS). See Electronic Filing of Documents in Rulemaking Proceedings, 
63 FR 24121 (1998), http://www.fcc.gov/Bureaus/OGC/Orders/1998/fcc98056.pdf.
    [ssquf] Electronic Filers: Comments may be filed electronically 
using the Internet by accessing the ECFS: https://www.fcc.gov/ecfs/.
    [ssquf] Paper Filers: Parties who choose to file by paper must file 
an original and one copy of each filing. If more than one docket or 
rulemaking number appears in the caption of this proceeding, filers 
must submit two additional copies for each additional docket or 
rulemaking number.
    Filings can be sent by hand or messenger delivery, by commercial 
overnight courier, or by first-class or overnight U.S. Postal Service 
mail. All filings must be addressed to the Commission's Secretary, 
Office of the Secretary, Federal Communications Commission.
    [ssquf] All hand-delivered or messenger-delivered paper filings for 
the Commission's Secretary must be delivered to FCC Headquarters at 445 
12th St. SW., Room TW-A325, Washington, DC 20554. The filing hours are 
8:00 a.m. to 7:00 p.m. All hand deliveries must be held together with 
rubber bands or fasteners. Any envelopes and boxes must be disposed of 
before entering the building.
    [ssquf] Commercial overnight mail (other than U.S. Postal Service 
Express Mail and Priority Mail) must be sent to 9050 Junction Drive, 
Annapolis Junction, MD 20701. U.S. Postal Service first-class, Express, 
and Priority mail must be addressed to 445 12th Street SW., Washington 
DC 20554.
    People with Disabilities: To request materials in accessible 
formats for people with disabilities (braille, large print, electronic 
files, audio format), send an email to [email protected] or call the 
Consumer & Governmental Affairs Bureau at 202-418-0530 (voice), 202-
418-0432 (TTY).

Synopsis

I. Introduction

    1. Toll free calling originated in 1967, and to this day remains an 
important feature of the communications system. Even with the growth of 
e-commerce, many businesses, large and small, continue to use toll free 
numbers for sales and customer service, as well as for advertising and 
marketing purposes. Government organizations and non-profit health, 
safety, educational, or other non-profit public interest organizations 
also use toll free numbers to provide vital health and safety services 
to the public. While the Commission's current rule uses a first-come, 
first-served approach to the assignment of toll free numbers, to help 
ensure the continued usefulness and availability of this finite 
resource, we now examine alternative assignment methodologies. 
Specifically, we propose amending our rules to allow for use of an 
auction to assign certain toll free numbers--such as vanity and 
repeater numbers--in order to better promote the equitable and 
efficient use of numbers. With the opportunity afforded by the opening 
of the 833 toll free code, we propose to use an auction for assigning 
numbers for which mutually exclusive interest has been expressed. 
Mutually exclusive numbers are those toll free numbers for which there 
are two or more requests for assignment. In this Notice of Proposed 
Rulemaking (Notice), we also consider a variety of other means to 
modernize toll free number assignments that are consistent with our 
statutory mandate to make ``numbers available on an equitable basis.''

II. Background

    2. Since mandating the porting of toll free numbers and introducing 
the second toll free code, 888, to relieve exhaust of the original 800 
code, the Commission has sought to assign numbers in a manner that is 
equitable and efficient, and that fosters a smooth introduction of a 
new code. Doing so required the Commission to address the treatment of 
vanity numbers, those numbers that spell a name or word of value to the 
number holder (e.g., 1-800-FLOWERS), as well as repeater numbers that 
are easy to remember (e.g., 1-800-222-2222), as new codes open. 
Attempting to assign these desirable numbers equitably, the Commission 
in 1997 initially permitted 800 number subscribers the right of first 
refusal to reserve corresponding numbers in the new 888 code. After the 
888 code opening, however, the Commission adopted in 1998 the current 
first-come, first-served rule, codified in section 52.111 of the 
Commission's rules. Although the Commission considered auctions to be 
``generally efficient,'' the Commission concluded at that time the 
first-come, first-served rule was a preferable mechanism for toll free 
number assignment. The Commission followed the first-come, first-served 
rule, with slight modifications made by the Wireline Competition Bureau 
(Bureau), for the next four code openings (877, 866, 855, and 844), as 
well as for those instances in which toll free numbers are released 
back into the pool of available numbers. For the 855 and 844 code 
openings, as well as the release of valuable 800 numbers that had been 
disconnected, the Bureau limited Responsible Organizations to obtaining 
100 numbers per day for the

[[Page 47671]]

first 30 days of the code opening to better ensure an efficient and 
equitable distribution of high value numbers in those two codes.
    3. In an attempt to extend the life of each toll free code, the 
Commission also prohibited warehousing, hoarding, and brokering of toll 
free numbers. Thus, the Commission's current rules prohibit 
``warehousing'' of a toll free number, defined as the practice in which 
a Responsible Organization (RespOrg), an ``entity chosen by a toll free 
subscriber to manage and administer the appropriate records in the toll 
free Service Management System for the toll free subscriber,'' 47 CFR 
52.101(b) either directly or indirectly through an affiliate, reserves 
a number from the toll free database without having an end user 
subscriber for whom the number is being reserved. Similarly, the 
Commission's rules prohibit the practice of ``hoarding''--the 
acquisition by a toll free subscriber from a RespOrg of more toll free 
numbers than the toll free subscriber intends to use for the provision 
of toll free service. And, finally, the definition of hoarding also 
prohibits number brokering, which is the selling of a toll free number 
by a private entity for a fee.
    4. Almost 20 years ago, the Commission considered an auction 
approach to toll free number assignment in the 1998 Toll Free Order. In 
doing so, the Commission recognized that auctions ``offer all 
participants an equal opportunity to obtain a particular vanity 
number.'' The order also determined that although auctions are 
``generally efficient,'' it could not ``say on the present record that 
auctions of vanity numbers would produce efficiencies that would 
outweigh the practical difficulties,'' such as cost, administration, 
and impact on the international membership of the North American 
Numbering Plan (NANP). Recently, however, with the opening of the 833 
toll free code, the Commission took steps to reevaluate number 
assignment by establishing a series of pre-opening procedures to 
identify toll free numbers that could be part of an auction or other 
alternative assignment methodology. Specifically, the Bureau directed 
each RespOrg to ``submit a single request for up to 2,000 individual 
preferred 833 toll numbers.'' The Bureau then directed Somos, Inc., the 
Toll Free Numbering Administrator (TFNA), to review all 833 number 
requests and identify mutually exclusive numbers--those numbers for 
which there are two or more requests for assignment. Somos identified 
approximately 17,000 mutually exclusive numbers and placed these 
numbers in unavailable status pending the outcome of this proceeding. 
These mutually exclusive numbers include repeaters numbers (e.g., 833-
333-333 and 833-888-8888) as well as numbers that spell memorable words 
and phrases (e.g., 833-DENTIST, 833-DIVORCE, 833-DOCTORS, 833-FLOWERS, 
833-HOLIDAY, 833-INJURED, and 833-LAWYERS). Somos notes that 147 
RespOrgs participated in the pre-code opening process and the top ten 
mutually exclusive toll free numbers were requested by 65 or more 
RespOrgs. The top 25 numbers were requested by 48 or more RespOrgs, and 
the top 50 numbers were requested by 43 or more RespOrgs. The remaining 
numbers were assigned as established in the Commission's existing rule, 
that is, on a first-come, first-served basis.

III. Discussion

A. Distribution of Toll Free Numbers

    5. We propose expanding the existing toll free number assignment 
rule to permit use of an auction methodology, among other assignment 
mechanisms, to assign toll free numbers. To do so, we propose to revise 
section 52.111 of our rules to allow the Commission to assign numbers 
in a manner that is equitable, including by auction, on a first-come, 
first-served basis, an alternative assignment methodology, or by a 
combination of the forgoing as circumstances require. We seek comment 
on this proposal.
    6. We also seek comment on conducting a single round, sealed-bid 
Vickrey auction for the roughly 17,000 numbers set aside, pursuant to 
the 833 Code Opening Order, for which there were mutually exclusive 
requests. If adopted, we intend to consider the outcome of the 833 
auction to determine if changes need to be made to future code opening 
assignments. In addition, we propose--and seek comment on--revising our 
rules to promote development of a secondary market for toll free 
numbers.
    7. Equity Considerations. Section 251(e)(1) of the Communications 
Act directs the Commission to make numbers available on an equitable 
basis. The Commission has adopted rules to implement this obligation, 
as well as to serve the broader public interest in telephone number 
administration. We believe that toll free numbers generally can be made 
available equitably via an auction--under which RespOrgs bid for 
numbers valuable to them--and that in many cases, including with 
respect to the mutually exclusive 833 toll free numbers, such an 
auction approach would be more equitable than under the Commission's 
current first-come, first-served assignment rule. Parties who want 
particular toll free numbers often will have a better opportunity of 
acquiring those numbers, albeit for a price, in an auction than under 
the Commission's current rule, which does not take into account the 
need for or the value placed on particular numbers. As discussed above, 
with respect to 833 numbers, there are at least 65 RespOrgs that want 
the top-ten mutually exclusive numbers. This demonstrates that there is 
demand for certain mutually exclusive numbers, and thus we believe that 
auctioning these numbers would be a more equitable assignment mechanism 
than assigning them on a first-come, first-basis. We note that although 
a first-come, first-served system may randomly assign mutually 
exclusive numbers, it may also less equitably reward actors that invest 
in systems to increase their chances that their choices are received 
first by the TFNA. Moreover, if we allow for a secondary market for 
toll free numbers, it would be inequitable for a RespOrg or subscriber 
to get a valuable public resource for free, but then later be able to 
profit from it even when others would have paid for it initially.
    8. We note that the first-come, first-served rule has raised 
questions about whether recent toll free code openings were equitable 
because certain RespOrgs had enhanced connectivity to the toll free 
database that allowed them to quickly reserve desirable numbers. To 
address these concerns for the 855 and 844 toll free code openings, the 
Bureau directed the TFNA to limit the quantity of toll free numbers a 
RespOrg may reserve to 100 per day for the first 30 days. The Bureau 
found that this limited allocation would distribute desirable numbers 
more equitably. If the Commission adopts an auction approach for toll 
free numbers, such rationing of numbers would not be necessary. All 
bidders would have the same access to numbers in a new toll free code. 
We seek comment on whether this market-based auction approach would 
yield a more equitable outcome by allowing any RespOrg an opportunity 
to bid for numbers based on their valuations.
    9. Efficiency and Public Interest Considerations. In addition to 
meeting the statutory mandate of making numbers available on an 
equitable basis, an auction method of assigning toll free numbers is 
more efficient and serves the public interest in toll free number 
conservation. An auction assignment mechanism for mutually exclusive 
toll free numbers will promote efficiency by assigning these numbers to 
the parties that value them most. Moreover, toll

[[Page 47672]]

free numbers are a limited resource that are often used inefficiently 
because there is no real cost associated with obtaining that resource. 
If subscribers and RespOrgs are required to pay for toll free numbers, 
they are more likely to acquire only the numbers they or their 
customers need; they will have no incentive to acquire numbers beyond 
those needed. Thus, we believe that a toll free number auction will 
help limit exhaust of toll free numbers and further the public 
interest. We seek comment on our analysis.
1. Costs and Benefits of an Auction
    10. The investment by RespOrgs in enhanced connectivity to the 
database discussed above is evidence of strong competing demand among 
RespOrgs for toll free numbers. And the fact that the Commission places 
constraints on how many numbers a RespOrg can obtain at any point, and 
also on hoarding, suggests that certain toll free numbers are currently 
underpriced. We therefore believe that assignment via auction would 
more equitably and efficiently address this source of excess demand. 
Moreover, to the extent that, with the current assignment method, 
transaction costs impede or restrict the efficient assignment of toll 
free numbers, the public interest gains from implementing an efficient 
auction mechanism would be substantial. Thus, we believe that the 
equity and efficiency gains of an auction of mutually exclusive toll 
free numbers outweigh any costs of implementing an auction. We seek 
comment on this analysis. Also, if any commenters assert that an 
auction approach is inequitable, they should clearly explain why an 
auction approach would be inequitable, as well as how the current means 
of assignment, or some other means, would be more equitable.
    11. In arriving at our 833 number auction proposal, the Commission 
has considered the experience of the Australian Communications and 
Media Authority (ACMA) in auctioning toll free numbers. Between 2005 
and 2015, the ACMA attempted to auction 1.8 million unreleased 
``freephone'' (toll free) and ``local-rate numbers,'' considered 
desirable (as vanity numbers or repeaters), which were branded as 
``smartnumbers[supreg].'' The results of the auction show that the most 
desirable smartnumbers[supreg] were sold in highly competitive auctions 
early in the process. However, after the initial auctions within the 
first year of the most desirable numbers, the vast majority of 
smartnumbers[supreg] were uncontested and thus auctioned at set reserve 
prices. In reviewing the outcome of the ACMA auction, we propose, at 
least for the 833 code, to auction only mutually exclusive toll free 
numbers for which there is some demonstration of demand, and to assign 
the rest on a first-come, first-served basis. We seek comment on how 
the Commission has considered the results of the ACMA experience in 
developing our own auction model.
2. Auction Procedures for 833
    12. As discussed above, the Commission proposes to assign toll free 
numbers in a manner that is equitable, including by auction, on a 
first-come, first-served basis, by alternative assignment 
methodologies, or by a combination of these methods, as circumstances 
require. In this section, we seek comment on certain auction procedures 
for the roughly 17,000 mutually exclusive numbers, which were set-aside 
in our 833 Code Opening Procedures Order. Specifically, we propose to 
use a single round, sealed-bid Vickrey auction, as discussed below. We 
emphasize that our proposal discussed herein is limited to the set-
aside 833 mutually exclusive toll free numbers. If adopted, we intend 
to consider the 833 auction process and outcomes in deciding how to 
make future toll free assignments. In particular, we may decide whether 
to use the single round, sealed-bid Vickrey auction model or another 
auction model, to employ the current first-come, first-served policy, 
or an alternative assignment method, or combination of these methods, 
as circumstances require. We seek comment on these proposals.
a. Single Round, Sealed-Bid Vickrey Auction
    13. Single Round, Sealed-Bid Auction. We propose to assign numbers 
using a single round, sealed-bid auction. This methodology would be 
used for the roughly 17,000 numbers set aside in the 833 code. In such 
an auction, a bidder submits bids for individual numbers privately to 
the auctioneer. We propose use of a single round, sealed-bid auction 
here because such auctions are relatively easy to implement and to bid 
in and, therefore, less costly to both the auctioneer and participants 
than more complex multi-round auctions.
    14. We further propose an auction in which participants 
simultaneously submit separate bids for each number they are interested 
in, with the winning bid for each number being determined solely by 
bids for that number, independent of the bids for any other number. 
Thus, the proposed auction will not allow for package bids--bids for 
combinations of numbers. Thus, if a bidder values one number at, say 
$10, and another at $20, and the two together at $50, the bidder cannot 
place three bids, one of $10 for the first number, a second of $20 for 
the second, and a third of $50 for both. Instead, only two bids can be 
placed, one for each of the two numbers, with no guarantee both numbers 
will be won. While it is likely that some bidders may demand more than 
one number in an auction, we do not believe valuation synergies, to the 
extent they exist, warrant allowing package bids. We seek comment on 
this proposal. We further seek comment on other advantages or 
disadvantages of allowing package bids.
    15. Vickrey (Single Round, Sealed-Bid) Auction. To assign 833 
mutually exclusive toll free numbers, we also propose to incorporate a 
Vickrey auction into the 833 auction procedures. In a Vickrey auction, 
the highest bidder for a number wins and pays the second-highest bid 
for the number. If we determine that package bids are allowed in an 
auction, then the bidders who maximize overall revenue from the auction 
win and pay the opportunity costs (highest alternative value) of their 
bids as discussed in more detail in section IV below.
    16. A Vickrey auction could result in an equitable and efficient 
assignment of mutually exclusive toll free numbers. For example, in a 
Vickrey auction for one object, such as a toll free number, because the 
winner pays the second highest bid, the winner's surplus (the winner's 
value minus the amount paid), does not depend on the winner's bid. 
Since the amount paid is not a function of the winner's bid, it is 
optimal for bidders in this type of auction to bid their valuation. 
This result rests on the assumption that bidder values are independent, 
i.e., a bidder's payoff is only a function of that bidder's estimates 
of value, and not a function of the opponents' estimates of value. With 
interdependent valuations, bidding one's value is typically not 
optimal. Independence implies bidders do not interact in a future 
circumstance, where any information gained by observing the auction's 
outcomes (notably, if bid amounts are later made public) could be used. 
The result also assumes the auction's rules are enforced. Similarly, 
bidders in a Vickrey auction with package bidding can do no better in 
equilibrium than to bid their valuations. As a consequence of truthful 
bidding, a Vickrey auction allocates the numbers efficiently to the 
bidders who hold the highest valuations. We do note that although a 
Vickrey auction may lead to an efficient outcome, are there 
disadvantages or costs to this approach? Furthermore, it might be 
undesirable for

[[Page 47673]]

bidders in a Vickrey auction to fully reveal their valuations in the 
auction, particularly when some bids become public information. We seek 
comment on using the Vickrey auction methodology for the 833 mutually 
exclusive numbers and ask parties to elaborate on the advantages and 
disadvantages of this proposal.
    17. Reserve Prices. Reserve prices (or minimum acceptable bids for 
a number) can help to improve revenue in an auction. However, our 
objective is primarily to increase the efficiency of toll-free number 
assignments. Since the numbers that are not auctioned are offered on a 
first-come, first-served basis at zero price, we recognize that an 
equitable assignment of numbers in the auction may be inconsistent with 
the imposition of a reserve price. Furthermore, establishing a level of 
the reserve price that is in the public interest may require precise 
information that is unavailable prior to running a first auction for 
toll free numbers. We seek comment on whether a reserve price should be 
imposed in the auction, and generally on the potential advantages and 
disadvantages of reserve prices in an auction of toll-free numbers. If 
a reserve price is imposed in the auction, what factors should we 
consider in determining a level of the reserve price that is in the 
public interest?
b. Alternative Auction Methodologies
    18. Pay-Your-Bid Auction. An alternative methodology is a pay-your-
bid auction whereby the highest bidder wins and pays his or her bid. A 
pay-your-bid auction also has benefits. This type of auction is 
generally straightforward because, as the name suggests, the highest 
bidder for a number wins the auction and pays his or her bid. Moreover, 
the pay-your-bid auction may yield significantly higher revenues than 
the generalized Vickrey second-price auction. On the other hand, the 
pay-your-bid auction may give rise to an inefficient toll free number 
assignment because in a pay-your-bid auction, bidding to reflect true 
valuations is not usually optimal. Bidding one's valuation in a pay-
your-bid auction guarantees zero payoff: the difference between value 
and bid (the bidder's surplus) is equal to zero whether one wins or 
not. As a result, to ensure a positive expected payoff, bidding below 
one's value is optimal in the pay-your-bid auction.
    19. Open Auction. Although we propose a Vickrey auction, we seek 
comment on the use of an open auction. Open auctions can help bidders 
form more accurate expectations of the value of an object in 
environments in which bidders possess different and uncertain 
information about the objects for sale. Examples of open auctions 
include the traditional English auction where the auctioneer calls 
increasing prices, eBay auctions where ascending bids are placed over a 
period of time, and the simultaneous multi-round auction employed by 
the Commission for the allocation of electromagnetic spectrum. Open 
auctions offer bidders the opportunity for price discovery and can lead 
to more efficient outcomes. However, these types of auctions may be 
more costly to implement, and we expect the bidders' valuations for 
toll free numbers will not be subject to significant uncertainty, as 
discussed in more detail in section IV below. Idiosyncratic is a term 
of art. An example of idiosyncratic valuations is where one person 
values a painting because it evokes certain memories, another values it 
because of the artist's composition and technique, and a third values 
the painting because it fits well in a pre-selected space. The 
valuation that each person attaches to the painting is not changed by 
knowing whether or why the other persons like it. We seek comment on 
this issue. Would bidders change their valuations if they knew more 
about other bidders' valuations? Would this new information be central 
to an increase in the efficiency of the auction? Are there other 
advantages and disadvantages of an open auction that we should 
consider?
    20. Other Auction Designs. Other than the auction designs and 
procedures discussed above, we seek comment on whether there are other 
auction designs we should consider. We believe that the auction design 
best suited to yield an outcome that is in the public interest depends 
in large measure on the institutional details of the toll free number 
market. We therefore seek comment from industry and interested 
stakeholders about the essential characteristics of the toll free 
number market that might be helpful to develop an auction design most 
suitable to serve that market and the broader public interest. We 
invite parties to provide any alternatives or offer further economic, 
legal, or logistical insights about these and other auction designs and 
procedures.
3. Auction Eligibility
    21. We propose to allow only RespOrgs to bid in an auction; 
potential subscribers seeking mutually exclusive toll free numbers 
would need to approach one or more RespOrgs about placing a bid on 
their behalf. We seek comment on this proposal. We think our proposal 
is consistent with the RespOrg's role as manager and administrator of 
toll free records in the TFNA database. Our proposal also reflects in 
part the importance of RespOrgs as market makers. Further, RespOrgs may 
have strengths in maximizing the valuation of certain numbers, for 
example, by piecing together geographic coalitions of subscribers who 
may be unable to coordinate by themselves. We seek comment on this 
proposal. We also seek comment on whether we should consider allowing 
subscribers to directly participate in an auction. Are there benefits 
to allowing their participation? Would an auction that includes both 
subscribers and RespOrgs be difficult to implement? Assuming we use an 
auction methodology for future code openings or other toll free 
assignments and identify mutually exclusive numbers, how should we 
define mutual exclusivity? Should we consider mutually exclusive 
numbers those numbers which two or more RespOrgs have requested, or 
numbers that have been requested by two or more subscribers? If mutual 
exclusivity means toll free numbers requested by two or more RespOrgs, 
is there a way to determine how many of these numbers are sought by 
more than one subscriber? Are there legal restrictions to allowing 
subscribers to circumvent their relationship with RespOrgs to 
participate directly in an auction, and would other provisions in our 
existing toll free rules need to be revised to allow participation by 
subscribers?
    22. The greater the number of auction participants, the more 
effective the 833 number auction and subsequent toll free number 
auctions will be. We seek comment on ways to notify potential 
subscribers about auctions and encourage their participation through 
their chosen RespOrg(s). Should we consider including subscriber 
information in the TFNA database? Currently, the TFNA can notify 
RespOrgs about auctions--because the toll free database identifies the 
RespOrg for each number assigned--but it cannot notify subscribers 
potentially interested in bidding for a number because the database 
does not contain subscriber information. Would inclusion of subscriber 
information in the toll free database provide greater market 
transparency for auction bidders, improving the efficiency of the 
auction? Are the costs of including this information in the database 
significant? Would having subscriber information in the database be 
useful for other reasons, such as helping the TFNA and the

[[Page 47674]]

