Substack

The FCC's update on new broadband maps and lingering concerns about changes to methodology and public access

The Federal Communications Commission has been making admirable progress on its new broadband maps, and recently it opened up its system for internet service providers (ISPs) to input coverage data against the new Broadband Serviceable Location Fabric.

What is "technological neutrality" and should it be a goal of broadband deployment?

I’ve long been confused by the term “technological neutrality” in broadband deployment conversations. Advocates would say that if a provider can hit certain performance benchmarks, it doesn’t matter what technology is used. But all these technologies are not created equal. Using provider-reported performance benchmarks alone ignores valuable data on the access technology. For example, there are 210,000 housing units where the best available technology is DSL yet they are still considered served by 100/20 broadband and thus ineligible for any funding under the IIJA.

Movement between unserved, underserved, and served over the last three Form 477 filings

How quickly has broadband deployment progressed? How fast have Census blocks moved from unserved to underserved (or served)? And is there any movement in the other direction? From served areas to underserved or unserved? For the whole United States, there were 6.76 million unserved housing units in the Dec 2019 Form 477 data. 950,000 of those housing units moved to underserved in the next update for June 2020. 402,000 became served.

BEAD and RDOF will both fund unserved areas - what happens next?

The Infrastructure Investment and Jobs Act (IIJA) will put $42.45 billion into broadband buildout, to be distributed by the states. Less than a year earlier, the FCC’s high-cost Rural Digital Opportunity Fund (RDOF) committed $9 billion for rural buildout and subsidies in some of the same areas. Here, I explore which RDOF areas are likely to get funded, what that means for the remaining unserved locations, and the amount of funding each state will have for each remaining unserved location.

Hypothetical Broadband, Equity, Access and Deployment Program funding for states using current Form 477 data

The Infrastructure Investment and Jobs Act (IIJA) gives the National Telecommunications and Information Administration (NTIA) a specific allocation formula for distributing the $42.45 billion in the Broadband Equity, Access, and Deployment (BEAD) Program. Importantly, even the allocation of funds to states has to wait until after the Federal Communications Commission is done with their new maps. After all, the formula is based on the number of unserved locations and we don’t trust the existing data on unserved locations.

Predicting new FCC Broadband Maps with Current Data

The Federal Communications Commission is diligently working on new broadband maps. The stakes are high since all of the Infrastructure Investment and Jobs Act broadband funding requires the new maps to exist before the money can be allocated to states. The new maps will fix a well-known flaw in the current “Form 477” maps, which is Census blocks are either served or not served - there’s no concept of a partially served block. Here, I use a simple technique to make an estimate of what the new maps might look like, using only data currently available.