When is form 477 due




















By continuing to browse this website you accept the use of cookies. Click here to read more about how we use cookies. To embed, copy and paste the code into your website or blog:. Please be reminded of the upcoming due dates for the Reports listed below:. Reminder Starting September 28 th , , providers may not accept call traffic directly from a voice service provider that is not listed in the Robocall Mitigation Database.

The second application filing window for the Emergency Connectivity Fund opens on September 28 th , Form filers are required to submit a revised Form A if there is any change in any of the following types of information: Filer identification; regulatory contact information; agent for service of process or FCC registration information.

The FCC announced today that March 24, , is the extended deadline for carriers to report data on Form as of December 31, If you submitted your filing prior to February 22, when the system became unavailable, no further action is needed. Source: JSI e -Lert. Brenda Cordwell T February 27, e-Lerts. Late Friday, February 24, the FCC extended two deadlines for broadband reporting obligations that were supposed to occur this week. Second, a separate Public Notice extends the March 1, , deadline for carriers to file FCC Form data for the period ending December 31, , due to technical difficulties associated with the FCC Form filing interface.

The FCC has not yet set a due date for Form data and indicated that it would announce the new due date once the technical difficulties are resolved.

JSI will issue another e -Lert once the new Form deadline is announced. Under the extension, carriers have the following deadlines to report geolocation information into the HUBB portal, which has not yet been opened because it has not yet been approved by the Office of Management and Budget OMB.

If OMB does not grant its approval prior to the above deadlines, broadband reporting obligations are extended until two weeks after OMB approval is published in the Federal Register.

JSI encourages clients to continue developing strategies to accurately capture and report newly deployed broadband locations. Additionally, a number of clients have identified potential problems with previously-filed FCC Form s. Further, to the extent that the HUBB is approved by OMB prior to the above-mentioned deadlines, JSI continues to encourage clients to upload broadband deployment data on a routine basis such that clients do not have to report all locations before the applicable deadline.

JSI remains committed to assisting interested clients with compliance activities associated with broadband reporting obligations. Our broadband reporting team will be available to answer any questions and assist in preparing and uploading newly deployed broadband locations to ensure clients remain in compliance with their reporting obligations. Brenda Cordwell T January 31, e-Lerts.

JSI reminds its clients of several important March 1, , filing deadlines. All cable copyright royalty fees must be made via electronic funds transfer.

If you have completed SA Short Form statements in the past and are approaching this threshold, you should review your channel lineup as the carriage of distant signals significantly affects your copyright royalty fee calculation. If you completed the SA3 Long Form in the past but have revised your channel lineup for broadcast stations, please make sure that these revisions are noted on the SA3 Long Form.

JSI is holding a webinar on these new reporting requirements this Thursday, February 2 at 2 p. Eastern 1 p. The section containing the filing requirement Section Although this specific rule was eliminated, please note that other CPNI rules are in effect along with the potential fines if violated. Therefore, even though the annual certification is no longer required, companies should continue to train their staff and have a disciplinary process in place to ensure that the company stays in compliance.

Brenda Cordwell T October 4, e-Lerts. On Friday, the Bureau released a Public Notice revising and updating these percentages. As described below, this data utilizes December Form broadband deployment data to calculate two reforms for rate-of-return carriers that remain on legacy support: the capital investment allowance CIA for and the five-year buildout obligations.

Download PDF of available services and descriptions. Connected Nation is working to ensure that broadband data more-accurately reflects the current landscape of access, adoption, and use of the internet in America. We want to ensure no one is left on the wrong side of the Digital Divide.

Below is a closer look at where gaps in the data or the way in which data is collected may lead to inaccurate readings in broadband access. Please note that a low data confidence rating does not mean that CN believes there is not broadband available in that census block or that the provider-filed data is incorrect, only that it warrants investigation to confirm whether or not broadband is available to all locations within the census block.

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