Commission resolve disputes over the use of a toll free number or 
helping law enforcement agencies identify the subscriber for a number 
being used for unlawful purposes? Are there privacy or other 
considerations that would militate against including subscriber 
information in the database that would be visible to other bidders (as 
opposed to being visible just to TFNA)?
    23. We propose not to limit the quantity of toll free numbers 
RespOrgs can acquire through the auction and seek comment on this 
proposal. We think that limiting the number of bids that can be placed 
by a RespOrg in the auction may hamper efficiency because it may 
constrain primarily the bidders who hold the highest valuations. Do 
parties agree with this belief? If subscribers are allowed to bid for 
numbers, should we impose limits on the quantity of 833 numbers they 
can acquire in the auction?
4. Auctioneer
    24. We seek comment on the characteristics of an auctioneer who 
would be able to put in practice the auction process we propose above 
at the lowest cost. Should we designate the TFNA as the auctioneer?
5. Treatment of Auction Funds
    25. We propose that the net proceeds from any toll free number 
auction proposed in this Notice be directed to defray the costs of 
number administration. Specifically, we propose that auction funds be 
applied to offset the costs of toll free numbering administration by 
the TFNA within the NANP for the benefit of all RespOrgs and 
subscribers. This approach would include the administrative costs of 
implementing numbering auctions should the Commission designate the 
responsibility to the TFNA. The TFNA administers toll free numbers, 
which are part of the NANP numbering resources. The NANP is comprised 
of 20 member countries. We propose that the auction proceeds from any 
toll free auction be applied to offset the costs of the TFNA to equally 
benefit RespOrgs and subscribers in those member countries to the 
extent they pay fees to the TFNA. Commenters should address whether 
this approach is the best method of applying the proceeds from the 
auction, or whether alternative methods are preferable. We also seek 
comment on any legal, logistical, or international implications of this 
proposal, given the international composition of the NANP. Further, we 
do not believe that applying auction funds to offset the TFNA costs, 
within the NANP, implicates any U.S. fiscal statutes. Pursuant to our 
authority under section 251(e), the Commission has used a number of 
different approaches to collect funds to defray the costs of numbering 
administration without implicating, for example, the Miscellaneous 
Receipts Act (MRA). None of these cost recovery mechanisms implicated 
the MRA, and we do not believe that applying auction funds to offset 
the TFNA costs, within the NANP, would implicate the MRA, due to the 
Commission's authority under section 251(e). We seek comment on this 
view.
    26. We also seek comment on implementation issues from applying 
auction funds to offset the TFNA. We currently require that the TFNA's 
tariffed rates charged to RespOrgs be based on the cost of providing 
its services, determined on a year-by-year basis. What is the best way 
to factor in auction revenues? Because the TFNA is limited to 
recovering its revenue requirement, and must budget and adjust its fees 
accordingly each year, how should it account for additional revenues 
from a number auction? Should we create a system whereby auction 
proceeds realized in a given calendar year are held and remitted to the 
TFNA in the beginning of the following year (early January)? Or, are 
there alternative remittance systems that are preferable?
    27. If an auction generates more revenue than the TFNA revenue 
requirement for a particular year, parties should comment on how to 
allocate those additional funds. Should the TFNA retain any excess 
auction revenues, and apply them to the revenue requirements of future 
years? Alternatively, should such remaining auction proceeds instead be 
remitted to the NANP Administrator (NANPA) to defray the general costs 
of administering it? Would directing any excess proceeds in this manner 
benefit all users of the NANP across the 20 countries that comprise it? 
Are any of the federal statutes discussed above implicated if we handle 
additional auctions proceeds in this manner?
6. Alternative Assignment Methodologies
    28. The Commission seeks comment on the costs and benefits of other 
possible assignment approaches for desirable 833 numbers. We classify 
assignment approaches as either market-based, such as an auction, or 
administrative, such as a lottery or first-come, first-served. 
Notwithstanding our proposal to adopt the market-based auction approach 
described above, an administrative approach may also have value. 
Therefore, we also seek comment on possible benefits and drawbacks of 
administrative assignments.
    29. We wish to use any 833 auction as an experiment to ensure that 
we develop well-tested rules going forward. After we review the record 
in response to this Notice, we anticipate adopting rules for auctioning 
the 833 mutually exclusive numbers. Upon completion of any 833 auction, 
the Bureau will report to the Commission on the outcomes of the auction 
and lessons learned. As we draw on the experience of the 833 auction, 
the Bureau will refresh the record in this proceeding before the 
Commission considers adopting final rules for the distribution of other 
toll free numbers going forward.

B. Secondary Markets for Toll Free Numbers

    30. Consistent with the market-based approach for assigning 
mutually exclusive toll free numbers, we seek comment on revising our 
current rules to promote development of a secondary market for toll 
free numbers generally. A secondary market would allow subscribers to 
reassign their toll free numbers to other subscribers for a fee (or 
other compensation) the parties negotiate. Under the Commission's 
rules, RespOrgs are responsible for managing and administering toll 
free records on behalf of subscribers. See 47 CFR 52.101(b). We do not 
propose to change those responsibilities in this Notice. We are mindful 
of long-standing Commission and legal precedent that a telephone number 
is a public resource that is not privately owned and cannot be sold. We 
seek comment, however, on whether we should change our rules so that 
even though a subscriber does not own a toll free number, he or she may 
reassign the right to use that number for a fee. For example, in a 
secondary market, a business owner who wants to sell his or her 
business may sell the right to use the toll free number associated with 
the business. This reassignment would benefit both the seller and buyer 
of the business. Therefore, a secondary market may be more equitable 
and promote economic efficiencies as the number would be better 
utilized by the new business owner than if it were returned to the pool 
of available toll free numbers and subject to first-come, first-served 
assignment.
    31. Current market realities appear to support a secondary market 
as an efficient and productive use of numbers. Despite the fact that 
toll free numbers are a public resource and neither carriers nor 
subscribers ``own'' their numbers, it takes little effort to find toll 
free numbers advertised for sale. An

[[Page 47675]]

Internet search for ``toll free numbers for sale'' produces numerous 
options to presumably buy and sell toll free numbers, as do online 
auction site searches for ``toll free number.'' Indeed, the Enforcement 
Bureau has taken action against an individual who, through his company, 
engaged in multiple rule violations, including brokering ``15 toll free 
numbers for fees ranging from $10,000 to $17,500 per number'' to a 
pharmaceutical company. The fact that some parties are willing to take 
the risk of participating in a black market to obtain toll free numbers 
suggests that there is significant demand for such numbers. We believe 
that creating a framework for lawful transactions in these secondary 
markets would be beneficial by permitting subscribers to legally obtain 
numbers which they value. Even outside the context of a business 
ownership change, RespOrgs and subscribers may wish to buy and sell 
toll free numbers among themselves based on the usefulness of the 
numbers. We seek comment on our proposal, and in particular, the impact 
of a rule change on our public resource precedent.
    32. We also seek comment on whether the TFNA should receive any 
transaction proceeds or charge any fees to offset number administration 
costs. Such funds could be used for the same purpose as we propose for 
auction funds: to offset the costs of toll free numbering 
administration by the TFNA within the NANP for the benefit of all 
RespOrgs and subscribers. Would this be an efficient use of funds? If 
we did charge a transaction fee for the transfer of toll free numbers 
in the secondary market, what amount should be charged? Are there legal 
constraints in charging a transaction fee for the transfer of toll free 
numbers? Are there international concerns if such fees went to offset 
costs of the NANP? Additionally, we seek comment on whether a RespOrg 
should be able to charge a fee for such transfers, and on whether such 
fees, if charged, should be regulated. Or, should we put in place some 
other mechanisms to prevent the abuse of any market power RespOrgs 
might have? Would a secondary market have an impact on settling 
trademark or branding disputes in desirable toll free numbers?
    33. Interested parties should further comment on what types of 
information the TFNA would need from the buyer and seller to document a 
reassignment. Would the TFNA need to develop an online system to record 
any reassignments in the secondary market? How will parties know when a 
number is available for reassignment, i.e., when a RespOrg or 
subscriber wishes to sell it? Should the Commission or the TFNA 
maintain a database that potential buyers could check, or should buyers 
be responsible for their own advertising of numbers for sale? How could 
the Commission or the TFNA help ensure members of the public are able 
to verify that an entity is in fact a RespOrg? Are there additional 
roles or functions the TFNA could perform or provide that would benefit 
functioning of a secondary market or market participants?

C. Toll Free Number Administration

1. Toll Free Number Rule Revisions
    34. We propose revising certain toll free number rules to support 
our market approach to assigning certain toll free numbers for new code 
openings, recovered toll free numbers, and in the secondary market. 
Specifically, we propose revising the first-come, first-served rule, 
and seek comment on eliminating the brokering rule entirely. We also 
seek comment on revising the warehousing and hoarding rules.
    35. First-Come, First-Served Rule. We propose revising section 
52.111 of our rules to allow for the assignment of toll free telephone 
numbers to RespOrgs and subscribers on an equitable basis by auction, 
on a first-come, first-served basis, by using an alternative assignment 
methodology, or by a combination of these approaches as circumstances 
require. We seek comment on this proposal. Are different or more 
specific parameters needed? It has been nearly 20 years since the 
adoption of the first-come, first-served rule. Are there other 
revisions to that rule we should consider?
    36. Brokering Rule. The Commission's brokering rule prohibits 
RespOrgs and subscribers from selling a toll free number for a fee. We 
seek comment on eliminating the brokering rule as it directly precludes 
a secondary market for toll free numbers. Alternatively, we seek 
comment on whether the Commission should relax or suspend the brokering 
rule in any way. Commenters should address whether these approaches are 
consistent with the public resource nature of toll free numbers, while 
still promoting the economic efficiencies of a secondary market in toll 
free numbers. The brokering rule was adopted with the intention of 
equitably assigning numbers and minimizing number exhaust. However, we 
now question whether the brokering rule was a useful way to achieve 
those ends. We seek comment on whether there are any other 
modifications we should make to the rule in lieu of eliminating it to 
avoid any undesirable or unforeseen outcomes.
    37. Warehousing and Hoarding Prohibitions. The warehousing and 
hoarding prohibitions are intended to limit exhaust of toll free 
numbers by ensuring that numbers, once removed from the pool of 
available numbers, are used efficiently. We seek comment on whether 
these rules effectively serve their purpose or whether we should revise 
or eliminate these rules. If numbers could be stored, and traded, would 
market forces ensure their efficient assignment? Without these rules, 
will RespOrgs and subscribers hold numbers they no longer need, hoping 
to sell them later at higher prices? If they were to do so, could we 
discourage this practice by limiting the amount of time a RespOrg or 
subscriber may hold a toll free number without either using or selling 
it? That is, should we require that a number be ``in use'' within a 
certain time after it is obtained? What constitutes number ``use'' in 
this context? What time limit should we impose and how should we 
enforce that limitation? Should we consider increasing administrative 
fees on RespOrgs (which would be passed on to subscribers) to limit the 
amount of time a number is held? In the alternative, should the 
Commission eliminate these warehousing and hoarding prohibitions, along 
with the brokering prohibition, and rely instead on market forces to 
determine if and when toll free numbers are sold in the secondary 
market?
    38. Other Rule Revisions. We also seek comment on whether the 
Commission should eliminate or revise any other toll free rules. For 
example, should the Commission revise the definition of the Service 
Management System (SMS) Database in section 52.101(d) to include 
subscriber information as discussed above? Moreover, section 52.103 of 
the rules contains a number of definitions and rules pertaining to the 
``status'' of toll free numbers in the database and when these numbers 
are available for assignment to subscribers. The term ``status'' refers 
to whether and how a toll free number is being used. What revisions, if 
any, to these categories should we consider to promote a secondary 
market?
2. Toll Free Numbers Used for Public Purposes
    39. We seek comment on whether certain desirable toll free numbers 
necessary to promote health, safety, education, and other public 
interest goals should be set aside for use, without cost, by government 
(federal,

[[Page 47676]]

state, local and Tribal) agencies as well as by non-profit health, 
safety, education, or other non-profit public interest organizations. 
Numerous organizations use desirable toll free numbers for a variety of 
purposes, such as for contacting the organization for information or 
assistance and for fundraising. For example, the Department of Health 
and Human Services uses 800-SUICIDE to support a network of suicide 
prevention hotlines. Parties should address the advantages and 
disadvantages of granting an exemption for certain governmental and 
non-profit health, safety, education, and other non-profit public 
interest purposes. How would such a system be implemented and 
administered? Would this system raise any First Amendment, statutory, 
or other legal issues? For example, how should such non-profit health, 
safety, education, and other non-profit public interest organizations 
be defined; should definitions from other sections of the Act or the 
Commission's rules be used? Should entities other than the ones 
described above--non-profit health, safety, education, or other non-
profit public interest organizations--be included in this definition or 
receive similar treatment? Should the Commission treat these purposes 
differently from other purposes for which desirable numbers are used? 
What are the pros and cons of each approach?
3. Abuse of Toll Free Numbers
    40. We also seek comment on ways the Commission may address 
possible abuse of toll free numbers after they have been assigned to a 
non-profit health, safety, education, or other non-profit public 
interest organizations or any purchaser in an auction or in the 
secondary market? Should the Commission propose a rule stating its 
ability to reclaim any toll free number that is used for fraudulent or 
otherwise unlawful purposes? Also, should the Commission create, or 
direct the TFNA to create, any terms and conditions for use of a toll 
free number purchased in an auction or the secondary market? Should the 
Commission codify its authority to reassign a number to another 
subscriber if there is a strong public interest need to use the number 
for another purpose. For example, following Hurricane Katrina in 2005, 
the Commission reassigned 800-RED-CROSS from a for-profit corporation 
to the American Red Cross so it could facilitate the Nation's response 
to the disaster wrought by Hurricane Katrina.
4. Toll Free Number Assignment Management
    41. In light of the proposed changes to the toll free number 
assignment methodology in this Notice, we seek comment on whether the 
Commission should consider changes to overall toll free number 
administration. Since the Commission required designation of an 
impartial entity to administer toll free numbers, the TFNA has evolved 
from a Bell Operating Company operated organization, to a non-profit 
membership corporation. Somos, Inc., the TFNA--organized as an 
independent, non-profit corporation--administers the toll free SMS. 
Somos provides access to the SMS pursuant to the SMS Tariff that sets 
forth the regulations, rates, and charges applicable to SMS services, 
and describes the features and functions of the SMS.
    42. SMS 800 Tariff. Should we consider a different mechanism for 
toll free number administration than the tariff mechanism described 
above? The TFNA currently files a tariff that outlines the features and 
functions of the SMS, establishes RespOrg responsibilities and 
eligibility criteria, and sets forth the rates for service. The tariff 
also lists both the monthly and non-recurring charges for database 
access and other SMS services. In the 1993 CompTel Declaratory Ruling, 
the Commission declared that RespOrg access to the SMS database ``is a 
Title II common carrier service and shall be provided subject to 
tariff.'' Subsequently, in 2013, the Commission found that the 
reorganized toll free administrator, now Somos, met the neutrality 
requirements required by section 251(e) of the Act and the Commission's 
rules, so long as it files and maintains the tariff.
    43. Should the Commission consider a different regulatory treatment 
for SMS service? How, given the central role of the TFNA in the 
administration of toll free numbers, would we ensure the public is 
protected from unreasonable rates, terms, and conditions? 
Alternatively, if the Commission adheres to the current TFNA model, 
including its filing of a tariff, should the Commission require more 
transparency in Somos's operations and budget? Are there other ways to 
make Somos's financial information more transparent? Although the 
public tariff outlines Somos's general operating procedures, certain 
information may be difficult to discern and other information is 
provided to the Commission under confidential cover. As a non-profit 
organization, Somos is only allowed to recover operating costs. Part of 
the Commission's rationale in allowing Somos to reorganize as a non-
profit membership was ``any savings realized as a result of SMS/800, 
Inc.'s corporate restructuring is likely to be reflected in lower 
tariffed rates for RespOrgs, which should in turn lead to lower charges 
for toll free subscribers.'' Would a more transparent, or itemized 
accounting of Somos's costs further this goal and also better inform 
RespOrgs and subscribers of the costs of acquiring toll free numbers? 
We seek comment and ideas from industry on the roles of the TFNA and 
tariff as an important means to help us modernize toll free number 
assignment.

D. Legal Authority

    44. The Commission has consistently found that the Act requires the 
Commission to ensure the equitable, efficient, and orderly assignment 
of toll free numbers. As noted above, section 251(e)(1) of the Act 
gives the Commission ``exclusive jurisdiction over those portions of 
the North American Numbering Plan that pertain to the United States'' 
and provides that numbers must be made ``available on an equitable 
basis.'' Accordingly, the Commission retains ``authority to set policy 
with respect to all facets of numbering administration in the United 
States.'' In addition, the Commission has stated that sections 201(b) 
and 251(e)(1) of the Act ``empower the Commission to ensure that toll 
free numbers, which are a scarce and valuable national public resource, 
are allocated in an equitable and orderly manner that serves the public 
interest.'' This exclusive jurisdiction over numbering policy enables 
the Commission to act flexibly and expeditiously on important numbering 
matters. We note the Commission has also relied on sections 1 and 4(i) 
of the Act to assign toll free numbers on an equitable and efficient 
basis.
    45. The Commission has promulgated toll free number rules to 
satisfy these congressional mandates. The proposed actions in this 
Notice--including the proposal to use a new simple, low-cost auction 
method of assigning toll free numbers; and modifications to our current 
rules to allow a secondary market for toll free numbers that would 
support market forces after a code opening--are intended to further and 
better satisfy these mandates.
    46. As we noted in the background section of this Notice, in 1998, 
the Commission previously considered using an auction approach to toll 
free number assignment. In the 1998 Toll Free Order, the Commission 
recognized

[[Page 47677]]

that auctions are both an equitable and a ``generally efficient'' 
assignment mechanism.'' At that time, however, the Commission could not 
say ``based on the present record that auctions of vanity numbers would 
produce efficiencies that would outweigh the practical difficulties,'' 
such as cost, administration, and impact on the international 
membership of the NANP. Our proposal to implement auctions for mutually 
exclusive toll free numbers is consistent with the Commission's 
previous finding that auctions are generally equitable and efficient. 
We believe that auctions would now be a more equitable and efficient 
approach to assignment of mutually exclusive toll free numbers and that 
the benefits of such auctions would outweigh any practical 
difficulties. We seek comment on this assessment. With nearly two more 
decades of experience and increased demand for toll free numbers, we 
seek to develop a new record which we believe will show that the 
efficiencies produced by the proposed auction will outweigh any 
practical difficulties.
    47. For the reasons previously discussed in this Notice, we believe 
the proposals herein are consistent with and further the Commission's 
statutory mandate to make ``numbers available on an equitable basis.'' 
These proposals include a more efficient and market-driven approach to 
assigning toll free numbers, better promote productive use of numbers, 
and reflect current market realities. We invite comment on the sources 
of authority discussed above.

IV. Toll Free Auction Design

    48. In this Appendix, to assist interested stakeholders in 
preparing focused and detailed comments on the Notice, the Commission 
provides additional information on our interest in how potential 
bidders determine the value of toll free numbers, and on the Vickrey 
auction.

Toll Free Number Valuations

    49. The way potential bidders in our proposed auction determine 
their valuations of coveted numbers, such as 1-833-FLOWERS, can 
determine whether there are benefits from having a multi-round auction. 
One possibility is individuals' valuations are idiosyncratic, that is, 
are inherent to the specific bidder, without commonalities or 
interdependencies in how subscriber valuations are determined. For 
example, potential bidders may develop their valuations based on the 
size of their merchant network, and their business models, and these 
valuations would not be changed if they were to discover a different 
bidder valued the same number differently.
    50. RespOrgs act as intermediaries in the toll free market. 
RespOrgs' gains or surpluses from supplying a toll free number may be 
characterized by significant commonalities or interdependencies, that 
is, RespOrg valuations of toll free numbers may not be idiosyncratic. 
Instead, a RespOrg that observed another RespOrg with a significantly 
higher or lower valuation than its own might wonder if it was 
misinformed, and the other RespOrg knows something about the value of 
the number that it does not. A RespOrg derives surplus from acquiring a 
toll free number only to the extent that it can profitably supply it to 
a subscriber. This surplus is equal to the difference between the price 
the RespOrg obtains for the number, and the cost of supplying it. 
Differences in the technologies RespOrgs use to supply numbers, for 
example, to provide geographic-based calling, or in the markets the 
RespOrgs address may give rise to idiosyncratic differences in cost. 
However, if RespOrgs generally compete with other similar RespOrgs 
using the same technologies, seeking to supply the same subscribers 
with largely the same service, then the key factor that might lead such 
RespOrgs' valuations of a number to differ is their assessment of the 
highest price that a subscriber is willing to pay for the number (since 
the relevant RespOrg's have similar costs, and are supplying 
essentially the same service). While the Commission recognizes many 
RespOrgs have different business models, it also considers that in 
general RespOrgs largely use the same technologies to supply the same 
services to customers with a demand for certain types of valuable toll 
free numbers. For any such RespOrgs, the Commission does not view 
differences in the cost of supplying toll free number or their business 
models as giving rise to significant differences in competing RespOrgs' 
surpluses from supplying a given toll free number. The Notice seeks 
comment on the extent to which this conclusion is correct, that is, on 
whether differences in the cost structure or business plans of various 
RespOrgs competing for the same customers using similar technologies 
may cause their surpluses from supplying a given toll free number to 
vary idiosyncratically.
    51. If the Commission is right about competing RespOrgs largely 
using the same technologies to satisfy the same business models, then 
the surpluses of different RespOrgs from supplying a toll free number 
are not likely to differ significantly ex post. However, the RespOrgs' 
ex ante valuations of a toll free number may be uncertain. In 
particular, while many RespOrgs likely have a deep understanding of the 
market for toll free number, and, consequently, their valuations of a 
given toll free number might be fairly precise, other competing 
RespOrgs may not have a similar understanding of the market, and their 
valuations of a given number might be uncertain to some degree. If it 
is true that at least some competing RespOrgs have materially different 
estimates of customers' valuations of certain toll free numbers than 
others, then an open auction might allow bidding RespOrgs to refine 
their value of the number or numbers they are bidding. However, the 
Commission believes that, overall, the RespOrgs' valuations of a toll-
free number are only slightly affected by uncertainty. We seek to 
understand the degree to which uncertainty affects some of the 
RespOrgs' valuations of a toll-free number.

The Vickrey Auction

    52. To formulate their views on a Vickrey auction with no package 
bids, as proposed in the Notice, commenters may find this example 
helpful. Suppose there are two bidders, A and B, and two toll free 
numbers to be assigned Number 1 and Number 2. Bids are indicated by the 
dollar amounts in the table below. These bids should not be treated as 
indicative in any way of the expected value of any of the numbers 
auctioned, and are provided only as an example.

