Telecommunication

Communication at a distance, especially the electronic transmission of signals via the telephone

Sens Thune, Moran want answers on robocall scam that received largest-ever fine

Two senators are pushing a robocaller to explain how he ran his operation, which was subject to the largest-ever fine handed down by the Federal Communications Commission on the matter.

Senate Commerce Committee Chairman John Thune (R-SD) and Chairman of the Senate Subcommittee on Consumer Protection Jerry Moran (R-KS) sent a letter to Adrian Abramovich on Oct 11, asking him to explain how his robocalling operation worked and what he’s doing to mitigate any harm he may have caused. In June, the FCC fined Abramovich $122 million for his robocall company, which allegedly conducted almost 100 million illegal automated calls attempting to lure individuals into buying vacation packages and time shares. To whom Abramovich directed the calls is unclear, but robocall scams often target vulnerable groups like the elderly who may not be aware of what they’re agreeing to. The FCC said that Abramovich’s calls were uniquely problematic because they “disrupted the operations of an emergency medical paging provider.” “For lawmakers, the FCC’s identification of an alleged spoofing mastermind offers the opportunity to learn specific information about operations, partners, and the business model, which may provide valuable insight for future legislation,” Chairman Thune said.

In Puerto Rico, No Power Means No Telecommunications

Nearly three weeks after Hurricane Maria tore through the Caribbean, Puerto Rico is still mostly an island deleted from the present and pushed back a century or so—with little clean water, little electric power, and almost no telecommunications. For telecom, the biggest problem is the lack of power, because most of the island’s transmission lines were knocked out.

“We have to reconstruct the power grid as if we were dropping into the middle of the desert and starting from scratch,” says Luis Romero, vice president of the Puerto Rico Telecommunications Alliance. “Then on top of that would go the telecommunications services.” Puerto Rico’s telecom carriers, who are fiercely competitive, have banded together “to provide communication to people in despair,” Romero says. “But basically we’re on our own here.” And no one knows what’ll happen when the diesel that’s keeping all those generators humming runs out.

Public Knowledge Files Amicus Brief to Overturn and Remand FCC’s Business Data Services Order

Public Knowledge, Consumer Federation of America, and New Networks Institute filed an amicus brief in the US Court of Appeals for the 8th Circuit requesting the Court to overturn and remand the Federal Communications Commission’s recent Business Data Services deregulation Order. Public Knowledge argues that the agency’s competition analysis, which found that duopoly competition -- real or potential -- is “sufficient” to discipline market power and high prices in the BDS market, is ludicrous. The Commission’s analysis is inconsistent with competition law and unsupported by the record, and the Order will lead to higher prices in the BDS market, which consumers will ultimately pay.

Firsthand Lessons from First Responders

September 2017 will long be remembered for devastating storms. Hurricanes Harvey, Irma, and Maria each caused billions of dollars in damage, claimed the lives of many Americans, and disrupted millions more. They also reminded us how important communications networks can be during emergencies—and that the Federal Communications Commission has a role to play in helping keep people safe.

I recently had the chance to see these factors at play firsthand. I traveled to South Florida with Commissioner Mignon Clyburn to survey the impact of Hurricane Irma. I then flew directly to Indiana, where I resumed my ongoing tour of U.S. communities impacted by the digital divide...Next Generation 911 offers great potential for the future of public safety. But too many jurisdictions are struggling with how to transition from their legacy systems to NG911. There are significant costs involved, not to mention other issues, like the need for enhanced training of 911 call takers and ensuring that NG911 deployment is standards-based. All of us need to think creatively about how to address these issues going forward.

A Jump-Start for Restoring Communications Networks in Puerto Rico and the Virgin Islands

Hurricane Maria has had a catastrophic impact on communications networks in Puerto Rico and the US Virgin Islands. The Federal Communications Commission has been doing a lot to assist with repair and restoration—and that work continues. That’s why I am proposing that the FCC use its Universal Service Fund to help with these efforts. Responding to natural disasters has consumed the bulk of the FCC’s time and attention this season. But there are other important areas under our jurisdiction, and we’ll cover some of them at our upcoming meeting on October 24.

FCC Proposes $3.9 Million Fine Against Neon Phone Service For Slamming and Cramming

The Federal Communications Commission proposed a nearly $4 million fine against Neon Phone Service of Rockledge (FL) for “slamming” and “cramming.” The company appears to have violated Commission rules by switching customers’ long distance carriers without obtaining proper, verified authorization—an illegal practice called slamming. It also apparently added unauthorized charges onto consumers’ telephone bills—often referred to as cramming.