                          Bidding Example Table
------------------------------------------------------------------------
                Bidder/No.                    1        2     {1,2{time}
------------------------------------------------------------------------
A........................................      $10      $20        $32
B........................................       16        8         25
------------------------------------------------------------------------

    53. In a Vickrey auction without package bids, but which allows 
simultaneous bidding over more than one number, only columns 1 and 2 
are relevant. Bidder A obtains Number 2 because it bid the highest 
amount ($20). Bidder A pays the highest non-winning bid for Number 2 
($8). Bidder B obtains Number 1, because it bid the highest amount 
($16). Bidder 2 pays the highest non-winning bid for Number 1 ($10). 
Moreover, our expectation is that the four bids reflect the bidders' 
true valuation of each number. This is because regardless of what other 
bids are made, a bidder can always do better by bidding its true value. 
If instead the bidder underbids, it may lose when it could have won by 
paying no more and potentially less than his value. If it overbids, it 
may win and potentially pay

[[Page 47678]]

more than the object is worth to it. Therefore, it is optimal to bid 
his value. This assumes the rules of the auction are fully enforceable, 
and truth revelation in this auction would not be harmful to the 
bidders in other contexts. Consequently, if each number's valuation was 
independent of the other, the auction would be economically efficient. 
It would assign the numbers to maximize value to the bidders.
    54. In a generalized Vickrey auction with package bids, given the 
bids found in the table, the numbers are also assigned as in in the 
non-package generalized Vickrey auction. A different allocation would 
emerge, for example, if Bidder A valued both numbers at 37. Then Bidder 
A would get both numbers. In this case, however, the payments required 
of the winning bidders change. As in the case of the non-package 
auction, the payments in the generalized Vickrey auction are equal to 
the opportunity cost (highest alternative value) of the items won by 
each bidder. However, as is the case in the table, this changes the 
opportunity cost of the bid. The payments required in the package 
auction are determined as follows:

    If Number 2 is assigned to Bidder B instead of Bidder A, then 
Bidder B would realize a value of $25 (because Bidder B would have 
obtained both numbers). By assigning Number 2 to Bidder A, the 
(opportunity) cost for Bidder B is $9 ($25 minus $16, the value for 
Bidder B from obtaining Number 1). If Number 1 is assigned to Bidder 
A instead of Bidder B, then Bidder A would realize a value of $32. 
By assigning Number 1 to Bidder B, the (opportunity) cost for Bidder 
A is $12 ($32 minus $20). Thus, the outcome of the generalized 
Vickrey auction is as follows: Bidder A obtains Number 2, for which 
it pays $9. Bidder B obtains Number 1, for which it pays $12.

    55. Further, in such auctions, by similar reasoning to that 
provided for the non-package auction, the bidders best strategy is to 
bid their valuations. Accordingly, the highest value can be realized by 
assigning Number 2 to Bidder A and Number 1 to Bidder B. In this case, 
that value is $36: $20 for Bidder A and $16 for Bidder B. If Number 1 
is assigned to Bidder A, and Number 2 to Bidder B, then the value of 
the assignment is $18. If both numbers are assigned to Bidder A, the 
value of the assignment is $32. If both numbers are assigned to Bidder 
B, the value of the assignment is $25. The generalized Vickrey auction 
assigns the two numbers to maximize value. Accordingly, the generalized 
Vickrey auction assigns Number 2 to Bidder A and Number 1 to Bidder B. 
Thus, the generalized Vickrey auction with package bids is economically 
efficient allocating the numbers to maximize the value to bidders.

V. Initial Regulatory Flexibility Analysis

    56. As required by the Regulatory Flexibility Act of 1980, as 
amended (RFA), the Commission has prepared this 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 Notice of Proposed Rulemaking (Notice). The Commission 
requests written public comments on this IRFA. Comments must be 
identified as responses to the IRFA and must be filed by the deadlines 
for comments provided on the first page of the Notice. The Commission 
will send a copy of the Notice, including this IRFA, to the Chief 
Counsel for Advocacy of the Small Business Administration (SBA). In 
addition, the Notice and IRFA (or summaries thereof) will be published 
in the Federal Register.

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

    57. In this Notice, we propose changes to, and seek comment on, our 
toll free number administration and assignment rules. While the 
Commission's current rule uses a first-come, first-served approach to 
the assignment of toll free numbers, to help ensure the continued 
usefulness and availability of this finite resource, we now examine 
alternative assignment methodologies. The objective of the proposed 
rules is to create a more efficient method of toll free number 
assignment that is consistent with our statutory mandate to make 
``numbers available on an equitable basis.'' Specifically, we propose 
amending our rules to allow for use of an auction to assign certain 
toll free numbers--such as vanity and repeater numbers--in order to 
better promote the equitable and efficient, use of numbers. With the 
opportunity afforded by the opening of the 833 toll free code, we 
propose to use an auction for assigning numbers for which mutually 
exclusive interest has been expressed. We seek comment on repealing or 
relaxing the prohibition on number brokering, thereby allowing toll 
free number secondary markets, and consider a variety of other means to 
modernize toll free number assignments.

B. Legal Basis

    58. The legal basis for any action that may be taken pursuant to 
this Notice is contained in sections 1, 4(i), 201(b), and 251(e)(1) of 
the Communications Act of 1934, as amended, 47 U.S.C. 151, 154(i), 
201(b), and 251(e)(1).

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

    59. 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 rule revisions, 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 ``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.
    60. Small Businesses, Small Organizations, Small Governmental 
Jurisdictions. Our actions, over time, may affect small entities that 
are not easily categorized at present. We therefore describe here, at 
the outset, three comprehensive small entity size standards that could 
be directly affected herein. First, while there are industry specific 
size standards for small businesses that are used in the regulatory 
flexibility analysis, according to data from the SBA's Office of 
Advocacy, in general a small business is an independent business having 
fewer than 500 employees. These types of small businesses represent 
99.9% of all businesses in the United States which translates to 28.8 
million businesses. Next, the type of small entity described as 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 1,621,215 
small organizations. Finally, the small entity described as a ``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.'' U.S. Census 
Bureau data published in 2012 indicate that there were 89,476 local 
governmental jurisdictions in the United States. We estimate that, of 
this total, as many as 88,761 entities may qualify as ``small 
governmental jurisdictions.'' Thus, we estimate that most governmental 
jurisdictions are small.
    61. Wired Telecommunications Carriers. The U.S. Census Bureau

[[Page 47679]]

defines this industry as ``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 communications 
networks. Transmission facilities may be based on a single technology 
or a combination of technologies. Establishments in this industry use 
the wired telecommunications network facilities that they operate to 
provide a variety of services, such as wired telephony services, 
including VoIP services, wired (cable) audio and video programming 
distribution, and wired broadband internet services. By exception, 
establishments providing satellite television distribution services 
using facilities and infrastructure that they operate are included in 
this industry.'' The SBA has developed a small business size standard 
for Wired Telecommunications Carriers, which consists of all such 
companies having 1,500 or fewer employees. Census data for 2012 show 
that there were 3,117 firms that operated that year. Of this total, 
3,083 operated with fewer than 1,000 employees. Thus, under this size 
standard, the majority of firms in this industry can be considered 
small.
    62. Local Exchange Carriers (LECs). Neither the Commission nor the 
SBA has developed a size standard for small businesses specifically 
applicable to local exchange services. The closest applicable NAICS 
Code category is Wired Telecommunications Carriers as defined above. 
Under the applicable SBA size standard, such a business is small if it 
has 1,500 or fewer employees. According to Commission data, census data 
for 2012 shows that there were 3,117 firms that operated that year. Of 
this total, 3,083 operated with fewer than 1,000 employees. The 
Commission therefore estimates that most providers of local exchange 
carrier service are small entities that may be affected by the rules 
adopted.
    63. Incumbent LECs. Neither the Commission nor the SBA has 
developed a small business size standard specifically for incumbent 
local exchange services. The closest applicable NAICS Code category is 
Wired Telecommunications Carriers as defined above. Under that size 
standard, such a business is small if it has 1,500 or fewer employees. 
According to Commission data, 3,117 firms operated in that year. Of 
this total, 3,083 operated with fewer than 1,000 employees. 
Consequently, the Commission estimates that most providers of incumbent 
local exchange service are small businesses that may be affected by the 
rules and policies adopted. Three hundred and seven (307) Incumbent 
Local Exchange Carriers reported that they were incumbent local 
exchange service providers. Of this total, an estimated 1,006 have 
1,500 or fewer employees.
    64. Competitive Local Exchange Carriers (Competitive LECs), 
Competitive Access Providers (CAPs), Shared-Tenant Service Providers, 
and Other Local Service Providers. Neither the Commission nor the SBA 
has developed a small business size standard specifically for these 
service providers. The appropriate NAICS Code category is Wired 
Telecommunications Carriers, as defined above. Under that size 
standard, such a business is small if it has 1,500 or fewer employees. 
U.S. Census data for 2012 indicate that 3,117 firms operated during 
that year. Of that number, 3,083 operated with fewer than 1,000 
employees. Based on this data, the Commission concludes that the 
majority of Competitive LECS, CAPs, Shared-Tenant Service Providers, 
and Other Local Service Providers, are small entities. According to 
Commission data, 1,442 carriers reported that they were engaged in the 
provision of either competitive local exchange services or competitive 
access provider services. Of these 1,442 carriers, an estimated 1,256 
have 1,500 or fewer employees. In addition, 17 carriers have reported 
that they are Shared-Tenant Service Providers, and all 17 are estimated 
to have 1,500 or fewer employees. Also, 72 carriers have reported that 
they are Other Local Service Providers. Of this total, 70 have 1,500 or 
fewer employees. Consequently, based on internally researched FCC data, 
the Commission estimates that most providers of competitive local 
exchange service, competitive access providers, Shared-Tenant Service 
Providers, and Other Local Service Providers are small entities.
    65. We have included small incumbent LECs in this present RFA 
analysis. As noted above, a ``small business'' under the RFA is one 
that, inter alia, meets the pertinent small business size standard 
(e.g., a telephone communications business having 1,500 or fewer 
employees), and ``is not dominant in its field of operation.'' The 
SBA's Office of Advocacy contends that, for RFA purposes, small 
incumbent LECs are not dominant in their field of operation because any 
such dominance is not ``national'' in scope. We have therefore included 
small incumbent LECs in this RFA analysis, although we emphasize that 
this RFA action has no effect on Commission analyses and determinations 
in other, non-RFA contexts.
    66. Interexchange Carriers (IXCs). Neither the Commission nor the 
SBA has developed a definition for Interexchange Carriers. The closest 
NAICS Code category is Wired Telecommunications Carriers as defined 
above. The applicable size standard under SBA rules is that such a 
business is small if it has 1,500 or fewer employees. U.S. Census data 
for 2012 indicates that 3,117 firms operated during that year. Of that 
number, 3,083 operated with fewer than 1,000 employees. According to 
internally developed Commission data, 359 companies reported that their 
primary telecommunications service activity was the provision of 
interexchange services. Of this total, an estimated 317 have 1,500 or 
fewer employees. Consequently, the Commission estimates that the 
majority of IXCs are small entities that may be affected by our 
proposed rules.
    67. Local Resellers. The SBA has developed a small business size 
standard for the category of Telecommunications Resellers. The 
Telecommunications Resellers industry comprises establishments engaged 
in purchasing access and network capacity from owners and operators of 
telecommunications networks and reselling wired and wireless 
telecommunications services (except satellite) to businesses and 
households. Establishments in this industry resell telecommunications; 
they do not operate transmission facilities and infrastructure. Mobile 
virtual network operators (MVNOs) are included in this industry. Under 
that size standard, such a business is small if it has 1,500 or fewer 
employees. Census data for 2012 show that 1,341 firms provided resale 
services during that year. Of that number, all operated with fewer than 
1,000 employees. Thus, under this category and the associated small 
business size standard, the majority of these prepaid calling card 
providers can be considered small entities.
    68. Toll Resellers. The Commission has not developed a definition 
for Toll Resellers. The closest NAICS Code Category is 
Telecommunications Resellers. The Telecommunications Resellers industry 
comprises establishments engaged in purchasing access and network 
capacity from owners and operators of telecommunications networks and 
reselling wired and wireless telecommunications services (except 
satellite) to businesses and households. Establishments in this 
industry resell telecommunications; they do not

[[Page 47680]]

operate transmission facilities and infrastructure. Mobile virtual 
network operators (MVNOs) are included in this industry. The SBA has 
developed a small business size standard for the category of 
Telecommunications Resellers. Under that size standard, such a business 
is small if it has 1,500 or fewer employees. Census data for 2012 show 
that 1,341 firms provided resale services during that year. Of that 
number, 1,341 operated with fewer than 1,000 employees. Thus, under 
this category and the associated small business size standard, the 
majority of these resellers can be considered small entities. According 
to Commission data, 881 carriers have reported that they are engaged in 
the provision of toll resale services. Of this total, an estimated 857 
have 1,500 or fewer employees. Consequently, the Commission estimates 
that the majority of toll resellers are small entities.
    69. Other Toll Carriers. Neither the Commission nor the SBA has 
developed a definition for small businesses specifically applicable to 
Other Toll Carriers. This category includes toll carriers that do not 
fall within the categories of interexchange carriers, operator service 
providers, prepaid calling card providers, satellite service carriers, 
or toll resellers. The closest applicable NAICS Code category is for 
Wired Telecommunications Carriers as defined above. Under the 
applicable SBA size standard, such a business is small if it has 1,500 
or fewer employees. Census data for 2012 shows that there were 3,117 
firms that operated that year. Of this total, 3,083 operated with fewer 
than 1,000 employees. Thus, under this category and the associated 
small business size standard, the majority of Other Toll Carriers can 
be considered small. According to internally developed Commission data, 
284 companies reported that their primary telecommunications service 
activity was the provision of other toll carriage. Of these, an 
estimated 279 have 1,500 or fewer employees. Consequently, the 
Commission estimates that most Other Toll Carriers are small entities 
that may be affected by rules adopted pursuant to the Second Further 
Notice.
    70. Prepaid Calling Card Providers. The SBA has developed a 
definition for small businesses within the category of 
Telecommunications Resellers. Under that SBA definition, such a 
business is small if it has 1,500 or fewer employees. According to the 
Commission's Form 499 Filer Database, 500 companies reported that they 
were engaged in the provision of prepaid calling cards. The Commission 
does not have data regarding how many of these 500 companies have 1,500 
or fewer employees. Consequently, the Commission estimates that there 
are 500 or fewer prepaid calling card providers that may be affected by 
the rules.
    71. 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 services, paging 
services, wireless internet access, and wireless video services. The 
appropriate size standard under SBA rules is that such a business is 
small if it has 1,500 or fewer employees. For this industry, U.S. 
Census data for 2012 show that there were 967 firms that operated for 
the entire year. Of this total, 955 firms had employment of 999 or 
fewer employees and 12 had employment of 1000 employees or more. Thus 
under this category and the associated size standard, the Commission 
estimates that the majority of wireless telecommunications carriers 
(except satellite) are small entities.
    72. The Commission's own data--available in its Universal Licensing 
System--indicate that, as of October 25, 2016, there are 280 Cellular 
licensees that will be affected by our actions today. The Commission 
does not know how many of these licensees are small, as the Commission 
does not collect that information for these types of entities. 
Similarly, according to internally developed Commission data, 413 
carriers reported that they were engaged in the provision of wireless 
telephony, including cellular service, Personal Communications Service, 
and Specialized Mobile Radio Telephony services. Of this total, an 
estimated 261 have 1,500 or fewer employees, and 152 have more than 
1,500 employees. Thus, using available data, we estimate that the 
majority of wireless firms can be considered small.
    73. 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.
    74. Wireless Telephony. Wireless telephony includes cellular, 
personal communications services, and specialized mobile radio 
telephony carriers. As noted, the SBA has developed a small business 
size standard for Wireless Telecommunications Carriers (except 
Satellite). Under the SBA small business size standard, a business is 
small if it has 1,500 or fewer employees. According to Commission data, 
413 carriers reported that they were engaged in wireless telephony. Of 
these, an estimated 261 have 1,500 or fewer employees and 152 have more 
than 1,500 employees. Therefore, a little less than one third of these 
entities can be considered small.
    75. Cable and Other Subscription Programming. This industry 
comprises establishments primarily engaged in operating studios and 
facilities for the broadcasting of programs on a subscription or fee 
basis. The broadcast programming is typically narrowcast in nature 
(e.g., limited format, such as news, sports, education, or youth-
oriented). These establishments produce programming in their own 
facilities or acquire programming from external sources. The 
programming material is usually delivered to a third party, such as 
cable systems or direct-to-home satellite systems, for transmission to 
viewers. The SBA has established a size standard for this industry 
stating that a business in this industry is small if it has 1,500 or 
fewer employees. The 2012 Economic Census indicates that 367 firms were 
operational for that entire year. Of this total, 357 operated with less 
than 1,000 employees. Accordingly we conclude that a substantial 
majority of firms in this industry are small under the applicable SBA 
size standard.
    76. Cable Companies and Systems (Rate Regulation). The Commission 
has developed its own small business size standards for the purpose of 
cable rate regulation. Under the Commission's rules, a ``small cable 
company'' is one serving 400,000 or fewer subscribers nationwide. 
Industry data indicate that there are currently 4,600 active cable 
systems in the United States. Of this total, all but eleven cable 
operators nationwide are small under the 400,000-subscriber size 
standard. In addition, under the Commission's rate regulation rules, a 
``small system'' is a cable system serving 15,000 or fewer subscribers. 
Current Commission records show 4,600 cable systems nationwide. Of this 
total, 3,900 cable systems have fewer than 15,000 subscribers, and 700 
systems have 15,000 or more subscribers, based on the same records. 
Thus, under this standard as well, we estimate that most cable systems 
are small entities.

[[Page 47681]]

    77. Cable System Operators (Telecom Act Standard). The 
Communications Act also contains a size standard for small cable system 
operators, which is ``a cable operator that, directly or through an 
affiliate, serves in the aggregate fewer than 1 percent of all 
subscribers in the United States and is not affiliated with any entity 
or entities whose gross annual revenues in the aggregate exceed 
$250,000,000.'' There are approximately 52,403,705 cable video 
subscribers in the United States today. Accordingly, an operator 
serving fewer than 524,037 subscribers shall be deemed a small operator 
if its annual revenues, when combined with the total annual revenues of 
all its affiliates, do not exceed $250 million in the aggregate. Based 
on available data, we find that all but nine incumbent cable operators 
are small entities under this size standard. We note that the 
Commission neither requests nor collects information on whether cable 
system operators are affiliated with entities whose gross annual 
revenues exceed $250 million. Although it seems certain that some of 
these cable system operators are affiliated with entities whose gross 
annual revenues exceed $250 million, we are unable at this time to 
estimate with greater precision the number of cable system operators 
that would qualify as small cable operators under the definition in the 
Communications Act.
    78. All Other Telecommunications. The ``All Other 
Telecommunications'' industry is comprised of establishments that are 
primarily engaged in providing specialized telecommunications services, 
such as satellite tracking, communications telemetry, and radar station 
operation. This industry also includes establishments primarily engaged 
in providing satellite terminal stations and associated facilities 
connected with one or more terrestrial systems and capable of 
transmitting telecommunications to, and receiving telecommunications 
from, satellite systems. Establishments providing Internet services or 
voice over Internet protocol (VoIP) services via client-supplied 
telecommunications connections are also included in this industry. The 
SBA has developed a small business size standard for ``All Other 
Telecommunications,'' which consists of all such firms with gross 
annual receipts of $32.5 million or less. For this category, U.S. 
Census data for 2012 show that there were 1,442 firms that operated for 
the entire year. Of these firms, a total of 1,400 had gross annual 
receipts of less than $25 million. Thus a majority of ``All Other 
Telecommunications'' firms potentially affected by our action can be 
considered small.

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

    79. The Notice proposes and seeks comment on rule changes that will 
affect toll free number assignment and administration. In particular, 
we propose expanding the existing toll free number assignment rule to 
permit use of an auction methodology, among other assignment 
mechanisms, to assign toll free numbers. To do so, we propose to revise 
section 52.111 of our rules to allow the Commission to assign numbers 
in a manner that is equitable, including by auction, on a first-come, 
first-served basis, an alternative assignment methodology, or by a 
combination of the forgoing as circumstances require. We also seek 
comment on conducting a sealed, single round, sealed-bid Vickrey 
auction for the roughly 17,000 numbers set aside, pursuant to the 833 
Code Opening Order, for which there were mutually exclusive requests. 
Auction procedure compliance will affect the toll free auction 
administrator and all RespOrgs, including those considered small 
entities, as described above.
    80. In addition, we seek comment on revising our rules to promote 
development of a secondary market for toll free numbers. We seek 
comment on what types of information would be needed from the buyer and 
seller to document a reassignment, whether an online recording system 
is needed to record reassignments in the secondary market, and whether 
there should be a database for potential buyers. The Notice also seeks 
comment on whether the Toll Free Numbering Administrator (TFNA) should 
keep toll free number subscriber records and whether we should consider 
including subscriber information in a TFNA database.

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

    81. The RFA requires an agency to describe any significant, 
specifically small business, alternatives that it has considered in 
reaching its proposed approach, which may include the following four 
alternatives (among others): (1) The establishment of differing 
compliance or reporting requirements or timetables that take into 
account the resources available to small entities; (2) the 
clarification, consolidation, or simplification of compliance and 
reporting requirements under the rules 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.
    82. This Notice invites comment on a number of proposals and 
alternatives to modify the present toll free number administration and 
assignment method rules. The Notice proposes expanding the existing 
toll free number assignment rule to permit use of an auction 
methodology, among other assignment mechanisms, to assign toll free 
numbers. To do so, we propose to revise section 52.111 of our rules to 
allow the Commission to assign numbers in a manner that is equitable, 
including by auction, on a first-come, first-served basis, an 
alternative assignment methodology, or by a combination of the forgoing 
as circumstances require. The Notice also seeks comment on types of 
auction methods that should be employed and on the advantages and 
disadvantages of these auction methods.
    83. The Notice also seeks comment on repealing or relaxing the 
prohibition against brokering and open number distribution to secondary 
markets. Theses proposal could minimize burdens on current and future 
toll free subscribers, some of which may be small entities. Finally, in 
the Notice, we seek comment on whether certain desirable toll free 
numbers necessary to promote health and safety be set aside for use, 
without cost, by government (federal, state, local and Tribal) agencies 
as well as by non-profit health, safety, educational, or other non-
profit public interest. We also seek comment on whether other entities 
such as non-profit educational and charitable organizations be included 
in this definition or receive similar treatment. These organizations 
could include small entities and such set asides would ensure that 
these organizations could receive certain numbers with minimal effort.

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

    84. None.

VI. Procedural Matters

A. Comment Filing Procedures

    85. Pursuant to sections 1.415 and 1.419 of the Commission's rules, 
47 CFR 1.415, 1.419, interested parties may file comments and reply 
comments on or before the dates indicated on the first page of this 
document in Dockets WC 17-192, and CC 95-155. Comments may be filed 
using the Commission's Electronic Comment Filing System

[[Page 47682]]

(ECFS). See Electronic Filing of Documents in Rulemaking Proceedings, 
63 FR 24121 (1998).
    [ssquf] Electronic Filers: Comments may be filed electronically 
using the Internet by accessing the ECFS: http://apps.fcc.gov/ecfs/.
    [ssquf] Paper Filers: Parties who choose to file by paper must file 
an original and one copy of each filing. If more than one docket or 
rulemaking number appears in the caption of this proceeding, filers 
must submit two additional copies for each additional docket or 
rulemaking number.
    Filings can be sent by hand or messenger delivery, by commercial 
overnight courier, or by first-class or overnight U.S. Postal Service 
mail. All filings must be addressed to the Commission's Secretary, 
Office of the Secretary, Federal Communications Commission.
    [ssquf] All hand-delivered or messenger-delivered paper filings for 
the Commission's Secretary must be delivered to FCC Headquarters at 445 
12th St. SW., Room TW-A325, Washington, DC 20554. The filing hours are 
8:00 a.m. to 7:00 p.m. All hand deliveries must be held together with 
rubber bands or fasteners. Any envelopes and boxes must be disposed of 
before entering the building.
    [ssquf] Commercial overnight mail (other than U.S. Postal Service 
Express Mail and Priority Mail) must be sent to 9050 Junction Drive, 
Annapolis Junction, MD 20701.
    [ssquf] U.S. Postal Service first-class, Express, and Priority mail 
must be addressed to 445 12th Street SW., Washington DC 20554.
    [ssquf] People with Disabilities: To request materials in 
accessible formats for people with disabilities (braille, large print, 
electronic files, audio format), send an email to [email protected] or 
call the Consumer & Governmental Affairs Bureau at 202-418-0530 
(voice), 202-418-0432 (TTY).
    86. This proceeding shall be treated as a ``permit-but-disclose'' 
proceeding in accordance with the Commission's ex parte rules. Persons 
making ex parte presentations must file a copy of any written 
presentation or a memorandum summarizing any oral presentation within 
two business days after the presentation (unless a different deadline 
applicable to the Sunshine period applies). Persons making oral ex 
parte presentations are reminded that memoranda summarizing the 
presentation must (1) list all persons attending or otherwise 
participating in the meeting at which the ex parte presentation was 
made, and (2) summarize all data presented and arguments made during 
the presentation. If the presentation consisted in whole or in part of 
the presentation of data or arguments already reflected in the 
presenter's written comments, memoranda or other filings in the 
proceeding, the presenter may provide citations to such data or 
arguments in his or her prior comments, memoranda, or other filings 
(specifying the relevant page and/or paragraph numbers where such data 
or arguments can be found) in lieu of summarizing them in the 
memorandum. Documents shown or given to Commission staff during ex 
parte meetings are deemed to be written ex parte presentations and must 
be filed consistent with rule 1.1206(b). In proceedings governed by 
Rule 1.49(f) or for which the Commission has made available a method of 
electronic filing, written ex parte presentations and memoranda 
summarizing oral ex parte presentations, and all attachments thereto, 
must be filed through the electronic comment filing system available 
for that proceeding, and must be filed in their native format (e.g., 
.doc, .xml, .ppt, searchable .pdf). Participants in this proceeding 
should familiarize themselves with the Commission's ex parte rules.

B. Initial Regulatory Flexibility Analysis

    87. Pursuant to the Regulatory Flexibility Act (RFA), the 
Commission has prepared an Initial Regulatory Flexibility Analysis 
(IRFA) of the possible significant economic impact on small entities of 
the policies and actions considered in this Notice of Proposed 
Rulemaking. The text of the IRFA is set forth in section V above. 
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 comment on the Notice of Proposed Rulemaking. The Commission's 
Consumer and Governmental Affairs Bureau, Reference Information Center, 
will send a copy of this Notice of Proposed Rulemaking, including the 
IRFA, to the Chief Counsel for Advocacy of the Small Business 
Administration (SBA).

C. Paperwork Reduction Act

    88. This document contains proposed new information collection 
requirements. The Commission, as part of its continuing effort to 
reduce paperwork burdens, invites the general public and the Office of 
Management and Budget (OMB) to comment on the information collection 
requirements contained in this document, as required by the Paperwork 
Reduction Act of 1995, Public Law 104-13. In addition, pursuant to the 
Small Business Paperwork Relief Act of 2002, Public Law 107-198, we 
seek specific comment on how we might further reduce the information 
collection burden for small business concerns with fewer than 25 
employees.

D. Contact Person

    89. For further information about this proceeding, please contact 
E. Alex Espinoza, FCC Wireline Competition Bureau, Competition Policy 
Division, Room 5-C211, 445 12th Street SW., Washington, DC 20554, at 
(202) 418-0849 or [email protected].

VII. Ordering Clauses

    90. Accordingly, it is ordered, pursuant to sections 1, 4(i), 
201(b), and 251(e)(1) of the Communication Act of 1934, as amended, 47 
U.S.C. 151, 154(i), 201(b), and 251(e)(1) that this Notice of Proposed 
Rulemaking is adopted.
    91. It is further ordered that the Commission's Consumer and 
Governmental Affairs Bureau, Reference Information Center, shall send a 
copy of this Notice of Proposed Rulemaking, including the IRFA, to the 
Chief Counsel for Advocacy of the Small Business Administration.

List of Subjects in 47 CFR Part 52

    Telephone.

Federal Communications Commission.
Katura Jackson,
Federal Register Liaison Officer, Office of the Secretary.

Proposed Rules

    For the reasons discussed in the preamble, the Federal 
Communications Commission proposes to amend 47 CFR part 52 as follows:

PART 52--NUMBERING

0
1. The authority citation for part 52 continues to read as follows:

    Authority:  Secs. 1, 2, 4, 5, 48 Stat. 1066, as amended; 47 
U.S.C. 151, 152, 154 and 155 unless otherwise noted. Interpret or 
apply secs. 3, 4, 201-05, 207-09, 218, 225-27, 251-52, 271 and 332, 
48 Stat. 1070, as amended, 1077; 47 U.S.C. 153, 154, 201-05, 207-09, 
218, 225-27, 251-52, 271 and 332 unless otherwise noted.

0
2. Section 52.111 is revised to read as follows:


Sec.  52.111  Toll free number assignment.

    Toll free telephone numbers must be made available to Responsible 
Organizations and subscribers on an equitable basis. The Commission 
will assign toll free numbers by auction, on a first-come, first-served 
basis, by an alternative assignment methodology, or

[[Page 47683]]

by a combination of the foregoing options, as circumstances require.

[FR Doc. 2017-22187 Filed 10-12-17; 8:45 am]
 BILLING CODE 6712-01-P



                                                                         Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules                                        47669

                                                 a copy of any written presentation or a                 Information Center, shall send a copy of              ACTION:   Proposed rule.
                                                 memorandum summarizing any oral                         this Notice of Proposed Rulemaking,
                                                 presentation within two business days                   including the Initial Regulatory                      SUMMARY:    In this document, a Notice of
                                                 after the presentation (unless a different              Flexibility Analysis, to the Chief                    Proposed Rulemaking (NPRM) seeks
                                                 deadline applicable to the Sunshine                     Counsel for Advocacy of the Small                     comment on allowing the Commission
                                                 period applies). Persons making oral ex                 Business Administration.                              to assign numbers by auction, on a first-
                                                 parte presentations are reminded that                                                                         come, first-served basis, by an
                                                 memoranda summarizing the                               List of Subjects in 47 CFR Part 20                    alternative assignment methodology, or
                                                 presentation must (1) list all persons                    Communications common carriers,                     by a combination of methodologies. The
                                                 attending or otherwise participating in                 Communications equipment, Radio.                      NPRM seeks comment on allowing a
                                                 the meeting at which the ex parte                                                                             secondary market for toll free numbers
                                                                                                         Federal Communications Commission.                    and on setting aside toll free numbers
                                                 presentation was made, and (2)                          Katura Jackson,
                                                 summarize all data presented and                                                                              necessary to promote health and safety
                                                                                                         Federal Register Liaison Officer, Office of the       for use, without cost, by government
                                                 arguments made during the                               Secretary.
                                                 presentation. If the presentation                                                                             agencies and non-profit health and
                                                 consisted in whole or in part of the                    Proposed Rules                                        safety organizations. The NPRM also
                                                 presentation of data or arguments                                                                             seeks comment on whether to consider
                                                                                                           For the reasons discussed in the                    changes to overall toll free number
                                                 already reflected in the presenter’s                    preamble, the Federal Communications
                                                 written comments, memoranda or other                                                                          administration. The intended effect of
                                                                                                         Commission proposes to amend part 20                  this NPRM is to make toll free numbers
                                                 filings in the proceeding, the presenter                of title 47 of the Code of Federal
                                                 may provide citations to such data or                                                                         available on a more equitable and
                                                                                                         Regulations as follows:                               efficient basis by assigning mutually
                                                 arguments in his or her prior comments,
                                                 memoranda, or other filings (specifying                                                                       exclusive toll free numbers to the
                                                                                                         PART 20—COMMERCIAL MOBILE
                                                 the relevant page and/or paragraph                                                                            parties that value them most.
                                                                                                         SERVICES
                                                 numbers where such data or arguments                                                                          DATES: Comments are due on or before
                                                 can be found) in lieu of summarizing                    ■ 1. The authority citation for Part 20               November 13, 2017, and reply
                                                 them in the memorandum. Documents                       continues to read as follows:                         comments are due on or before
                                                 shown or given to Commission staff                                                                            December 12, 2017. Written comments
                                                                                                           Authority: 47 U.S.C. 151, 152(a) 154(i),
                                                 during ex parte meetings are deemed to                  157, 160, 201, 214, 222, 251(e), 301, 302, 303,
                                                                                                                                                               on the Paperwork Reduction Act
                                                 be written ex parte presentations and                   303(b), 303(r), 307, 307(a), 309, 309(j)(3), 316,     proposed information collection
                                                 must be filed consistent with rule                      316(a), 332, 610, 615, 615a, 615b, 615c,              requirements must be submitted by the
                                                 1.1206(b). In proceedings governed by                   unless otherwise noted.                               public, Office of Management and
                                                 rule 1.49(f) or for which the                                                                                 Budget (OMB), and other interested
                                                                                                         ■ 2. Section 20.19 is amended by
                                                 Commission has made available a                                                                               parties on or before December 12, 2017.
                                                                                                         revising paragraph (i)(1) to read as
                                                 method of electronic filing, written ex                                                                       ADDRESSES: You may submit comments,
                                                                                                         follows:
                                                 parte presentations and memoranda                                                                             identified by both WC Docket No. 17–
                                                 summarizing oral ex parte                               § 20.19 Hearing aid-compatible mobile                 192, and CC Docket No. 95–155 by any
                                                 presentations, and all attachments                      handsets.                                             of the following methods:
                                                 thereto, must be filed through the                      *     *     *     *     *                                D Federal Communications
                                                 electronic comment filing system                          (i) Reporting requirements—(1)                      Commission’s Web site: http://
                                                 available for that proceeding, and must                 Reporting dates. Manufacturers shall                  apps.fcc.gov/ecfs/. Follow the
                                                 be filed in their native format (e.g., .doc,            submit reports on efforts toward                      instructions for submitting comments.
                                                 .xml, .ppt, searchable .pdf). Participants              compliance with the requirements of                      D Mail: Parties who choose to file by
                                                 in this proceeding should familiarize                   this section on an annual basis on July               paper must file an original and one copy
                                                 themselves with the Commission’s ex                     15. Tier I carriers shall submit reports              of each filing. If more than one docket
                                                 parte rules.                                            on an annual basis on January 15.                     or rulemaking number appears in the
                                                                                                         Service providers that are not Tier I                 caption of this proceeding, filers must
                                                 III. Ordering Clauses                                                                                         submit two additional copies for each
                                                                                                         carriers are not required to submit
                                                    37. Accordingly, it is ordered,                      reports. Information in the reports must              additional docket or rulemaking
                                                 pursuant to sections 4(i), 303(r), and 710              be up-to-date as of the last day of the               number. Filings can be sent by hand or
                                                 of the Communications Act of 1934, as                   calendar month preceding the due date                 messenger delivery, by commercial
                                                 amended 47 U.S.C. 154(i), 303(r), and                   of the report.                                        overnight courier, or by first-class or
                                                 610, that this Notice of Proposed                                                                             overnight U.S. Postal Service mail. All
                                                                                                         *     *     *     *     *                             filings must be addressed to the
                                                 Rulemaking is hereby adopted.                           [FR Doc. 2017–22189 Filed 10–12–17; 8:45 am]
                                                    38. It is further ordered that pursuant                                                                    Commission’s Secretary, Office of the
                                                                                                         BILLING CODE 6712–01–P
                                                 to applicable procedures set forth in                                                                         Secretary, Federal Communications
                                                 sections 1.415 and 1.419 of the                                                                               Commission. All hand-delivered or
                                                 Commission’s rules, 47 CFR 1.415,                                                                             messenger-delivered paper filings for
                                                                                                         FEDERAL COMMUNICATIONS
                                                 1.419, interested parties may file                                                                            the Commission’s Secretary must be
                                                                                                         COMMISSION
                                                 comments on this Notice of Proposed                                                                           delivered to FCC Headquarters at 445
                                                 Rulemaking on or before [thirty days                    47 CFR Part 52                                        12th St. SW., Room TW–A325,
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                                                 after the date of publication in the                                                                          Washington, DC 20554. The filing hours
                                                 Federal Register], and reply comments                   [WC Docket No. 17–192, CC Docket No. 95–              are 8:00 a.m. to 7:00 p.m. All hand
                                                                                                         155; FCC 17–124]                                      deliveries must be held together with
                                                 on or before [forty-five days after the
                                                 date of publication in the Federal                      Toll Free Assignment Modernization;                   rubber bands or fasteners. Any
                                                 Register].                                              Toll Free Service Access Codes                        envelopes and boxes must be disposed
                                                    39. It is further ordered that the                                                                         of before entering the building.
                                                 Commission’s Consumer &                                 AGENCY:Federal Communications                         Commercial overnight mail (other than
                                                 Governmental Affairs Bureau, Reference                  Commission.                                           U.S. Postal Service Express Mail and


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                                                 47670                   Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules

                                                 Priority Mail) must be sent to 9050                        D Electronic Filers: Comments may be               availability of this finite resource, we
                                                 Junction Drive, Annapolis Junction, MD                  filed electronically using the Internet by            now examine alternative assignment
                                                 20701. U.S. Postal Service first-class,                 accessing the ECFS: https://                          methodologies. Specifically, we propose
                                                 Express, and Priority mail must be                      www.fcc.gov/ecfs/.                                    amending our rules to allow for use of
                                                 addressed to 445 12th Street SW.,                          D Paper Filers: Parties who choose to              an auction to assign certain toll free
                                                 Washington DC 20554.                                    file by paper must file an original and               numbers—such as vanity and repeater
                                                    D People with Disabilities: To request               one copy of each filing. If more than one             numbers—in order to better promote the
                                                 materials in accessible formats for                     docket or rulemaking number appears in                equitable and efficient use of numbers.
                                                 people with disabilities (braille, large                the caption of this proceeding, filers                With the opportunity afforded by the
                                                 print, electronic files, audio format),                 must submit two additional copies for                 opening of the 833 toll free code, we
                                                 send an email to fcc504@fcc.gov or call                 each additional docket or rulemaking                  propose to use an auction for assigning
                                                 the Consumer & Governmental Affairs                     number.                                               numbers for which mutually exclusive
                                                 Bureau at 202–418–0530 (voice), 202–                       Filings can be sent by hand or                     interest has been expressed. Mutually
                                                 418–0432 (TTY).                                         messenger delivery, by commercial                     exclusive numbers are those toll free
                                                    For detailed instructions for                        overnight courier, or by first-class or               numbers for which there are two or
                                                 submitting comments and additional                      overnight U.S. Postal Service mail. All               more requests for assignment. In this
                                                 information on the rulemaking process,                  filings must be addressed to the                      Notice of Proposed Rulemaking
                                                 see the SUPPLEMENTARY INFORMATION                       Commission’s Secretary, Office of the                 (Notice), we also consider a variety of
                                                 section of this document. In addition to                Secretary, Federal Communications                     other means to modernize toll free
                                                 filing comments with the Secretary, a                   Commission.                                           number assignments that are consistent
                                                 copy of any comments on the                                D All hand-delivered or messenger-                 with our statutory mandate to make
                                                 Paperwork Reduction Act information                     delivered paper filings for the                       ‘‘numbers available on an equitable
                                                 collection requirements contained                       Commission’s Secretary must be                        basis.’’
                                                 herein should be submitted to the                       delivered to FCC Headquarters at 445                  II. Background
                                                 Federal Communications Commission                       12th St. SW., Room TW–A325,
                                                 via email to PRA@fcc.gov and to Nicole                  Washington, DC 20554. The filing hours                   2. Since mandating the porting of toll
                                                 Ongele, Federal Communications                          are 8:00 a.m. to 7:00 p.m. All hand                   free numbers and introducing the
                                                 Commission, via email to                                deliveries must be held together with                 second toll free code, 888, to relieve
                                                 Nicole.Ongele@fcc.gov.                                  rubber bands or fasteners. Any                        exhaust of the original 800 code, the
                                                                                                         envelopes and boxes must be disposed                  Commission has sought to assign
                                                 FOR FURTHER INFORMATION CONTACT:
                                                                                                         of before entering the building.                      numbers in a manner that is equitable
                                                 Wireline Competition Bureau,
                                                                                                            D Commercial overnight mail (other                 and efficient, and that fosters a smooth
                                                 Competition Policy Division, E. Alex
                                                                                                         than U.S. Postal Service Express Mail                 introduction of a new code. Doing so
                                                 Espinoza, at (202) 418–0849, or                                                                               required the Commission to address the
                                                 alex.espinoza@fcc.gov. For additional                   and Priority Mail) must be sent to 9050
                                                                                                         Junction Drive, Annapolis Junction, MD                treatment of vanity numbers, those
                                                 information concerning the Paperwork                                                                          numbers that spell a name or word of
                                                 Reduction Act information collection                    20701. U.S. Postal Service first-class,
                                                                                                                                                               value to the number holder (e.g., 1–800–
                                                 requirements contained in this                          Express, and Priority mail must be
                                                                                                                                                               FLOWERS), as well as repeater numbers
                                                 document, send an email to PRA@                         addressed to 445 12th Street SW.,
                                                                                                                                                               that are easy to remember (e.g., 1–800–
                                                 fcc.gov or contact Nicole Ongele at (202)               Washington DC 20554.
                                                                                                                                                               222–2222), as new codes open.
                                                 418–2991.                                                  People with Disabilities: To request
                                                                                                                                                               Attempting to assign these desirable
                                                 SUPPLEMENTARY INFORMATION: This is a                    materials in accessible formats for
                                                                                                                                                               numbers equitably, the Commission in
                                                 summary of the Commission’s Notice of                   people with disabilities (braille, large
                                                                                                                                                               1997 initially permitted 800 number
                                                 Proposed Rulemaking (NPRM) in WC                        print, electronic files, audio format),
                                                                                                                                                               subscribers the right of first refusal to
                                                 Docket No. 17–192, and CC Docket No.                    send an email to fcc504@fcc.gov or call
                                                                                                                                                               reserve corresponding numbers in the
                                                 95–155, adopted September 26, 2017,                     the Consumer & Governmental Affairs
                                                                                                                                                               new 888 code. After the 888 code
                                                 and released September 28, 2017. The                    Bureau at 202–418–0530 (voice), 202–
                                                                                                                                                               opening, however, the Commission
                                                 full text of this document is available for             418–0432 (TTY).                                       adopted in 1998 the current first-come,
                                                 public inspection during regular                        Synopsis                                              first-served rule, codified in section
                                                 business hours in the FCC Reference                                                                           52.111 of the Commission’s rules.
                                                 Information Center, Portals II, 445 12th                I. Introduction
                                                                                                                                                               Although the Commission considered
                                                 Street SW., Room CY–A257,                                 1. Toll free calling originated in 1967,            auctions to be ‘‘generally efficient,’’ the
                                                 Washington, DC 20554. It is available on                and to this day remains an important                  Commission concluded at that time the
                                                 the Commission’s Web site at https://                   feature of the communications system.                 first-come, first-served rule was a
                                                 www.fcc.gov/document/fcc-proposes-                      Even with the growth of e-commerce,                   preferable mechanism for toll free
                                                 modernize-toll-free-number-assignment.                  many businesses, large and small,                     number assignment. The Commission
                                                 Pursuant to sections 1.415 and 1.419 of                 continue to use toll free numbers for                 followed the first-come, first-served
                                                 the Commission’s rules, 47 CFR 1.415,                   sales and customer service, as well as                rule, with slight modifications made by
                                                 1.419, interested parties may file                      for advertising and marketing purposes.               the Wireline Competition Bureau
                                                 comments and reply comments on or                       Government organizations and non-                     (Bureau), for the next four code
                                                 before the dates indicated on the first                 profit health, safety, educational, or                openings (877, 866, 855, and 844), as
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                                                 page of this document. Comments may                     other non-profit public interest                      well as for those instances in which toll
                                                 be filed using the Commission’s                         organizations also use toll free numbers              free numbers are released back into the
                                                 Electronic Comment Filing System                        to provide vital health and safety                    pool of available numbers. For the 855
                                                 (ECFS). See Electronic Filing of                        services to the public. While the                     and 844 code openings, as well as the
                                                 Documents in Rulemaking Proceedings,                    Commission’s current rule uses a first-               release of valuable 800 numbers that
                                                 63 FR 24121 (1998), http://www.fcc.gov/                 come, first-served approach to the                    had been disconnected, the Bureau
                                                 Bureaus/OGC/Orders/1998/                                assignment of toll free numbers, to help              limited Responsible Organizations to
                                                 fcc98056.pdf.                                           ensure the continued usefulness and                   obtaining 100 numbers per day for the


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                                                                         Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules                                          47671