FCC Announces Tentative Agenda For October 2017 Open Meeting

Federal Communications Commission Chairman Ajit Pai announced that the following items are tentatively on the agenda for the October Open Commission Meeting scheduled for Tuesday, October 24, 2017:

Support for Puerto Rico and U.S. Virgin Islands – The Commission will consider an Order to clarify the use of high-cost universal service support and permit forward funding of support to aid in reconstruction of telecommunications networks damaged by Hurricane Maria in Puerto Rico and the U.S. Virgin Islands. (WC Docket No. 10-90)

Exemption to Calling Number Identification Service – The Commission will consider a Report and Order that would enable law enforcement and security personnel to obtain quick access to blocked Caller ID information needed to investigate threatening calls. It also would amend the Commission’s rules to allow non-public emergency services, such as private ambulance companies, to obtain blocked Caller ID information associated with calls requesting assistance. (CC Docket No. 91-281)

Nationwide Number Portability – The Commission will consider a Notice of Proposed Rulemaking and Notice of Inquiry that proposes to amend the Commission’s rules as well as seeks comment on industry models to move toward complete nationwide number portability to promote competition between all service providers and increase network routing efficiencies. (WC Docket No. 17-244; WC Docket No. 13-97)

Promoting Investment in the 3550-3700 MHz Band – The Commission will consider a Notice of Proposed Rulemaking that would seek comment and propose changes to the Priority Access License rules in the 3550-3700 MHz (3.5 GHz) band to increase incentives for investment, encourage more efficient spectrum use, and promote faster and more widespread network deployments. (GN Docket No. 17-258)

Hearing Aid Compatibility and Volume Control – The Commission will consider a Report and Order and Order on Reconsideration on hearing aid compatibility (HAC) that would update the volume control standard for wireline telephones, extend wireline HAC requirements to cover telephones used with advanced communications services, adopt a volume control rule for wireless handsets, and delete from the Commission’s rules an obsolete wireless HAC standard. (CG Docket No. 13-46, WT Docket Nos. 07-250, 10-254)

Part 43 Reporting Requirements for U.S. Providers of International Services – The Commission will consider a Report and Order that would: (1) eliminate the Traffic and Revenue Reports and (2) streamline the Circuit Capacity Reports. (IB Docket Nos. 17-55 and 16-131)

Elimination of Main Studio Rule – The Commission will consider a Report and Order eliminating the rule that requires each AM, FM, and television broadcast station to maintain a main studio located in or near its community of license. (MB Docket No. 17-106)

Updates to Rules Governing Ancillary/Supplementary Services and Broadcast Public Notices – The Commission will consider a Notice of Proposed Rulemaking that seeks comment on updates to Section 73.624(g) of its rules, which imposes certain reporting obligations for broadcasters relating to the provision of ancillary or supplementary services, and Section 73.3580, which requires public notice of the filing of broadcast applications, including through newspapers. (MB Docket Nos. 17-264, 17-105)

Why Does Verizon Care About Telephone Poles?

[Commentary] Public street poles may not look like much, but to wireless service providers, they’re valuable real estate. Companies like Verizon want low-cost access to them to install equipment to handle the rapidly growing demand for mobile data. But poles are owned locally, and cities and counties aren’t eager to give away access at below-market rates. Doing so would essentially subsidize an already wealthy industry — nationwide, as much as $2 billion a year, money that could otherwise go to expanding low-cost broadband access. As a result, the industry is waging a war for those poles, at all levels.

Big Telecom and its allies in the White House have quietly carried out a campaign to secure rapid and cheap access to those poles, at taxpayer expense. If the industry wants the same access to taxpayer-funded infrastructure that public utilities enjoy, it should bear the concomitant responsibility to make its services available to everyone in that jurisdiction. Alternatively, if Big Telecom doesn’t want the responsibility of deploying broadband in low-income neighborhoods, then the states and the Federal Communications Commission should continue to allow cities to charge market-rate fees and leases to generate municipal dollars needed to broaden access, as San Jose is doing in several low-income neighborhoods.

[Sam Liccardo is the mayor of San Jose (CA) and a member of the Federal Communications Commission’s Broadband Development Advisory Committee.]

Modernizing the E-rate Program for Schools and Libraries

The Federal Communications Commission’s Wireline Competition Bureau presents this report on voice services in the schools and libraries universal service support mechanism (more commonly known as the E-rate program), as directed by the FCC in its 2014 E-rate Order. During the phasedown of voice services which began in funding year 2015, fewer applicants have applied for voice services, though most of the applicants who no longer apply for voice services continue to seek E-rate support for other services. Further, the majority of the applicants who did not receive E-rate support for any service other than voice services in funding year 2014 now receive E-rate support for services other than voice.

Mobile-only consumers arise from heterogeneous valuation of fixed services

Mobile-only users are usually perceived as a consequence of fixed-mobile substitution. This study uses a unique dataset based on a survey in France, combined with interviewee's telecommunications billing data, to reveal heterogeneous consumer preferences for fixed services.

With the same mixed logit model we estimate the willingness to pay (WTP) for fixed communications services and fixed-mobile relationship. Results show a very large heterogeneity of WTP for fixed services among consumers. In addition, we show that fixed and mobile data are complement for all consumers. Mobile-only consumers have a much lower but non-zero WTP, and higher price sensitivity compared to fixed-mobile consumers. Consequently, an increase in the fixed offer price would reduce the demand for fixed service. Heterogeneous preferences for fixed services constitute an alternative explanation for the existence of mobile-only users, despite the complementary nature of fixed and mobile broadband. Counter-factual simulations show that the share of mobile-only could also be driven by the way to subsidize mobile handset. For instance, making the handset subsidy only available to fixed-mobile quadruple play subscribers could reduce the share of mobile-only by half.