                                                 first 30 days of the code opening to                    numbers in unavailable status pending                 Commission’s current first-come, first-
                                                 better ensure an efficient and equitable                the outcome of this proceeding. These                 served assignment rule. Parties who
                                                 distribution of high value numbers in                   mutually exclusive numbers include                    want particular toll free numbers often
                                                 those two codes.                                        repeaters numbers (e.g., 833–333–333                  will have a better opportunity of
                                                    3. In an attempt to extend the life of               and 833–888–8888) as well as numbers                  acquiring those numbers, albeit for a
                                                 each toll free code, the Commission also                that spell memorable words and phrases                price, in an auction than under the
                                                 prohibited warehousing, hoarding, and                   (e.g., 833–DENTIST, 833–DIVORCE,                      Commission’s current rule, which does
                                                 brokering of toll free numbers. Thus, the               833–DOCTORS, 833–FLOWERS, 833–                        not take into account the need for or the
                                                 Commission’s current rules prohibit                     HOLIDAY, 833–INJURED, and 833–                        value placed on particular numbers. As
                                                 ‘‘warehousing’’ of a toll free number,                  LAWYERS). Somos notes that 147                        discussed above, with respect to 833
                                                 defined as the practice in which a                      RespOrgs participated in the pre-code                 numbers, there are at least 65 RespOrgs
                                                 Responsible Organization (RespOrg), an                  opening process and the top ten                       that want the top-ten mutually exclusive
                                                 ‘‘entity chosen by a toll free subscriber               mutually exclusive toll free numbers                  numbers. This demonstrates that there
                                                 to manage and administer the                            were requested by 65 or more RespOrgs.                is demand for certain mutually
                                                 appropriate records in the toll free                    The top 25 numbers were requested by                  exclusive numbers, and thus we believe
                                                 Service Management System for the toll                  48 or more RespOrgs, and the top 50                   that auctioning these numbers would be
                                                 free subscriber,’’ 47 CFR 52.101(b) either              numbers were requested by 43 or more                  a more equitable assignment mechanism
                                                 directly or indirectly through an                       RespOrgs. The remaining numbers were                  than assigning them on a first-come,
                                                 affiliate, reserves a number from the toll              assigned as established in the                        first-basis. We note that although a first-
                                                 free database without having an end                     Commission’s existing rule, that is, on a             come, first-served system may randomly
                                                 user subscriber for whom the number is                  first-come, first-served basis.                       assign mutually exclusive numbers, it
                                                 being reserved. Similarly, the                                                                                may also less equitably reward actors
                                                 Commission’s rules prohibit the practice                III. Discussion                                       that invest in systems to increase their
                                                 of ‘‘hoarding’’—the acquisition by a toll               A. Distribution of Toll Free Numbers                  chances that their choices are received
                                                 free subscriber from a RespOrg of more                                                                        first by the TFNA. Moreover, if we allow
                                                 toll free numbers than the toll free                       5. We propose expanding the existing               for a secondary market for toll free
                                                 subscriber intends to use for the                       toll free number assignment rule to                   numbers, it would be inequitable for a
                                                 provision of toll free service. And,                    permit use of an auction methodology,                 RespOrg or subscriber to get a valuable
                                                 finally, the definition of hoarding also                among other assignment mechanisms, to                 public resource for free, but then later
                                                 prohibits number brokering, which is                    assign toll free numbers. To do so, we                be able to profit from it even when
                                                 the selling of a toll free number by a                  propose to revise section 52.111 of our               others would have paid for it initially.
                                                 private entity for a fee.                               rules to allow the Commission to assign                  8. We note that the first-come, first-
                                                    4. Almost 20 years ago, the                          numbers in a manner that is equitable,                served rule has raised questions about
                                                 Commission considered an auction                        including by auction, on a first-come,                whether recent toll free code openings
                                                 approach to toll free number assignment                 first-served basis, an alternative                    were equitable because certain RespOrgs
                                                 in the 1998 Toll Free Order. In doing so,               assignment methodology, or by a                       had enhanced connectivity to the toll
                                                 the Commission recognized that                          combination of the forgoing as                        free database that allowed them to
                                                 auctions ‘‘offer all participants an equal              circumstances require. We seek                        quickly reserve desirable numbers. To
                                                 opportunity to obtain a particular vanity               comment on this proposal.                             address these concerns for the 855 and
                                                 number.’’ The order also determined                        6. We also seek comment on                         844 toll free code openings, the Bureau
                                                 that although auctions are ‘‘generally                  conducting a single round, sealed-bid                 directed the TFNA to limit the quantity
                                                 efficient,’’ it could not ‘‘say on the                  Vickrey auction for the roughly 17,000                of toll free numbers a RespOrg may
                                                 present record that auctions of vanity                  numbers set aside, pursuant to the 833                reserve to 100 per day for the first 30
                                                 numbers would produce efficiencies                      Code Opening Order, for which there                   days. The Bureau found that this limited
                                                 that would outweigh the practical                       were mutually exclusive requests. If                  allocation would distribute desirable
                                                 difficulties,’’ such as cost,                           adopted, we intend to consider the                    numbers more equitably. If the
                                                 administration, and impact on the                       outcome of the 833 auction to determine               Commission adopts an auction
                                                 international membership of the North                   if changes need to be made to future                  approach for toll free numbers, such
                                                 American Numbering Plan (NANP).                         code opening assignments. In addition,                rationing of numbers would not be
                                                 Recently, however, with the opening of                  we propose—and seek comment on—                       necessary. All bidders would have the
                                                 the 833 toll free code, the Commission                  revising our rules to promote                         same access to numbers in a new toll
                                                 took steps to reevaluate number                         development of a secondary market for                 free code. We seek comment on whether
                                                 assignment by establishing a series of                  toll free numbers.                                    this market-based auction approach
                                                 pre-opening procedures to identify toll                    7. Equity Considerations. Section                  would yield a more equitable outcome
                                                 free numbers that could be part of an                   251(e)(1) of the Communications Act                   by allowing any RespOrg an opportunity
                                                 auction or other alternative assignment                 directs the Commission to make                        to bid for numbers based on their
                                                 methodology. Specifically, the Bureau                   numbers available on an equitable basis.              valuations.
                                                 directed each RespOrg to ‘‘submit a                     The Commission has adopted rules to                      9. Efficiency and Public Interest
                                                 single request for up to 2,000 individual               implement this obligation, as well as to              Considerations. In addition to meeting
                                                 preferred 833 toll numbers.’’ The                       serve the broader public interest in                  the statutory mandate of making
                                                 Bureau then directed Somos, Inc., the                   telephone number administration. We                   numbers available on an equitable basis,
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                                                 Toll Free Numbering Administrator                       believe that toll free numbers generally              an auction method of assigning toll free
                                                 (TFNA), to review all 833 number                        can be made available equitably via an                numbers is more efficient and serves the
                                                 requests and identify mutually                          auction—under which RespOrgs bid for                  public interest in toll free number
                                                 exclusive numbers—those numbers for                     numbers valuable to them—and that in                  conservation. An auction assignment
                                                 which there are two or more requests for                many cases, including with respect to                 mechanism for mutually exclusive toll
                                                 assignment. Somos identified                            the mutually exclusive 833 toll free                  free numbers will promote efficiency by
                                                 approximately 17,000 mutually                           numbers, such an auction approach                     assigning these numbers to the parties
                                                 exclusive numbers and placed these                      would be more equitable than under the                that value them most. Moreover, toll


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                                                 47672                   Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules

                                                 free numbers are a limited resource that                code, to auction only mutually                        and another at $20, and the two together
                                                 are often used inefficiently because                    exclusive toll free numbers for which                 at $50, the bidder cannot place three
                                                 there is no real cost associated with                   there is some demonstration of demand,                bids, one of $10 for the first number, a
                                                 obtaining that resource. If subscribers                 and to assign the rest on a first-come,               second of $20 for the second, and a
                                                 and RespOrgs are required to pay for toll               first-served basis. We seek comment on                third of $50 for both. Instead, only two
                                                 free numbers, they are more likely to                   how the Commission has considered the                 bids can be placed, one for each of the
                                                 acquire only the numbers they or their                  results of the ACMA experience in                     two numbers, with no guarantee both
                                                 customers need; they will have no                       developing our own auction model.                     numbers will be won. While it is likely
                                                 incentive to acquire numbers beyond                                                                           that some bidders may demand more
                                                                                                         2. Auction Procedures for 833
                                                 those needed. Thus, we believe that a                                                                         than one number in an auction, we do
                                                 toll free number auction will help limit                   12. As discussed above, the                        not believe valuation synergies, to the
                                                 exhaust of toll free numbers and further                Commission proposes to assign toll free               extent they exist, warrant allowing
                                                 the public interest. We seek comment                    numbers in a manner that is equitable,                package bids. We seek comment on this
                                                 on our analysis.                                        including by auction, on a first-come,                proposal. We further seek comment on
                                                                                                         first-served basis, by alternative                    other advantages or disadvantages of
                                                 1. Costs and Benefits of an Auction                     assignment methodologies, or by a                     allowing package bids.
                                                    10. The investment by RespOrgs in                    combination of these methods, as                         15. Vickrey (Single Round, Sealed-
                                                 enhanced connectivity to the database                   circumstances require. In this section,               Bid) Auction. To assign 833 mutually
                                                 discussed above is evidence of strong                   we seek comment on certain auction                    exclusive toll free numbers, we also
                                                 competing demand among RespOrgs for                     procedures for the roughly 17,000                     propose to incorporate a Vickrey
                                                 toll free numbers. And the fact that the                mutually exclusive numbers, which                     auction into the 833 auction procedures.
                                                 Commission places constraints on how                    were set-aside in our 833 Code Opening                In a Vickrey auction, the highest bidder
                                                 many numbers a RespOrg can obtain at                    Procedures Order. Specifically, we                    for a number wins and pays the second-
                                                 any point, and also on hoarding,                        propose to use a single round, sealed-                highest bid for the number. If we
                                                 suggests that certain toll free numbers                 bid Vickrey auction, as discussed below.              determine that package bids are allowed
                                                 are currently underpriced. We therefore                 We emphasize that our proposal                        in an auction, then the bidders who
                                                 believe that assignment via auction                     discussed herein is limited to the set-               maximize overall revenue from the
                                                 would more equitably and efficiently                    aside 833 mutually exclusive toll free                auction win and pay the opportunity
                                                 address this source of excess demand.                   numbers. If adopted, we intend to                     costs (highest alternative value) of their
                                                 Moreover, to the extent that, with the                  consider the 833 auction process and                  bids as discussed in more detail in
                                                 current assignment method, transaction                  outcomes in deciding how to make                      section IV below.
                                                 costs impede or restrict the efficient                  future toll free assignments. In                         16. A Vickrey auction could result in
                                                 assignment of toll free numbers, the                    particular, we may decide whether to                  an equitable and efficient assignment of
                                                 public interest gains from implementing                 use the single round, sealed-bid Vickrey              mutually exclusive toll free numbers.
                                                 an efficient auction mechanism would                    auction model or another auction                      For example, in a Vickrey auction for
                                                 be substantial. Thus, we believe that the               model, to employ the current first-come,              one object, such as a toll free number,
                                                 equity and efficiency gains of an auction               first-served policy, or an alternative                because the winner pays the second
                                                 of mutually exclusive toll free numbers                 assignment method, or combination of                  highest bid, the winner’s surplus (the
                                                 outweigh any costs of implementing an                   these methods, as circumstances                       winner’s value minus the amount paid),
                                                 auction. We seek comment on this                        require. We seek comment on these                     does not depend on the winner’s bid.
                                                 analysis. Also, if any commenters assert                proposals.                                            Since the amount paid is not a function
                                                 that an auction approach is inequitable,                                                                      of the winner’s bid, it is optimal for
                                                                                                         a. Single Round, Sealed-Bid Vickrey
                                                 they should clearly explain why an                                                                            bidders in this type of auction to bid
                                                 auction approach would be inequitable,                  Auction
                                                                                                                                                               their valuation. This result rests on the
                                                 as well as how the current means of                        13. Single Round, Sealed-Bid Auction.              assumption that bidder values are
                                                 assignment, or some other means,                        We propose to assign numbers using a                  independent, i.e., a bidder’s payoff is
                                                 would be more equitable.                                single round, sealed-bid auction. This                only a function of that bidder’s
                                                    11. In arriving at our 833 number                    methodology would be used for the                     estimates of value, and not a function of
                                                 auction proposal, the Commission has                    roughly 17,000 numbers set aside in the               the opponents’ estimates of value. With
                                                 considered the experience of the                        833 code. In such an auction, a bidder                interdependent valuations, bidding
                                                 Australian Communications and Media                     submits bids for individual numbers                   one’s value is typically not optimal.
                                                 Authority (ACMA) in auctioning toll                     privately to the auctioneer. We propose               Independence implies bidders do not
                                                 free numbers. Between 2005 and 2015,                    use of a single round, sealed-bid auction             interact in a future circumstance, where
                                                 the ACMA attempted to auction 1.8                       here because such auctions are                        any information gained by observing the
                                                 million unreleased ‘‘freephone’’ (toll                  relatively easy to implement and to bid               auction’s outcomes (notably, if bid
                                                 free) and ‘‘local-rate numbers,’’                       in and, therefore, less costly to both the            amounts are later made public) could be
                                                 considered desirable (as vanity numbers                 auctioneer and participants than more                 used. The result also assumes the
                                                 or repeaters), which were branded as                    complex multi-round auctions.                         auction’s rules are enforced. Similarly,
                                                 ‘‘smartnumbers®.’’ The results of the                      14. We further propose an auction in               bidders in a Vickrey auction with
                                                 auction show that the most desirable                    which participants simultaneously                     package bidding can do no better in
                                                 smartnumbers® were sold in highly                       submit separate bids for each number                  equilibrium than to bid their valuations.
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                                                 competitive auctions early in the                       they are interested in, with the winning              As a consequence of truthful bidding, a
                                                 process. However, after the initial                     bid for each number being determined                  Vickrey auction allocates the numbers
                                                 auctions within the first year of the most              solely by bids for that number,                       efficiently to the bidders who hold the
                                                 desirable numbers, the vast majority of                 independent of the bids for any other                 highest valuations. We do note that
                                                 smartnumbers® were uncontested and                      number. Thus, the proposed auction                    although a Vickrey auction may lead to
                                                 thus auctioned at set reserve prices. In                will not allow for package bids—bids for              an efficient outcome, are there
                                                 reviewing the outcome of the ACMA                       combinations of numbers. Thus, if a                   disadvantages or costs to this approach?
                                                 auction, we propose, at least for the 833               bidder values one number at, say $10,                 Furthermore, it might be undesirable for


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                                                                         Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules                                        47673

                                                 bidders in a Vickrey auction to fully                   of an object in environments in which                 proposal is consistent with the
                                                 reveal their valuations in the auction,                 bidders possess different and uncertain               RespOrg’s role as manager and
                                                 particularly when some bids become                      information about the objects for sale.               administrator of toll free records in the
                                                 public information. We seek comment                     Examples of open auctions include the                 TFNA database. Our proposal also
                                                 on using the Vickrey auction                            traditional English auction where the                 reflects in part the importance of
                                                 methodology for the 833 mutually                        auctioneer calls increasing prices, eBay              RespOrgs as market makers. Further,
                                                 exclusive numbers and ask parties to                    auctions where ascending bids are                     RespOrgs may have strengths in
                                                 elaborate on the advantages and                         placed over a period of time, and the                 maximizing the valuation of certain
                                                 disadvantages of this proposal.                         simultaneous multi-round auction                      numbers, for example, by piecing
                                                    17. Reserve Prices. Reserve prices (or               employed by the Commission for the                    together geographic coalitions of
                                                 minimum acceptable bids for a number)                   allocation of electromagnetic spectrum.               subscribers who may be unable to
                                                 can help to improve revenue in an                       Open auctions offer bidders the                       coordinate by themselves. We seek
                                                 auction. However, our objective is                      opportunity for price discovery and can               comment on this proposal. We also seek
                                                 primarily to increase the efficiency of                 lead to more efficient outcomes.                      comment on whether we should
                                                 toll-free number assignments. Since the                 However, these types of auctions may be               consider allowing subscribers to directly
                                                 numbers that are not auctioned are                      more costly to implement, and we                      participate in an auction. Are there
                                                 offered on a first-come, first-served basis             expect the bidders’ valuations for toll               benefits to allowing their participation?
                                                 at zero price, we recognize that an                     free numbers will not be subject to                   Would an auction that includes both
                                                 equitable assignment of numbers in the                  significant uncertainty, as discussed in              subscribers and RespOrgs be difficult to
                                                 auction may be inconsistent with the                    more detail in section IV below.                      implement? Assuming we use an
                                                 imposition of a reserve price.                          Idiosyncratic is a term of art. An                    auction methodology for future code
                                                 Furthermore, establishing a level of the                example of idiosyncratic valuations is                openings or other toll free assignments
                                                 reserve price that is in the public                     where one person values a painting                    and identify mutually exclusive
                                                 interest may require precise information                because it evokes certain memories,                   numbers, how should we define mutual
                                                 that is unavailable prior to running a                  another values it because of the artist’s             exclusivity? Should we consider
                                                 first auction for toll free numbers. We                 composition and technique, and a third                mutually exclusive numbers those
                                                 seek comment on whether a reserve                       values the painting because it fits well              numbers which two or more RespOrgs
                                                 price should be imposed in the auction,                 in a pre-selected space. The valuation                have requested, or numbers that have
                                                 and generally on the potential                          that each person attaches to the painting             been requested by two or more
                                                 advantages and disadvantages of reserve                 is not changed by knowing whether or                  subscribers? If mutual exclusivity means
                                                 prices in an auction of toll-free                       why the other persons like it. We seek                toll free numbers requested by two or
                                                 numbers. If a reserve price is imposed                  comment on this issue. Would bidders                  more RespOrgs, is there a way to
                                                 in the auction, what factors should we                  change their valuations if they knew                  determine how many of these numbers
                                                 consider in determining a level of the                  more about other bidders’ valuations?                 are sought by more than one subscriber?
                                                 reserve price that is in the public                     Would this new information be central                 Are there legal restrictions to allowing
                                                 interest?                                               to an increase in the efficiency of the               subscribers to circumvent their
                                                 b. Alternative Auction Methodologies                    auction? Are there other advantages and               relationship with RespOrgs to
                                                                                                         disadvantages of an open auction that                 participate directly in an auction, and
                                                    18. Pay-Your-Bid Auction. An                         we should consider?
                                                 alternative methodology is a pay-your-                                                                        would other provisions in our existing
                                                                                                            20. Other Auction Designs. Other than
                                                 bid auction whereby the highest bidder                                                                        toll free rules need to be revised to
                                                                                                         the auction designs and procedures
                                                 wins and pays his or her bid. A pay-                                                                          allow participation by subscribers?
                                                                                                         discussed above, we seek comment on
                                                 your-bid auction also has benefits. This                whether there are other auction designs                  22. The greater the number of auction
                                                 type of auction is generally                            we should consider. We believe that the               participants, the more effective the 833
                                                 straightforward because, as the name                    auction design best suited to yield an                number auction and subsequent toll free
                                                 suggests, the highest bidder for a                      outcome that is in the public interest                number auctions will be. We seek
                                                 number wins the auction and pays his                    depends in large measure on the                       comment on ways to notify potential
                                                 or her bid. Moreover, the pay-your-bid                  institutional details of the toll free                subscribers about auctions and
                                                 auction may yield significantly higher                  number market. We therefore seek                      encourage their participation through
                                                 revenues than the generalized Vickrey                   comment from industry and interested                  their chosen RespOrg(s). Should we
                                                 second-price auction. On the other                      stakeholders about the essential                      consider including subscriber
                                                 hand, the pay-your-bid auction may give                 characteristics of the toll free number               information in the TFNA database?
                                                 rise to an inefficient toll free number                 market that might be helpful to develop               Currently, the TFNA can notify
                                                 assignment because in a pay-your-bid                    an auction design most suitable to serve              RespOrgs about auctions—because the
                                                 auction, bidding to reflect true                        that market and the broader public                    toll free database identifies the RespOrg
                                                 valuations is not usually optimal.                      interest. We invite parties to provide                for each number assigned—but it cannot
                                                 Bidding one’s valuation in a pay-your-                  any alternatives or offer further                     notify subscribers potentially interested
                                                 bid auction guarantees zero payoff: the                 economic, legal, or logistical insights               in bidding for a number because the
                                                 difference between value and bid (the                   about these and other auction designs                 database does not contain subscriber
                                                 bidder’s surplus) is equal to zero                      and procedures.                                       information. Would inclusion of
                                                 whether one wins or not. As a result, to                                                                      subscriber information in the toll free
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                                                 ensure a positive expected payoff,                      3. Auction Eligibility                                database provide greater market
                                                 bidding below one’s value is optimal in                    21. We propose to allow only                       transparency for auction bidders,
                                                 the pay-your-bid auction.                               RespOrgs to bid in an auction; potential              improving the efficiency of the auction?
                                                    19. Open Auction. Although we                        subscribers seeking mutually exclusive                Are the costs of including this
                                                 propose a Vickrey auction, we seek                      toll free numbers would need to                       information in the database significant?
                                                 comment on the use of an open auction.                  approach one or more RespOrgs about                   Would having subscriber information in
                                                 Open auctions can help bidders form                     placing a bid on their behalf. We seek                the database be useful for other reasons,
                                                 more accurate expectations of the value                 comment on this proposal. We think our                such as helping the TFNA and the


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                                                 47674                   Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules

                                                 Commission resolve disputes over the                    under section 251(e), the Commission                  on possible benefits and drawbacks of
                                                 use of a toll free number or helping law                has used a number of different                        administrative assignments.
                                                 enforcement agencies identify the                       approaches to collect funds to defray the                29. We wish to use any 833 auction
                                                 subscriber for a number being used for                  costs of numbering administration                     as an experiment to ensure that we
                                                 unlawful purposes? Are there privacy or                 without implicating, for example, the                 develop well-tested rules going forward.
                                                 other considerations that would militate                Miscellaneous Receipts Act (MRA).                     After we review the record in response
                                                 against including subscriber information                None of these cost recovery mechanisms                to this Notice, we anticipate adopting
                                                 in the database that would be visible to                implicated the MRA, and we do not                     rules for auctioning the 833 mutually
                                                 other bidders (as opposed to being                      believe that applying auction funds to                exclusive numbers. Upon completion of
                                                 visible just to TFNA)?                                  offset the TFNA costs, within the                     any 833 auction, the Bureau will report
                                                    23. We propose not to limit the                      NANP, would implicate the MRA, due                    to the Commission on the outcomes of
                                                 quantity of toll free numbers RespOrgs                  to the Commission’s authority under                   the auction and lessons learned. As we
                                                 can acquire through the auction and                     section 251(e). We seek comment on                    draw on the experience of the 833
                                                 seek comment on this proposal. We                       this view.                                            auction, the Bureau will refresh the
                                                 think that limiting the number of bids                     26. We also seek comment on                        record in this proceeding before the
                                                 that can be placed by a RespOrg in the                  implementation issues from applying                   Commission considers adopting final
                                                 auction may hamper efficiency because                   auction funds to offset the TFNA. We                  rules for the distribution of other toll
                                                 it may constrain primarily the bidders                  currently require that the TFNA’s                     free numbers going forward.
                                                 who hold the highest valuations. Do                     tariffed rates charged to RespOrgs be
                                                                                                                                                               B. Secondary Markets for Toll Free
                                                 parties agree with this belief? If                      based on the cost of providing its
                                                                                                                                                               Numbers
                                                 subscribers are allowed to bid for                      services, determined on a year-by-year
                                                 numbers, should we impose limits on                     basis. What is the best way to factor in                 30. Consistent with the market-based
                                                 the quantity of 833 numbers they can                    auction revenues? Because the TFNA is                 approach for assigning mutually
                                                 acquire in the auction?                                 limited to recovering its revenue                     exclusive toll free numbers, we seek
                                                                                                         requirement, and must budget and                      comment on revising our current rules
                                                 4. Auctioneer                                                                                                 to promote development of a secondary
                                                                                                         adjust its fees accordingly each year,
                                                    24. We seek comment on the                           how should it account for additional                  market for toll free numbers generally.
                                                 characteristics of an auctioneer who                    revenues from a number auction?                       A secondary market would allow
                                                 would be able to put in practice the                    Should we create a system whereby                     subscribers to reassign their toll free
                                                 auction process we propose above at the                 auction proceeds realized in a given                  numbers to other subscribers for a fee
                                                 lowest cost. Should we designate the                    calendar year are held and remitted to                (or other compensation) the parties
                                                 TFNA as the auctioneer?                                 the TFNA in the beginning of the                      negotiate. Under the Commission’s
                                                                                                         following year (early January)? Or, are               rules, RespOrgs are responsible for
                                                 5. Treatment of Auction Funds
                                                                                                         there alternative remittance systems that             managing and administering toll free
                                                    25. We propose that the net proceeds                 are preferable?                                       records on behalf of subscribers. See 47
                                                 from any toll free number auction                          27. If an auction generates more                   CFR 52.101(b). We do not propose to
                                                 proposed in this Notice be directed to                  revenue than the TFNA revenue                         change those responsibilities in this
                                                 defray the costs of number                              requirement for a particular year, parties            Notice. We are mindful of long-standing
                                                 administration. Specifically, we propose                should comment on how to allocate                     Commission and legal precedent that a
                                                 that auction funds be applied to offset                 those additional funds. Should the                    telephone number is a public resource
                                                 the costs of toll free numbering                        TFNA retain any excess auction                        that is not privately owned and cannot
                                                 administration by the TFNA within the                   revenues, and apply them to the                       be sold. We seek comment, however, on
                                                 NANP for the benefit of all RespOrgs                    revenue requirements of future years?                 whether we should change our rules so
                                                 and subscribers. This approach would                    Alternatively, should such remaining                  that even though a subscriber does not
                                                 include the administrative costs of                     auction proceeds instead be remitted to               own a toll free number, he or she may
                                                 implementing numbering auctions                         the NANP Administrator (NANPA) to                     reassign the right to use that number for
                                                 should the Commission designate the                     defray the general costs of administering             a fee. For example, in a secondary
                                                 responsibility to the TFNA. The TFNA                    it? Would directing any excess proceeds               market, a business owner who wants to
                                                 administers toll free numbers, which are                in this manner benefit all users of the               sell his or her business may sell the
                                                 part of the NANP numbering resources.                   NANP across the 20 countries that                     right to use the toll free number
                                                 The NANP is comprised of 20 member                      comprise it? Are any of the federal                   associated with the business. This
                                                 countries. We propose that the auction                  statutes discussed above implicated if                reassignment would benefit both the
                                                 proceeds from any toll free auction be                  we handle additional auctions proceeds                seller and buyer of the business.
                                                 applied to offset the costs of the TFNA                 in this manner?                                       Therefore, a secondary market may be
                                                 to equally benefit RespOrgs and                                                                               more equitable and promote economic
                                                 subscribers in those member countries                   6. Alternative Assignment                             efficiencies as the number would be
                                                 to the extent they pay fees to the TFNA.                Methodologies                                         better utilized by the new business
                                                 Commenters should address whether                          28. The Commission seeks comment                   owner than if it were returned to the
                                                 this approach is the best method of                     on the costs and benefits of other                    pool of available toll free numbers and
                                                 applying the proceeds from the auction,                 possible assignment approaches for                    subject to first-come, first-served
                                                 or whether alternative methods are                      desirable 833 numbers. We classify                    assignment.
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                                                 preferable. We also seek comment on                     assignment approaches as either market-                  31. Current market realities appear to
                                                 any legal, logistical, or international                 based, such as an auction, or                         support a secondary market as an
                                                 implications of this proposal, given the                administrative, such as a lottery or first-           efficient and productive use of numbers.
                                                 international composition of the NANP.                  come, first-served. Notwithstanding our               Despite the fact that toll free numbers
                                                 Further, we do not believe that applying                proposal to adopt the market-based                    are a public resource and neither
                                                 auction funds to offset the TFNA costs,                 auction approach described above, an                  carriers nor subscribers ‘‘own’’ their
                                                 within the NANP, implicates any U.S.                    administrative approach may also have                 numbers, it takes little effort to find toll
                                                 fiscal statutes. Pursuant to our authority              value. Therefore, we also seek comment                free numbers advertised for sale. An


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                                                                         Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules                                          47675

                                                 Internet search for ‘‘toll free numbers for             a RespOrg or subscriber wishes to sell                rule in lieu of eliminating it to avoid
                                                 sale’’ produces numerous options to                     it? Should the Commission or the TFNA                 any undesirable or unforeseen
                                                 presumably buy and sell toll free                       maintain a database that potential                    outcomes.
                                                 numbers, as do online auction site                      buyers could check, or should buyers be                  37. Warehousing and Hoarding
                                                 searches for ‘‘toll free number.’’ Indeed,              responsible for their own advertising of              Prohibitions. The warehousing and
                                                 the Enforcement Bureau has taken                        numbers for sale? How could the                       hoarding prohibitions are intended to
                                                 action against an individual who,                       Commission or the TFNA help ensure                    limit exhaust of toll free numbers by
                                                 through his company, engaged in                         members of the public are able to verify              ensuring that numbers, once removed
                                                 multiple rule violations, including                     that an entity is in fact a RespOrg? Are              from the pool of available numbers, are
                                                 brokering ‘‘15 toll free numbers for fees               there additional roles or functions the               used efficiently. We seek comment on
                                                 ranging from $10,000 to $17,500 per                     TFNA could perform or provide that                    whether these rules effectively serve
                                                 number’’ to a pharmaceutical company.                   would benefit functioning of a                        their purpose or whether we should
                                                 The fact that some parties are willing to               secondary market or market                            revise or eliminate these rules. If
                                                 take the risk of participating in a black               participants?                                         numbers could be stored, and traded,
                                                 market to obtain toll free numbers                                                                            would market forces ensure their
                                                 suggests that there is significant demand               C. Toll Free Number Administration                    efficient assignment? Without these
                                                 for such numbers. We believe that                       1. Toll Free Number Rule Revisions                    rules, will RespOrgs and subscribers
                                                 creating a framework for lawful                                                                               hold numbers they no longer need,
                                                                                                            34. We propose revising certain toll               hoping to sell them later at higher
                                                 transactions in these secondary markets
                                                                                                         free number rules to support our market               prices? If they were to do so, could we
                                                 would be beneficial by permitting
                                                                                                         approach to assigning certain toll free               discourage this practice by limiting the
                                                 subscribers to legally obtain numbers
                                                                                                         numbers for new code openings,                        amount of time a RespOrg or subscriber
                                                 which they value. Even outside the
                                                                                                         recovered toll free numbers, and in the               may hold a toll free number without
                                                 context of a business ownership change,
                                                 RespOrgs and subscribers may wish to                    secondary market. Specifically, we                    either using or selling it? That is, should
                                                 buy and sell toll free numbers among                    propose revising the first-come, first-               we require that a number be ‘‘in use’’
                                                 themselves based on the usefulness of                   served rule, and seek comment on                      within a certain time after it is obtained?
                                                 the numbers. We seek comment on our                     eliminating the brokering rule entirely.              What constitutes number ‘‘use’’ in this
                                                 proposal, and in particular, the impact                 We also seek comment on revising the                  context? What time limit should we
                                                 of a rule change on our public resource                 warehousing and hoarding rules.                       impose and how should we enforce that
                                                                                                            35. First-Come, First-Served Rule. We              limitation? Should we consider
                                                 precedent.
                                                    32. We also seek comment on whether                  propose revising section 52.111 of our                increasing administrative fees on
                                                 the TFNA should receive any                             rules to allow for the assignment of toll             RespOrgs (which would be passed on to
                                                 transaction proceeds or charge any fees                 free telephone numbers to RespOrgs and                subscribers) to limit the amount of time
                                                 to offset number administration costs.                  subscribers on an equitable basis by                  a number is held? In the alternative,
                                                 Such funds could be used for the same                   auction, on a first-come, first-served                should the Commission eliminate these
                                                 purpose as we propose for auction                       basis, by using an alternative                        warehousing and hoarding prohibitions,
                                                 funds: to offset the costs of toll free                 assignment methodology, or by a                       along with the brokering prohibition,
                                                 numbering administration by the TFNA                    combination of these approaches as                    and rely instead on market forces to
                                                 within the NANP for the benefit of all                  circumstances require. We seek                        determine if and when toll free numbers
                                                 RespOrgs and subscribers. Would this                    comment on this proposal. Are different               are sold in the secondary market?
                                                 be an efficient use of funds? If we did                 or more specific parameters needed? It                   38. Other Rule Revisions. We also
                                                 charge a transaction fee for the transfer               has been nearly 20 years since the                    seek comment on whether the
                                                 of toll free numbers in the secondary                   adoption of the first-come, first-served              Commission should eliminate or revise
                                                 market, what amount should be                           rule. Are there other revisions to that               any other toll free rules. For example,
                                                 charged? Are there legal constraints in                 rule we should consider?                              should the Commission revise the
                                                 charging a transaction fee for the                         36. Brokering Rule. The Commission’s               definition of the Service Management
                                                 transfer of toll free numbers? Are there                brokering rule prohibits RespOrgs and                 System (SMS) Database in section
                                                 international concerns if such fees went                subscribers from selling a toll free                  52.101(d) to include subscriber
                                                 to offset costs of the NANP?                            number for a fee. We seek comment on                  information as discussed above?
                                                 Additionally, we seek comment on                        eliminating the brokering rule as it                  Moreover, section 52.103 of the rules
                                                 whether a RespOrg should be able to                     directly precludes a secondary market                 contains a number of definitions and
                                                 charge a fee for such transfers, and on                 for toll free numbers. Alternatively, we              rules pertaining to the ‘‘status’’ of toll
                                                 whether such fees, if charged, should be                seek comment on whether the                           free numbers in the database and when
                                                 regulated. Or, should we put in place                   Commission should relax or suspend                    these numbers are available for
                                                 some other mechanisms to prevent the                    the brokering rule in any way.                        assignment to subscribers. The term
                                                 abuse of any market power RespOrgs                      Commenters should address whether                     ‘‘status’’ refers to whether and how a
                                                 might have? Would a secondary market                    these approaches are consistent with the              toll free number is being used. What
                                                 have an impact on settling trademark or                 public resource nature of toll free                   revisions, if any, to these categories
                                                 branding disputes in desirable toll free                numbers, while still promoting the                    should we consider to promote a
                                                 numbers?                                                economic efficiencies of a secondary                  secondary market?
                                                    33. Interested parties should further                market in toll free numbers. The
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                                                 comment on what types of information                    brokering rule was adopted with the                   2. Toll Free Numbers Used for Public
                                                 the TFNA would need from the buyer                      intention of equitably assigning                      Purposes
                                                 and seller to document a reassignment.                  numbers and minimizing number                            39. We seek comment on whether
                                                 Would the TFNA need to develop an                       exhaust. However, we now question                     certain desirable toll free numbers
                                                 online system to record any                             whether the brokering rule was a useful               necessary to promote health, safety,
                                                 reassignments in the secondary market?                  way to achieve those ends. We seek                    education, and other public interest
                                                 How will parties know when a number                     comment on whether there are any other                goals should be set aside for use,
                                                 is available for reassignment, i.e., when               modifications we should make to the                   without cost, by government (federal,


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                                                 47676                   Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules

                                                 state, local and Tribal) agencies as well               4. Toll Free Number Assignment                        recover operating costs. Part of the
                                                 as by non-profit health, safety,                        Management                                            Commission’s rationale in allowing
                                                 education, or other non-profit public                      41. In light of the proposed changes               Somos to reorganize as a non-profit
                                                 interest organizations. Numerous                        to the toll free number assignment                    membership was ‘‘any savings realized
                                                 organizations use desirable toll free                   methodology in this Notice, we seek                   as a result of SMS/800, Inc.’s corporate
                                                 numbers for a variety of purposes, such                 comment on whether the Commission                     restructuring is likely to be reflected in
                                                 as for contacting the organization for                  should consider changes to overall toll               lower tariffed rates for RespOrgs, which
                                                 information or assistance and for                       free number administration. Since the                 should in turn lead to lower charges for
                                                 fundraising. For example, the                           Commission required designation of an                 toll free subscribers.’’ Would a more
                                                 Department of Health and Human                          impartial entity to administer toll free              transparent, or itemized accounting of
                                                                                                         numbers, the TFNA has evolved from a                  Somos’s costs further this goal and also
                                                 Services uses 800–SUICIDE to support a
                                                                                                         Bell Operating Company operated                       better inform RespOrgs and subscribers
                                                 network of suicide prevention hotlines.
                                                                                                                                                               of the costs of acquiring toll free
                                                 Parties should address the advantages                   organization, to a non-profit
                                                                                                                                                               numbers? We seek comment and ideas
                                                 and disadvantages of granting an                        membership corporation. Somos, Inc.,
                                                                                                                                                               from industry on the roles of the TFNA
                                                 exemption for certain governmental and                  the TFNA—organized as an
                                                                                                                                                               and tariff as an important means to help
                                                 non-profit health, safety, education, and               independent, non-profit corporation—
                                                                                                                                                               us modernize toll free number
                                                 other non-profit public interest                        administers the toll free SMS. Somos
                                                                                                                                                               assignment.
                                                 purposes. How would such a system be                    provides access to the SMS pursuant to
                                                 implemented and administered? Would                     the SMS Tariff that sets forth the                    D. Legal Authority
                                                 this system raise any First Amendment,                  regulations, rates, and charges                          44. The Commission has consistently
                                                 statutory, or other legal issues? For                   applicable to SMS services, and                       found that the Act requires the
                                                 example, how should such non-profit                     describes the features and functions of               Commission to ensure the equitable,
                                                 health, safety, education, and other non-               the SMS.                                              efficient, and orderly assignment of toll
                                                                                                            42. SMS 800 Tariff. Should we                      free numbers. As noted above, section
                                                 profit public interest organizations be
                                                                                                         consider a different mechanism for toll               251(e)(1) of the Act gives the
                                                 defined; should definitions from other
                                                                                                         free number administration than the                   Commission ‘‘exclusive jurisdiction
                                                 sections of the Act or the Commission’s
                                                                                                         tariff mechanism described above? The                 over those portions of the North
                                                 rules be used? Should entities other                    TFNA currently files a tariff that
                                                 than the ones described above—non-                                                                            American Numbering Plan that pertain
                                                                                                         outlines the features and functions of                to the United States’’ and provides that
                                                 profit health, safety, education, or other              the SMS, establishes RespOrg
                                                 non-profit public interest                                                                                    numbers must be made ‘‘available on an
                                                                                                         responsibilities and eligibility criteria,            equitable basis.’’ Accordingly, the
                                                 organizations—be included in this                       and sets forth the rates for service. The             Commission retains ‘‘authority to set
                                                 definition or receive similar treatment?                tariff also lists both the monthly and                policy with respect to all facets of
                                                 Should the Commission treat these                       non-recurring charges for database                    numbering administration in the United
                                                 purposes differently from other                         access and other SMS services. In the                 States.’’ In addition, the Commission
                                                 purposes for which desirable numbers                    1993 CompTel Declaratory Ruling, the                  has stated that sections 201(b) and
                                                 are used? What are the pros and cons of                 Commission declared that RespOrg                      251(e)(1) of the Act ‘‘empower the
                                                 each approach?                                          access to the SMS database ‘‘is a Title               Commission to ensure that toll free
                                                                                                         II common carrier service and shall be                numbers, which are a scarce and
                                                 3. Abuse of Toll Free Numbers
                                                                                                         provided subject to tariff.’’                         valuable national public resource, are
                                                   40. We also seek comment on ways                      Subsequently, in 2013, the Commission                 allocated in an equitable and orderly
                                                 the Commission may address possible                     found that the reorganized toll free                  manner that serves the public interest.’’
                                                 abuse of toll free numbers after they                   administrator, now Somos, met the                     This exclusive jurisdiction over
                                                 have been assigned to a non-profit                      neutrality requirements required by                   numbering policy enables the
                                                 health, safety, education, or other non-                section 251(e) of the Act and the                     Commission to act flexibly and
                                                 profit public interest organizations or                 Commission’s rules, so long as it files               expeditiously on important numbering
                                                 any purchaser in an auction or in the                   and maintains the tariff.                             matters. We note the Commission has
                                                 secondary market? Should the                               43. Should the Commission consider                 also relied on sections 1 and 4(i) of the
                                                                                                         a different regulatory treatment for SMS              Act to assign toll free numbers on an
                                                 Commission propose a rule stating its
                                                                                                         service? How, given the central role of               equitable and efficient basis.
                                                 ability to reclaim any toll free number
                                                                                                         the TFNA in the administration of toll                   45. The Commission has promulgated
                                                 that is used for fraudulent or otherwise
                                                                                                         free numbers, would we ensure the                     toll free number rules to satisfy these
                                                 unlawful purposes? Also, should the                     public is protected from unreasonable                 congressional mandates. The proposed
                                                 Commission create, or direct the TFNA                   rates, terms, and conditions?                         actions in this Notice—including the
                                                 to create, any terms and conditions for                 Alternatively, if the Commission                      proposal to use a new simple, low-cost
                                                 use of a toll free number purchased in                  adheres to the current TFNA model,                    auction method of assigning toll free
                                                 an auction or the secondary market?                     including its filing of a tariff, should the          numbers; and modifications to our
                                                 Should the Commission codify its                        Commission require more transparency                  current rules to allow a secondary
                                                 authority to reassign a number to                       in Somos’s operations and budget? Are                 market for toll free numbers that would
                                                 another subscriber if there is a strong                 there other ways to make Somos’s                      support market forces after a code
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                                                 public interest need to use the number                  financial information more transparent?               opening—are intended to further and
                                                 for another purpose. For example,                       Although the public tariff outlines                   better satisfy these mandates.
                                                 following Hurricane Katrina in 2005, the                Somos’s general operating procedures,                    46. As we noted in the background
                                                 Commission reassigned 800–RED–                          certain information may be difficult to               section of this Notice, in 1998, the
                                                 CROSS from a for-profit corporation to                  discern and other information is                      Commission previously considered
                                                 the American Red Cross so it could                      provided to the Commission under                      using an auction approach to toll free
                                                 facilitate the Nation’s response to the                 confidential cover. As a non-profit                   number assignment. In the 1998 Toll
                                                 disaster wrought by Hurricane Katrina.                  organization, Somos is only allowed to                Free Order, the Commission recognized


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                                                                         Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules                                               47677

                                                 that auctions are both an equitable and                 different bidder valued the same                      RespOrgs’ ex ante valuations of a toll
                                                 a ‘‘generally efficient’’ assignment                    number differently.                                   free number may be uncertain. In
                                                 mechanism.’’ At that time, however, the                    50. RespOrgs act as intermediaries in              particular, while many RespOrgs likely
                                                 Commission could not say ‘‘based on                     the toll free market. RespOrgs’ gains or              have a deep understanding of the
                                                 the present record that auctions of                     surpluses from supplying a toll free                  market for toll free number, and,
                                                 vanity numbers would produce                            number may be characterized by                        consequently, their valuations of a given
                                                 efficiencies that would outweigh the                    significant commonalities or                          toll free number might be fairly precise,
                                                 practical difficulties,’’ such as cost,                 interdependencies, that is, RespOrg                   other competing RespOrgs may not have
                                                 administration, and impact on the                       valuations of toll free numbers may not               a similar understanding of the market,
                                                 international membership of the NANP.                   be idiosyncratic. Instead, a RespOrg that             and their valuations of a given number
                                                 Our proposal to implement auctions for                  observed another RespOrg with a                       might be uncertain to some degree. If it
                                                 mutually exclusive toll free numbers is                 significantly higher or lower valuation               is true that at least some competing
                                                 consistent with the Commission’s                        than its own might wonder if it was                   RespOrgs have materially different
                                                 previous finding that auctions are                      misinformed, and the other RespOrg                    estimates of customers’ valuations of
                                                 generally equitable and efficient. We                   knows something about the value of the                certain toll free numbers than others,
                                                 believe that auctions would now be a                    number that it does not. A RespOrg                    then an open auction might allow
                                                 more equitable and efficient approach to                derives surplus from acquiring a toll                 bidding RespOrgs to refine their value of
                                                 assignment of mutually exclusive toll                   free number only to the extent that it                the number or numbers they are
                                                 free numbers and that the benefits of                   can profitably supply it to a subscriber.             bidding. However, the Commission
                                                 such auctions would outweigh any                        This surplus is equal to the difference               believes that, overall, the RespOrgs’
                                                 practical difficulties. We seek comment                 between the price the RespOrg obtains                 valuations of a toll-free number are only
                                                 on this assessment. With nearly two                     for the number, and the cost of                       slightly affected by uncertainty. We seek
                                                 more decades of experience and                          supplying it. Differences in the                      to understand the degree to which
                                                 increased demand for toll free numbers,                 technologies RespOrgs use to supply                   uncertainty affects some of the
                                                 we seek to develop a new record which                   numbers, for example, to provide                      RespOrgs’ valuations of a toll-free
                                                 we believe will show that the                           geographic-based calling, or in the                   number.
                                                 efficiencies produced by the proposed                   markets the RespOrgs address may give
                                                 auction will outweigh any practical                     rise to idiosyncratic differences in cost.            The Vickrey Auction
                                                 difficulties.                                           However, if RespOrgs generally compete                  52. To formulate their views on a
                                                    47. For the reasons previously                       with other similar RespOrgs using the                 Vickrey auction with no package bids,
                                                 discussed in this Notice, we believe the                same technologies, seeking to supply                  as proposed in the Notice, commenters
                                                 proposals herein are consistent with and                the same subscribers with largely the                 may find this example helpful. Suppose
                                                 further the Commission’s statutory                      same service, then the key factor that                there are two bidders, A and B, and two
                                                 mandate to make ‘‘numbers available on                  might lead such RespOrgs’ valuations of               toll free numbers to be assigned Number
                                                 an equitable basis.’’ These proposals                   a number to differ is their assessment of             1 and Number 2. Bids are indicated by
                                                 include a more efficient and market-                    the highest price that a subscriber is                the dollar amounts in the table below.
                                                 driven approach to assigning toll free                  willing to pay for the number (since the              These bids should not be treated as
                                                 numbers, better promote productive use                  relevant RespOrg’s have similar costs,                indicative in any way of the expected
                                                 of numbers, and reflect current market                  and are supplying essentially the same                value of any of the numbers auctioned,
                                                 realities. We invite comment on the                     service). While the Commission                        and are provided only as an example.
                                                 sources of authority discussed above.                   recognizes many RespOrgs have
                                                                                                         different business models, it also                                BIDDING EXAMPLE TABLE
                                                 IV. Toll Free Auction Design                            considers that in general RespOrgs
                                                   48. In this Appendix, to assist                       largely use the same technologies to                      Bidder/No.              1     2      {1,2}
                                                 interested stakeholders in preparing                    supply the same services to customers
                                                 focused and detailed comments on the                    with a demand for certain types of                    A .......................   $10   $20      $32
                                                 Notice, the Commission provides                         valuable toll free numbers. For any such              B .......................    16     8       25
                                                 additional information on our interest in               RespOrgs, the Commission does not
                                                 how potential bidders determine the                     view differences in the cost of supplying               53. In a Vickrey auction without
                                                 value of toll free numbers, and on the                  toll free number or their business                    package bids, but which allows
                                                 Vickrey auction.                                        models as giving rise to significant                  simultaneous bidding over more than
                                                                                                         differences in competing RespOrgs’                    one number, only columns 1 and 2 are
                                                 Toll Free Number Valuations                                                                                   relevant. Bidder A obtains Number 2
                                                                                                         surpluses from supplying a given toll
                                                    49. The way potential bidders in our                 free number. The Notice seeks comment                 because it bid the highest amount ($20).
                                                 proposed auction determine their                        on the extent to which this conclusion                Bidder A pays the highest non-winning
                                                 valuations of coveted numbers, such as                  is correct, that is, on whether                       bid for Number 2 ($8). Bidder B obtains
                                                 1–833–FLOWERS, can determine                            differences in the cost structure or                  Number 1, because it bid the highest
                                                 whether there are benefits from having                  business plans of various RespOrgs                    amount ($16). Bidder 2 pays the highest
                                                 a multi-round auction. One possibility                  competing for the same customers using                non-winning bid for Number 1 ($10).
                                                 is individuals’ valuations are                          similar technologies may cause their                  Moreover, our expectation is that the
                                                 idiosyncratic, that is, are inherent to the             surpluses from supplying a given toll                 four bids reflect the bidders’ true
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                                                 specific bidder, without commonalities                  free number to vary idiosyncratically.                valuation of each number. This is
                                                 or interdependencies in how subscriber                     51. If the Commission is right about               because regardless of what other bids
                                                 valuations are determined. For example,                 competing RespOrgs largely using the                  are made, a bidder can always do better
                                                 potential bidders may develop their                     same technologies to satisfy the same                 by bidding its true value. If instead the
                                                 valuations based on the size of their                   business models, then the surpluses of                bidder underbids, it may lose when it
                                                 merchant network, and their business                    different RespOrgs from supplying a toll              could have won by paying no more and
                                                 models, and these valuations would not                  free number are not likely to differ                  potentially less than his value. If it
                                                 be changed if they were to discover a                   significantly ex post. However, the                   overbids, it may win and potentially pay


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                                                 47678                   Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules

                                                 more than the object is worth to it.                    allocating the numbers to maximize the                1934, as amended, 47 U.S.C. 151, 154(i),
                                                 Therefore, it is optimal to bid his value.              value to bidders.                                     201(b), and 251(e)(1).
                                                 This assumes the rules of the auction
                                                                                                         V. Initial Regulatory Flexibility                     C. Description and Estimate of the
                                                 are fully enforceable, and truth
                                                                                                         Analysis                                              Number of Small Entities to Which the
                                                 revelation in this auction would not be                                                                       Proposed Rules Will Apply
                                                 harmful to the bidders in other contexts.                 56. As required by the Regulatory
                                                 Consequently, if each number’s                          Flexibility Act of 1980, as amended                      59. The RFA directs agencies to
                                                 valuation was independent of the other,                 (RFA), the Commission has prepared                    provide a description of, and where
                                                 the auction would be economically                       this Initial Regulatory Flexibility                   feasible, an estimate of the number of
                                                 efficient. It would assign the numbers to               Analysis (IRFA) of the possible                       small entities that may be affected by
                                                 maximize value to the bidders.                          significant economic impact on a                      the proposed rule revisions, if adopted.
                                                    54. In a generalized Vickrey auction                 substantial number of small entities by               The RFA generally defines the term
                                                 with package bids, given the bids found                 the policies and rules proposed in this               ‘‘small entity’’ as having the same
                                                 in the table, the numbers are also                      Notice of Proposed Rulemaking                         meaning as the terms ‘‘small business,’’
                                                 assigned as in in the non-package                       (Notice). The Commission requests                     ‘‘small organization,’’ and ‘‘small
                                                 generalized Vickrey auction. A different                written public comments on this IRFA.                 governmental jurisdiction.’’ In addition,
                                                 allocation would emerge, for example, if                Comments must be identified as                        the term ‘‘small business’’ has the same
                                                 Bidder A valued both numbers at 37.                     responses to the IRFA and must be filed               meaning as the term ‘‘small-business
                                                 Then Bidder A would get both numbers.                   by the deadlines for comments provided                concern’’ under the Small Business Act.
                                                 In this case, however, the payments                     on the first page of the Notice. The                  A ‘‘small-business concern’’ is one
                                                 required of the winning bidders change.                 Commission will send a copy of the                    which: (1) Is independently owned and
                                                 As in the case of the non-package                       Notice, including this IRFA, to the Chief             operated; (2) is not dominant in its field
                                                 auction, the payments in the generalized                Counsel for Advocacy of the Small                     of operation; and (3) satisfies any
                                                 Vickrey auction are equal to the                        Business Administration (SBA). In                     additional criteria established by the
                                                 opportunity cost (highest alternative                   addition, the Notice and IRFA (or                     SBA.
                                                                                                         summaries thereof) will be published in                  60. Small Businesses, Small
                                                 value) of the items won by each bidder.
                                                                                                         the Federal Register.                                 Organizations, Small Governmental
                                                 However, as is the case in the table, this
                                                                                                                                                               Jurisdictions. Our actions, over time,
                                                 changes the opportunity cost of the bid.                A. Need for, and Objectives of, the                   may affect small entities that are not
                                                 The payments required in the package                    Proposed Rules                                        easily categorized at present. We
                                                 auction are determined as follows:                         57. In this Notice, we propose changes             therefore describe here, at the outset,
                                                    If Number 2 is assigned to Bidder B instead          to, and seek comment on, our toll free                three comprehensive small entity size
                                                 of Bidder A, then Bidder B would realize a              number administration and assignment                  standards that could be directly affected
                                                 value of $25 (because Bidder B would have               rules. While the Commission’s current                 herein. First, while there are industry
                                                 obtained both numbers). By assigning                    rule uses a first-come, first-served                  specific size standards for small
                                                 Number 2 to Bidder A, the (opportunity) cost
                                                 for Bidder B is $9 ($25 minus $16, the value
                                                                                                         approach to the assignment of toll free               businesses that are used in the
                                                 for Bidder B from obtaining Number 1). If               numbers, to help ensure the continued                 regulatory flexibility analysis, according
                                                 Number 1 is assigned to Bidder A instead of             usefulness and availability of this finite            to data from the SBA’s Office of
                                                 Bidder B, then Bidder A would realize a                 resource, we now examine alternative                  Advocacy, in general a small business is
                                                 value of $32. By assigning Number 1 to                  assignment methodologies. The                         an independent business having fewer
                                                 Bidder B, the (opportunity) cost for Bidder A           objective of the proposed rules is to                 than 500 employees. These types of
                                                 is $12 ($32 minus $20). Thus, the outcome               create a more efficient method of toll                small businesses represent 99.9% of all
                                                 of the generalized Vickrey auction is as                free number assignment that is                        businesses in the United States which
                                                 follows: Bidder A obtains Number 2, for                 consistent with our statutory mandate to              translates to 28.8 million businesses.
                                                 which it pays $9. Bidder B obtains Number
                                                                                                         make ‘‘numbers available on an                        Next, the type of small entity described
                                                 1, for which it pays $12.
                                                                                                         equitable basis.’’ Specifically, we                   as a ‘‘small organization’’ is generally
                                                   55. Further, in such auctions, by                     propose amending our rules to allow for               ‘‘any not-for-profit enterprise which is
                                                 similar reasoning to that provided for                  use of an auction to assign certain toll              independently owned and operated and
                                                 the non-package auction, the bidders                    free numbers—such as vanity and                       is not dominant in its field.’’
                                                 best strategy is to bid their valuations.               repeater numbers—in order to better                   Nationwide, as of 2007, there were
                                                 Accordingly, the highest value can be                   promote the equitable and efficient, use              approximately 1,621,215 small
                                                 realized by assigning Number 2 to                       of numbers. With the opportunity                      organizations. Finally, the small entity
                                                 Bidder A and Number 1 to Bidder B. In                   afforded by the opening of the 833 toll               described as a ‘‘small governmental
                                                 this case, that value is $36: $20 for                   free code, we propose to use an auction               jurisdiction’’ is defined generally as
                                                 Bidder A and $16 for Bidder B. If                       for assigning numbers for which                       ‘‘governments of cities, towns,
                                                 Number 1 is assigned to Bidder A, and                   mutually exclusive interest has been                  townships, villages, school districts, or
                                                 Number 2 to Bidder B, then the value                    expressed. We seek comment on                         special districts, with a population of
                                                 of the assignment is $18. If both                       repealing or relaxing the prohibition on              less than fifty thousand.’’ U.S. Census
                                                 numbers are assigned to Bidder A, the                   number brokering, thereby allowing toll               Bureau data published in 2012 indicate
                                                 value of the assignment is $32. If both                 free number secondary markets, and                    that there were 89,476 local
                                                 numbers are assigned to Bidder B, the                   consider a variety of other means to                  governmental jurisdictions in the
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                                                 value of the assignment is $25. The                     modernize toll free number                            United States. We estimate that, of this
                                                 generalized Vickrey auction assigns the                 assignments.                                          total, as many as 88,761 entities may
                                                 two numbers to maximize value.                                                                                qualify as ‘‘small governmental
                                                 Accordingly, the generalized Vickrey                    B. Legal Basis                                        jurisdictions.’’ Thus, we estimate that
                                                 auction assigns Number 2 to Bidder A                      58. The legal basis for any action that             most governmental jurisdictions are
                                                 and Number 1 to Bidder B. Thus, the                     may be taken pursuant to this Notice is               small.
                                                 generalized Vickrey auction with                        contained in sections 1, 4(i), 201(b), and               61. Wired Telecommunications
                                                 package bids is economically efficient                  251(e)(1) of the Communications Act of                Carriers. The U.S. Census Bureau


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                                                                         Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules                                       47679

                                                 defines this industry as ‘‘establishments               the rules and policies adopted. Three                 determinations in other, non-RFA
                                                 primarily engaged in operating and/or                   hundred and seven (307) Incumbent                     contexts.
                                                 providing access to transmission                        Local Exchange Carriers reported that                    66. Interexchange Carriers (IXCs).
                                                 facilities and infrastructure that they                 they were incumbent local exchange                    Neither the Commission nor the SBA
                                                 own and/or lease for the transmission of                service providers. Of this total, an                  has developed a definition for
                                                 voice, data, text, sound, and video using               estimated 1,006 have 1,500 or fewer                   Interexchange Carriers. The closest
                                                 wired communications networks.                          employees.                                            NAICS Code category is Wired
                                                 Transmission facilities may be based on                    64. Competitive Local Exchange                     Telecommunications Carriers as defined
                                                 a single technology or a combination of                 Carriers (Competitive LECs),                          above. The applicable size standard
                                                 technologies. Establishments in this                    Competitive Access Providers (CAPs),                  under SBA rules is that such a business
                                                 industry use the wired                                  Shared-Tenant Service Providers, and                  is small if it has 1,500 or fewer
                                                 telecommunications network facilities                   Other Local Service Providers. Neither                employees. U.S. Census data for 2012
                                                 that they operate to provide a variety of               the Commission nor the SBA has                        indicates that 3,117 firms operated
                                                 services, such as wired telephony                       developed a small business size                       during that year. Of that number, 3,083
                                                 services, including VoIP services, wired                standard specifically for these service               operated with fewer than 1,000
                                                 (cable) audio and video programming                     providers. The appropriate NAICS Code                 employees. According to internally
                                                 distribution, and wired broadband                       category is Wired Telecommunications                  developed Commission data, 359
                                                 internet services. By exception,                        Carriers, as defined above. Under that                companies reported that their primary
                                                 establishments providing satellite                      size standard, such a business is small               telecommunications service activity was
                                                 television distribution services using                  if it has 1,500 or fewer employees. U.S.              the provision of interexchange services.
                                                 facilities and infrastructure that they                 Census data for 2012 indicate that 3,117              Of this total, an estimated 317 have
                                                 operate are included in this industry.’’                firms operated during that year. Of that              1,500 or fewer employees.
                                                 The SBA has developed a small                           number, 3,083 operated with fewer than                Consequently, the Commission
                                                 business size standard for Wired                        1,000 employees. Based on this data, the              estimates that the majority of IXCs are
                                                 Telecommunications Carriers, which                      Commission concludes that the majority                small entities that may be affected by
                                                 consists of all such companies having                   of Competitive LECS, CAPs, Shared-                    our proposed rules.
                                                 1,500 or fewer employees. Census data                                                                            67. Local Resellers. The SBA has
                                                                                                         Tenant Service Providers, and Other
                                                 for 2012 show that there were 3,117                                                                           developed a small business size
                                                                                                         Local Service Providers, are small
                                                 firms that operated that year. Of this                                                                        standard for the category of
                                                                                                         entities. According to Commission data,
                                                 total, 3,083 operated with fewer than                                                                         Telecommunications Resellers. The
                                                                                                         1,442 carriers reported that they were
                                                 1,000 employees. Thus, under this size                                                                        Telecommunications Resellers industry
                                                                                                         engaged in the provision of either                    comprises establishments engaged in
                                                 standard, the majority of firms in this                 competitive local exchange services or
                                                 industry can be considered small.                                                                             purchasing access and network capacity
                                                                                                         competitive access provider services. Of              from owners and operators of
                                                    62. Local Exchange Carriers (LECs).
                                                                                                         these 1,442 carriers, an estimated 1,256              telecommunications networks and
                                                 Neither the Commission nor the SBA
                                                                                                         have 1,500 or fewer employees. In                     reselling wired and wireless
                                                 has developed a size standard for small
                                                                                                         addition, 17 carriers have reported that              telecommunications services (except
                                                 businesses specifically applicable to
                                                                                                         they are Shared-Tenant Service                        satellite) to businesses and households.
                                                 local exchange services. The closest
                                                                                                         Providers, and all 17 are estimated to                Establishments in this industry resell
                                                 applicable NAICS Code category is
                                                 Wired Telecommunications Carriers as                    have 1,500 or fewer employees. Also, 72               telecommunications; they do not
                                                 defined above. Under the applicable                     carriers have reported that they are                  operate transmission facilities and
                                                 SBA size standard, such a business is                   Other Local Service Providers. Of this                infrastructure. Mobile virtual network
                                                 small if it has 1,500 or fewer employees.               total, 70 have 1,500 or fewer employees.              operators (MVNOs) are included in this
                                                 According to Commission data, census                    Consequently, based on internally                     industry. Under that size standard, such
                                                 data for 2012 shows that there were                     researched FCC data, the Commission                   a business is small if it has 1,500 or
                                                 3,117 firms that operated that year. Of                 estimates that most providers of                      fewer employees. Census data for 2012
                                                 this total, 3,083 operated with fewer                   competitive local exchange service,                   show that 1,341 firms provided resale
                                                 than 1,000 employees. The Commission                    competitive access providers, Shared-                 services during that year. Of that
                                                 therefore estimates that most providers                 Tenant Service Providers, and Other                   number, all operated with fewer than
                                                 of local exchange carrier service are                   Local Service Providers are small                     1,000 employees. Thus, under this
                                                 small entities that may be affected by                  entities.                                             category and the associated small
                                                 the rules adopted.                                         65. We have included small                         business size standard, the majority of
                                                    63. Incumbent LECs. Neither the                      incumbent LECs in this present RFA                    these prepaid calling card providers can
                                                 Commission nor the SBA has developed                    analysis. As noted above, a ‘‘small                   be considered small entities.
                                                 a small business size standard                          business’’ under the RFA is one that,                    68. Toll Resellers. The Commission
                                                 specifically for incumbent local                        inter alia, meets the pertinent small                 has not developed a definition for Toll
                                                 exchange services. The closest                          business size standard (e.g., a telephone             Resellers. The closest NAICS Code
                                                 applicable NAICS Code category is                       communications business having 1,500                  Category is Telecommunications
                                                 Wired Telecommunications Carriers as                    or fewer employees), and ‘‘is not                     Resellers. The Telecommunications
                                                 defined above. Under that size standard,                dominant in its field of operation.’’ The             Resellers industry comprises
                                                 such a business is small if it has 1,500                SBA’s Office of Advocacy contends that,               establishments engaged in purchasing
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                                                 or fewer employees. According to                        for RFA purposes, small incumbent                     access and network capacity from
                                                 Commission data, 3,117 firms operated                   LECs are not dominant in their field of               owners and operators of
                                                 in that year. Of this total, 3,083 operated             operation because any such dominance                  telecommunications networks and
                                                 with fewer than 1,000 employees.                        is not ‘‘national’’ in scope. We have                 reselling wired and wireless
                                                 Consequently, the Commission                            therefore included small incumbent                    telecommunications services (except
                                                 estimates that most providers of                        LECs in this RFA analysis, although we                satellite) to businesses and households.
                                                 incumbent local exchange service are                    emphasize that this RFA action has no                 Establishments in this industry resell
                                                 small businesses that may be affected by                effect on Commission analyses and                     telecommunications; they do not


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                                                 47680                   Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules

                                                 operate transmission facilities and                     companies have 1,500 or fewer                         communications services, and
                                                 infrastructure. Mobile virtual network                  employees. Consequently, the                          specialized mobile radio telephony
                                                 operators (MVNOs) are included in this                  Commission estimates that there are 500               carriers. As noted, the SBA has
                                                 industry. The SBA has developed a                       or fewer prepaid calling card providers               developed a small business size
                                                 small business size standard for the                    that may be affected by the rules.                    standard for Wireless
                                                 category of Telecommunications                             71. Wireless Telecommunications                    Telecommunications Carriers (except
                                                 Resellers. Under that size standard, such               Carriers (except Satellite). This industry            Satellite). Under the SBA small business
                                                 a business is small if it has 1,500 or                  comprises establishments engaged in                   size standard, a business is small if it
                                                 fewer employees. Census data for 2012                   operating and maintaining switching                   has 1,500 or fewer employees.
                                                 show that 1,341 firms provided resale                   and transmission facilities to provide                According to Commission data, 413
                                                 services during that year. Of that                      communications via the airwaves.                      carriers reported that they were engaged
                                                 number, 1,341 operated with fewer than                  Establishments in this industry have                  in wireless telephony. Of these, an
                                                 1,000 employees. Thus, under this                       spectrum licenses and provide services                estimated 261 have 1,500 or fewer
                                                 category and the associated small                       using that spectrum, such as cellular                 employees and 152 have more than
                                                 business size standard, the majority of                 services, paging services, wireless                   1,500 employees. Therefore, a little less
                                                 these resellers can be considered small                 internet access, and wireless video                   than one third of these entities can be
                                                 entities. According to Commission data,                 services. The appropriate size standard               considered small.
                                                 881 carriers have reported that they are                under SBA rules is that such a business                  75. Cable and Other Subscription
                                                 engaged in the provision of toll resale                 is small if it has 1,500 or fewer                     Programming. This industry comprises
                                                 services. Of this total, an estimated 857               employees. For this industry, U.S.                    establishments primarily engaged in
                                                 have 1,500 or fewer employees.                          Census data for 2012 show that there                  operating studios and facilities for the
                                                 Consequently, the Commission                            were 967 firms that operated for the                  broadcasting of programs on a
                                                 estimates that the majority of toll                     entire year. Of this total, 955 firms had             subscription or fee basis. The broadcast
                                                 resellers are small entities.                           employment of 999 or fewer employees                  programming is typically narrowcast in
                                                    69. Other Toll Carriers. Neither the                 and 12 had employment of 1000                         nature (e.g., limited format, such as
                                                 Commission nor the SBA has developed                    employees or more. Thus under this                    news, sports, education, or youth-
                                                 a definition for small businesses                       category and the associated size                      oriented). These establishments produce
                                                 specifically applicable to Other Toll                   standard, the Commission estimates that               programming in their own facilities or
                                                 Carriers. This category includes toll                   the majority of wireless                              acquire programming from external
                                                 carriers that do not fall within the                    telecommunications carriers (except
                                                                                                                                                               sources. The programming material is
                                                 categories of interexchange carriers,                   satellite) are small entities.
                                                                                                                                                               usually delivered to a third party, such
                                                 operator service providers, prepaid                        72. The Commission’s own data—
                                                                                                         available in its Universal Licensing                  as cable systems or direct-to-home
                                                 calling card providers, satellite service
                                                                                                         System—indicate that, as of October 25,               satellite systems, for transmission to
                                                 carriers, or toll resellers. The closest
                                                                                                         2016, there are 280 Cellular licensees                viewers. The SBA has established a size
                                                 applicable NAICS Code category is for
                                                                                                         that will be affected by our actions                  standard for this industry stating that a
                                                 Wired Telecommunications Carriers as
                                                                                                         today. The Commission does not know                   business in this industry is small if it
                                                 defined above. Under the applicable
                                                                                                         how many of these licensees are small,                has 1,500 or fewer employees. The 2012
                                                 SBA size standard, such a business is
                                                                                                         as the Commission does not collect that               Economic Census indicates that 367
                                                 small if it has 1,500 or fewer employees.
                                                 Census data for 2012 shows that there                   information for these types of entities.              firms were operational for that entire
                                                 were 3,117 firms that operated that year.               Similarly, according to internally                    year. Of this total, 357 operated with
                                                 Of this total, 3,083 operated with fewer                developed Commission data, 413                        less than 1,000 employees. Accordingly
                                                 than 1,000 employees. Thus, under this                  carriers reported that they were engaged              we conclude that a substantial majority
                                                 category and the associated small                       in the provision of wireless telephony,               of firms in this industry are small under
                                                 business size standard, the majority of                 including cellular service, Personal                  the applicable SBA size standard.
                                                 Other Toll Carriers can be considered                   Communications Service, and                              76. Cable Companies and Systems
                                                 small. According to internally                          Specialized Mobile Radio Telephony                    (Rate Regulation). The Commission has
                                                 developed Commission data, 284                          services. Of this total, an estimated 261             developed its own small business size
                                                 companies reported that their primary                   have 1,500 or fewer employees, and 152                standards for the purpose of cable rate
                                                 telecommunications service activity was                 have more than 1,500 employees. Thus,                 regulation. Under the Commission’s
                                                 the provision of other toll carriage. Of                using available data, we estimate that                rules, a ‘‘small cable company’’ is one
                                                 these, an estimated 279 have 1,500 or                   the majority of wireless firms can be                 serving 400,000 or fewer subscribers
                                                 fewer employees. Consequently, the                      considered small.                                     nationwide. Industry data indicate that
                                                 Commission estimates that most Other                       73. Wireless Communications                        there are currently 4,600 active cable
                                                 Toll Carriers are small entities that may               Services. This service can be used for                systems in the United States. Of this
                                                 be affected by rules adopted pursuant to                fixed, mobile, radiolocation, and digital             total, all but eleven cable operators
                                                 the Second Further Notice.                              audio broadcasting satellite uses. The                nationwide are small under the 400,000-
                                                    70. Prepaid Calling Card Providers.                  Commission defined ‘‘small business’’                 subscriber size standard. In addition,
                                                 The SBA has developed a definition for                  for the wireless communications                       under the Commission’s rate regulation
                                                 small businesses within the category of                 services (WCS) auction as an entity with              rules, a ‘‘small system’’ is a cable system
                                                 Telecommunications Resellers. Under                     average gross revenues of $40 million                 serving 15,000 or fewer subscribers.
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                                                 that SBA definition, such a business is                 for each of the three preceding years,                Current Commission records show 4,600
                                                 small if it has 1,500 or fewer employees.               and a ‘‘very small business’’ as an entity            cable systems nationwide. Of this total,
                                                 According to the Commission’s Form                      with average gross revenues of $15                    3,900 cable systems have fewer than
                                                 499 Filer Database, 500 companies                       million for each of the three preceding               15,000 subscribers, and 700 systems
                                                 reported that they were engaged in the                  years. The SBA has approved these                     have 15,000 or more subscribers, based
                                                 provision of prepaid calling cards. The                 definitions.                                          on the same records. Thus, under this
                                                 Commission does not have data                              74. Wireless Telephony. Wireless                   standard as well, we estimate that most
                                                 regarding how many of these 500                         telephony includes cellular, personal                 cable systems are small entities.


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                                                                         Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules                                          47681

                                                    77. Cable System Operators (Telecom                  Telecommunications’’ firms potentially                under the rules for such small entities;
                                                 Act Standard). The Communications                       affected by our action can be considered              (3) the use of performance rather than
                                                 Act also contains a size standard for                   small.                                                design standards; and (4) an exemption
                                                 small cable system operators, which is                                                                        from coverage of the rule, or any part
                                                                                                         D. Description of Projected Reporting,
                                                 ‘‘a cable operator that, directly or                                                                          thereof, for such small entities.
                                                                                                         Recordkeeping, and Other Compliance
                                                 through an affiliate, serves in the                                                                              82. This Notice invites comment on a
                                                                                                         Requirements for Small Entities
                                                 aggregate fewer than 1 percent of all                                                                         number of proposals and alternatives to
                                                 subscribers in the United States and is                    79. The Notice proposes and seeks                  modify the present toll free number
                                                 not affiliated with any entity or entities              comment on rule changes that will                     administration and assignment method
                                                 whose gross annual revenues in the                      affect toll free number assignment and                rules. The Notice proposes expanding
                                                 aggregate exceed $250,000,000.’’ There                  administration. In particular, we                     the existing toll free number assignment
                                                 are approximately 52,403,705 cable                      propose expanding the existing toll free              rule to permit use of an auction
                                                 video subscribers in the United States                  number assignment rule to permit use of               methodology, among other assignment
                                                 today. Accordingly, an operator serving                 an auction methodology, among other                   mechanisms, to assign toll free numbers.
                                                 fewer than 524,037 subscribers shall be                 assignment mechanisms, to assign toll                 To do so, we propose to revise section
                                                 deemed a small operator if its annual                   free numbers. To do so, we propose to                 52.111 of our rules to allow the
                                                 revenues, when combined with the total                  revise section 52.111 of our rules to                 Commission to assign numbers in a
                                                 annual revenues of all its affiliates, do               allow the Commission to assign                        manner that is equitable, including by
                                                 not exceed $250 million in the                          numbers in a manner that is equitable,                auction, on a first-come, first-served
                                                 aggregate. Based on available data, we                  including by auction, on a first-come,                basis, an alternative assignment
                                                 find that all but nine incumbent cable                  first-served basis, an alternative                    methodology, or by a combination of the
                                                 operators are small entities under this                 assignment methodology, or by a                       forgoing as circumstances require. The
                                                 size standard. We note that the                         combination of the forgoing as                        Notice also seeks comment on types of
                                                 Commission neither requests nor                         circumstances require. We also seek                   auction methods that should be
                                                 collects information on whether cable                   comment on conducting a sealed, single                employed and on the advantages and
                                                 system operators are affiliated with                    round, sealed-bid Vickrey auction for                 disadvantages of these auction methods.
                                                 entities whose gross annual revenues                    the roughly 17,000 numbers set aside,                    83. The Notice also seeks comment on
                                                 exceed $250 million. Although it seems                  pursuant to the 833 Code Opening                      repealing or relaxing the prohibition
                                                                                                         Order, for which there were mutually                  against brokering and open number
                                                 certain that some of these cable system
                                                                                                         exclusive requests. Auction procedure                 distribution to secondary markets.
                                                 operators are affiliated with entities
                                                                                                         compliance will affect the toll free                  Theses proposal could minimize
                                                 whose gross annual revenues exceed
                                                                                                         auction administrator and all RespOrgs,               burdens on current and future toll free
                                                 $250 million, we are unable at this time
                                                                                                         including those considered small                      subscribers, some of which may be
                                                 to estimate with greater precision the
                                                                                                         entities, as described above.                         small entities. Finally, in the Notice, we
                                                 number of cable system operators that                      80. In addition, we seek comment on
                                                 would qualify as small cable operators                                                                        seek comment on whether certain
                                                                                                         revising our rules to promote
                                                 under the definition in the                                                                                   desirable toll free numbers necessary to
                                                                                                         development of a secondary market for
                                                 Communications Act.                                                                                           promote health and safety be set aside
                                                                                                         toll free numbers. We seek comment on
                                                    78. All Other Telecommunications.                                                                          for use, without cost, by government
                                                                                                         what types of information would be
                                                 The ‘‘All Other Telecommunications’’                                                                          (federal, state, local and Tribal) agencies
                                                                                                         needed from the buyer and seller to
                                                 industry is comprised of establishments                                                                       as well as by non-profit health, safety,
                                                                                                         document a reassignment, whether an
                                                 that are primarily engaged in providing                                                                       educational, or other non-profit public
                                                                                                         online recording system is needed to
                                                 specialized telecommunications                                                                                interest. We also seek comment on
                                                                                                         record reassignments in the secondary
                                                 services, such as satellite tracking,                                                                         whether other entities such as non-
                                                                                                         market, and whether there should be a
                                                 communications telemetry, and radar                                                                           profit educational and charitable
                                                                                                         database for potential buyers. The
                                                 station operation. This industry also                                                                         organizations be included in this
                                                                                                         Notice also seeks comment on whether
                                                 includes establishments primarily                                                                             definition or receive similar treatment.
                                                                                                         the Toll Free Numbering Administrator
                                                 engaged in providing satellite terminal                                                                       These organizations could include small
                                                                                                         (TFNA) should keep toll free number
                                                 stations and associated facilities                                                                            entities and such set asides would
                                                                                                         subscriber records and whether we
                                                 connected with one or more terrestrial                                                                        ensure that these organizations could
                                                                                                         should consider including subscriber
                                                 systems and capable of transmitting                                                                           receive certain numbers with minimal
                                                                                                         information in a TFNA database.
                                                 telecommunications to, and receiving                                                                          effort.
                                                 telecommunications from, satellite                      E. Steps Taken To Minimize the
                                                                                                         Significant Economic Impact on Small                  F. Federal Rules That May Duplicate,
                                                 systems. Establishments providing                                                                             Overlap, or Conflict With the Proposed
                                                 Internet services or voice over Internet                Entities, and Significant Alternatives
                                                                                                         Considered                                            Rules
                                                 protocol (VoIP) services via client-
                                                 supplied telecommunications                               81. The RFA requires an agency to                      84. None.
                                                 connections are also included in this                   describe any significant, specifically                VI. Procedural Matters
                                                 industry. The SBA has developed a                       small business, alternatives that it has
                                                 small business size standard for ‘‘All                  considered in reaching its proposed                   A. Comment Filing Procedures
                                                 Other Telecommunications,’’ which                       approach, which may include the                         85. Pursuant to sections 1.415 and
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                                                 consists of all such firms with gross                   following four alternatives (among                    1.419 of the Commission’s rules, 47 CFR
                                                 annual receipts of $32.5 million or less.               others): (1) The establishment of                     1.415, 1.419, interested parties may file
                                                 For this category, U.S. Census data for                 differing compliance or reporting                     comments and reply comments on or
                                                 2012 show that there were 1,442 firms                   requirements or timetables that take into             before the dates indicated on the first
                                                 that operated for the entire year. Of                   account the resources available to small              page of this document in Dockets WC
                                                 these firms, a total of 1,400 had gross                 entities; (2) the clarification,                      17–192, and CC 95–155. Comments may
                                                 annual receipts of less than $25 million.               consolidation, or simplification of                   be filed using the Commission’s
                                                 Thus a majority of ‘‘All Other                          compliance and reporting requirements                 Electronic Comment Filing System


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                                                 47682                   Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules

                                                 (ECFS). See Electronic Filing of                        arguments made during the                             pursuant to the Small Business
                                                 Documents in Rulemaking Proceedings,                    presentation. If the presentation                     Paperwork Relief Act of 2002, Public
                                                 63 FR 24121 (1998).                                     consisted in whole or in part of the                  Law 107–198, we seek specific comment
                                                    D Electronic Filers: Comments may be                 presentation of data or arguments                     on how we might further reduce the
                                                 filed electronically using the Internet by              already reflected in the presenter’s                  information collection burden for small
                                                 accessing the ECFS: http://apps.fcc.gov/                written comments, memoranda or other                  business concerns with fewer than 25
                                                 ecfs/.                                                  filings in the proceeding, the presenter              employees.
                                                    D Paper Filers: Parties who choose to                may provide citations to such data or
                                                 file by paper must file an original and                 arguments in his or her prior comments,               D. Contact Person
                                                 one copy of each filing. If more than one               memoranda, or other filings (specifying                 89. For further information about this
                                                 docket or rulemaking number appears in                  the relevant page and/or paragraph                    proceeding, please contact E. Alex
                                                 the caption of this proceeding, filers                  numbers where such data or arguments                  Espinoza, FCC Wireline Competition
                                                 must submit two additional copies for                   can be found) in lieu of summarizing                  Bureau, Competition Policy Division,
                                                 each additional docket or rulemaking                    them in the memorandum. Documents                     Room 5–C211, 445 12th Street SW.,
                                                 number.                                                 shown or given to Commission staff                    Washington, DC 20554, at (202) 418–
                                                    Filings can be sent by hand or                       during ex parte meetings are deemed to                0849 or Alex.Espinoza@fcc.gov.
                                                 messenger delivery, by commercial                       be written ex parte presentations and
                                                 overnight courier, or by first-class or                                                                       VII. Ordering Clauses
                                                                                                         must be filed consistent with rule
                                                 overnight U.S. Postal Service mail. All                 1.1206(b). In proceedings governed by                   90. Accordingly, it is ordered,
                                                 filings must be addressed to the                        Rule 1.49(f) or for which the                         pursuant to sections 1, 4(i), 201(b), and
                                                 Commission’s Secretary, Office of the                   Commission has made available a                       251(e)(1) of the Communication Act of
                                                 Secretary, Federal Communications                       method of electronic filing, written ex               1934, as amended, 47 U.S.C. 151, 154(i),
                                                 Commission.                                             parte presentations and memoranda                     201(b), and 251(e)(1) that this Notice of
                                                    D All hand-delivered or messenger-                   summarizing oral ex parte                             Proposed Rulemaking is adopted.
                                                 delivered paper filings for the                         presentations, and all attachments                      91. It is further ordered that the
                                                 Commission’s Secretary must be                          thereto, must be filed through the                    Commission’s Consumer and
                                                 delivered to FCC Headquarters at 445                    electronic comment filing system                      Governmental Affairs Bureau, Reference
                                                 12th St. SW., Room TW–A325,                             available for that proceeding, and must               Information Center, shall send a copy of
                                                 Washington, DC 20554. The filing hours                  be filed in their native format (e.g., .doc,          this Notice of Proposed Rulemaking,
                                                 are 8:00 a.m. to 7:00 p.m. All hand                     .xml, .ppt, searchable .pdf). Participants            including the IRFA, to the Chief
                                                 deliveries must be held together with                   in this proceeding should familiarize                 Counsel for Advocacy of the Small
                                                 rubber bands or fasteners. Any                          themselves with the Commission’s ex                   Business Administration.
                                                 envelopes and boxes must be disposed                    parte rules.
                                                 of before entering the building.                                                                              List of Subjects in 47 CFR Part 52
                                                    D Commercial overnight mail (other                   B. Initial Regulatory Flexibility Analysis                Telephone.
                                                 than U.S. Postal Service Express Mail                     87. Pursuant to the Regulatory                      Federal Communications Commission.
                                                 and Priority Mail) must be sent to 9050                 Flexibility Act (RFA), the Commission
                                                                                                                                                               Katura Jackson,
                                                 Junction Drive, Annapolis Junction, MD                  has prepared an Initial Regulatory
                                                 20701.                                                  Flexibility Analysis (IRFA) of the                    Federal Register Liaison Officer, Office of the
                                                    D U.S. Postal Service first-class,                                                                         Secretary.
                                                                                                         possible significant economic impact on
                                                 Express, and Priority mail must be                      small entities of the policies and actions            Proposed Rules
                                                 addressed to 445 12th Street SW.,                       considered in this Notice of Proposed                   For the reasons discussed in the
                                                 Washington DC 20554.                                    Rulemaking. The text of the IRFA is set
                                                    D People with Disabilities: To request                                                                     preamble, the Federal Communications
                                                                                                         forth in section V above. Written public
                                                 materials in accessible formats for                                                                           Commission proposes to amend 47 CFR
                                                                                                         comments are requested on this IRFA.
                                                 people with disabilities (braille, large                                                                      part 52 as follows:
                                                                                                         Comments must be identified as
                                                 print, electronic files, audio format),                 responses to the IRFA and must be filed               PART 52—NUMBERING
                                                 send an email to fcc504@fcc.gov or call                 by the deadlines for comment on the
                                                 the Consumer & Governmental Affairs                     Notice of Proposed Rulemaking. The                    ■ 1. The authority citation for part 52
                                                 Bureau at 202–418–0530 (voice), 202–                    Commission’s Consumer and                             continues to read as follows:
                                                 418–0432 (TTY).                                         Governmental Affairs Bureau, Reference                  Authority: Secs. 1, 2, 4, 5, 48 Stat. 1066,
                                                    86. This proceeding shall be treated as              Information Center, will send a copy of               as amended; 47 U.S.C. 151, 152, 154 and 155
                                                 a ‘‘permit-but-disclose’’ proceeding in                 this Notice of Proposed Rulemaking,                   unless otherwise noted. Interpret or apply
                                                 accordance with the Commission’s ex                     including the IRFA, to the Chief                      secs. 3, 4, 201–05, 207–09, 218, 225–27, 251–
                                                 parte rules. Persons making ex parte                    Counsel for Advocacy of the Small                     52, 271 and 332, 48 Stat. 1070, as amended,
                                                 presentations must file a copy of any                   Business Administration (SBA).                        1077; 47 U.S.C. 153, 154, 201–05, 207–09,
                                                 written presentation or a memorandum                                                                          218, 225–27, 251–52, 271 and 332 unless
                                                 summarizing any oral presentation                       C. Paperwork Reduction Act                            otherwise noted.
                                                 within two business days after the                        88. This document contains proposed                 ■ 2. Section 52.111 is revised to read as
                                                 presentation (unless a different deadline               new information collection                            follows:
                                                 applicable to the Sunshine period                       requirements. The Commission, as part
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                                                 applies). Persons making oral ex parte                  of its continuing effort to reduce                    § 52.111   Toll free number assignment.
                                                 presentations are reminded that                         paperwork burdens, invites the general                   Toll free telephone numbers must be
                                                 memoranda summarizing the                               public and the Office of Management                   made available to Responsible
                                                 presentation must (1) list all persons                  and Budget (OMB) to comment on the                    Organizations and subscribers on an
                                                 attending or otherwise participating in                 information collection requirements                   equitable basis. The Commission will
                                                 the meeting at which the ex parte                       contained in this document, as required               assign toll free numbers by auction, on
                                                 presentation was made, and (2)                          by the Paperwork Reduction Act of                     a first-come, first-served basis, by an
                                                 summarize all data presented and                        1995, Public Law 104–13. In addition,                 alternative assignment methodology, or


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                                                                          Federal Register / Vol. 82, No. 197 / Friday, October 13, 2017 / Proposed Rules                                                   47683

                                                 by a combination of the foregoing                       Commission, 445 12th Street SW., Room                    necessary. We seek comment on this
                                                 options, as circumstances require.                      CY–A257, Washington, DC 20554. This                      tentative conclusion.
                                                 [FR Doc. 2017–22187 Filed 10–12–17; 8:45 am]            document will also be available via                         2. We also tentatively conclude that
                                                 BILLING CODE 6712–01–P                                  ECFS at https://ecfsapi.fcc.gov/file/                    we should eliminate the requirement,
                                                                                                         0926156892954/FCC-17-121A1.pdf.                          set forth in section 76.1714(a), that
                                                                                                         Documents will be available                              certain cable operators maintain a
                                                 FEDERAL COMMUNICATIONS                                  electronically in ASCII, Microsoft Word,                 current copy of part 76 of the
                                                 COMMISSION                                              and/or Adobe Acrobat. The complete                       Commission’s rules and, if subject to the
                                                                                                         text may be purchased from the                           Emergency Alert System (EAS) rules
                                                 47 CFR Parts 74, 76, 78                                 Commission’s copy contractor, 445 12th                   contained in part 11 of those rules, an
                                                 [MB Docket No. 17–231; FCC 17–121]                      Street SW., Room CY–B402,                                EAS Operating Handbook.6 Although
                                                                                                         Washington, DC 20554. Alternative                        we recognize the public safety
                                                 Amendment of the Commission’s                           formats are available for people with                    importance of having the EAS
                                                 Rules Regarding Maintenance of                          disabilities (Braille, large print,                      Handbook in close proximity, we note
                                                 Copies of FCC Rules                                     electronic files, audio format), by                      that section 11.15 requires that a copy
                                                                                                         sending an email to fcc504@fcc.gov or                    of the handbook ‘‘be located at normal
                                                 AGENCY:  Federal Communications
                                                 Commission.                                             calling the Commission’s Consumer and                    duty positions or EAS equipment
                                                                                                         Governmental Affairs Bureau at (202)                     locations when an operator is required
                                                 ACTION: Proposed rule.
                                                                                                         418–0530 (voice), (202) 418–0432                         to be on duty and be immediately
                                                 SUMMARY:    In this document, the Federal               (TTY).
                                                                                                                                                                  available to staff responsible for
                                                 Communications Commission                               Synopsis                                                 authenticating messages and initiating
                                                 (Commission) proposes to eliminate                                                                               actions.’’ 7 Given this separate
                                                 rules that require certain broadcast and                  1. We propose to eliminate the                         requirement, we see no need for a
                                                 cable entities to maintain paper copies                 requirement, set forth in section 74.769                 duplicate EAS requirement in section
                                                 of Commission regulations.                              of our rules, that licensees or permittees               76.1714(a). We seek comment on this
                                                 DATES: Comments are due on or before                    of low power TV, TV translator, and TV                   tentative conclusion. In addition, we
                                                 November 13, 2017; reply comments are                   booster stations maintain ‘‘a current                    tentatively conclude that we should
                                                 due on or before November 27, 2017.                     copy of Volume I and Volume III of the                   eliminate from sections 76.1714(c) and
                                                 ADDRESSES: You may submit comments,                     Commission’s rules.’’ 1 In addition, we                  78.67 of the Commission’s rules the
                                                 identified by MB Docket No. 17–231, by                  propose to eliminate a similar                           requirement that CARS licensees
                                                 any of the following methods:                           requirement, codified in section 74.1269                 maintain a current copy of part 78 of the
                                                    • Federal eRulemaking Portal: http://                of our rules, that licensees or permittees               Commission’s rules and, in cases where
                                                 www.regulations.gov. Follow the                         of FM translator and FM booster stations                 aeronautical obstruction markings of
                                                 instructions for submitting comments.                   maintain ‘‘a current copy of Volumes I                   antennas are required, part 17 of such
                                                    • Federal Communications                             (parts 0, 1, 2 and 17) and III (parts 73                 rules.8 The Commission adopted these
                                                 Commission’s Web site: http://                          and 74) of the Commission’s rules.’’ 2                   requirements decades ago when it
                                                 fjallfoss.fcc.gov/ecfs2/. Follow the                    The Commission adopted these                             established a comprehensive regulatory
                                                 instructions for submitting comments.                   requirements more than forty years ago                   framework to govern then-nascent cable
                                                    • Mail: Filings can be sent by hand or               as part of its regulation of then recently               television service.9 Like the rules
                                                 messenger delivery, by commercial                       established broadcast translator                         applicable to broadcasters discussed
                                                 overnight courier, or by first-class or                 services.3 As NAB asserts, such                          above, we believe these rules have
                                                 overnight U.S. Postal Service mail. All                 obligations no longer appear necessary                   outlived their usefulness and no longer
                                                 filings must be addressed to the                        given the immediate availability of                      serve the public interest because, as
                                                 Commission’s Secretary, Office of the                   Commission rules online.4 NAB                            ACA notes, the Commission’s rules are
                                                 Secretary, Federal Communications                       maintains that ‘‘[b]roadcasters can easily               available online in the electronic CFR.10
                                                 Commission.                                             access and review the rules online, and
                                                    People with Disabilities: Contact the                                                                         Thus, we tentatively conclude that these
                                                                                                         download and print copies of any rules
                                                 FCC to request reasonable                                                                                        obligations are no longer necessary. We
                                                                                                         as needed.’’ 5 We agree with NAB and
                                                 accommodations (accessible format                                                                                seek comment on this tentative
                                                                                                         tentatively conclude that the
                                                 documents, sign language interpreters,                                                                           conclusion.
                                                                                                         requirement to maintain paper copies of
                                                 CART, etc.) by email: FCC504@fcc.gov                    rules, which the publisher of the CFR                       3. Parties opposing elimination of any
                                                 or phone: (202) 418–0530 or TTY: (202)                  updates annually, no longer remains                      rules discussed in this NPRM should
                                                 418–0432.                                                                                                        explain how the benefits derived from
                                                 FOR FURTHER INFORMATION CONTACT: For                      1 47   CFR 74.769.
                                                 additional information on this                            2 47   CFR 74.1269.                                       6 47 CFR 76.1714(a). The requirements of section

                                                 proceeding, contact Raelynn Remy of                        3 Amendment of Part 74 and Other Parts of the         76.1714(a) do not apply to any cable television
                                                                                                         Commission’s Rules and Regulations Pertaining to         system serving fewer than 1000 subscribers. 47 CFR
                                                 the Policy Division, Media Bureau at                                                                             76.1714(b).
                                                                                                         Television Broadcast Translator Stations, Notice of
                                                 Raelynn.Remy@fcc.gov, or (202) 418–                     Proposed Rulemaking, 27 FCC 2d 94, para. 1 (1971)           7 47 CFR 11.15.

                                                 2120.                                                   (proposing to revise and harmonize rules governing          8 47 CFR 76.1714(c), 78.67.
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                                                                                                         FM and television translator stations). See also id.        9 Amendment of Part 74, Subpart K, of the
                                                 SUPPLEMENTARY INFORMATION:      This is a               at 98, para. 12 (adopting section 74.769); id. at 101,   Commission’s Rules and Regulations Relative to
                                                 summary of the Commission’s Notice of                   Appendix, para. 8 (same); Amendment of Part 74           Community Antenna Television Systems, Cable
                                                 Proposed Rulemaking, FCC 17–121,                        of the Commission’s Rules and Regulations to             Television Report and Order, 36 FCC 2d 141, 242,
                                                 adopted and released on September 26,                   Permit the Operation of Low Power FM Broadcast           Appendix A (1972) (adopting a requirement that
                                                                                                         Translator and Booster Stations, Report and Order,       cable television system operators maintain a copy
                                                 2017. The full text is available for public             35 FR 15383, 15388 (1970) (adopting section              of Part 76 of the Commission’s rules). See also id.
                                                 inspection and copying during regular                   74.1269).                                                at 257, Appendix A (adopting section 78.67 of the
                                                 business hours in the FCC Reference                        4 NAB Comments at 23–24.                              Commission’s rules).
                                                 Center, Federal Communications                             5 Id. at 24.                                             10 ACA Comments at 12.




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Document Created: 2017-10-13 04:33:30
Document Modified: 2017-10-13 04:33:30
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 November 13, 2017, and reply comments are due on or before December 12, 2017. Written comments on the Paperwork Reduction Act proposed information collection requirements must be submitted by the public, Office of Management and Budget (OMB), and other interested parties on or before December 12, 2017.
ContactWireline Competition Bureau, Competition Policy Division, E. Alex Espinoza, at (202) 418-0849, or [email protected] For additional information concerning the Paperwork Reduction Act information collection requirements contained in this document, send an email to [email protected] or contact Nicole Ongele at (202) 418-2991.
FR Citation82 FR 47669 

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