Notice of Public Information Collection(s) Being Submitted for Review to the Office of Management and Budget, Comments Requested, 39305-39309 [E8-15586]
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common control) if such party directly
or indirectly owns, operates or controls
a daily newspaper and the grant of such
license will result in: (i) The predicted
or measured 2 mV/m contour of an AM
station, computed in accordance with
Sec. 73.183 or Sec. 73.186,
encompassing the entire community in
which such newspaper is published; or
(ii) The predicted 1 mV/m contour for
an FM station, computed in accordance
with Sec. 73.313, encompassing the
entire community in which such
newspaper is published; or (iii) The
Grade A contour of a TV station,
computed in accordance with Sec.
73.684, encompassing the entire
community in which such newspaper is
published.
(2) Paragraph (1) shall not apply in
cases where the Commission makes a
finding pursuant to Section 310(d) of
the Communications Act that the public
interest, convenience, and necessity
would be served by permitting an entity
that owns, operates or controls a daily
newspaper to own, operate or control an
AM, FM, or TV broadcast station whose
relevant contour encompasses the entire
community in which such newspaper is
published as set forth in paragraph (1).
(3) In making a finding under
paragraph (2), there shall be a
presumption that it is not inconsistent
with the public interest, convenience,
and necessity for an entity to own,
operate or control a daily newspaper in
a top 20 Nielsen DMA and one
commercial AM, FM or TV broadcast
station whose relevant contour
encompasses the entire community in
which such newspaper is published as
set forth in paragraph (1), provided that,
with respect to a combination including
a commercial TV station, (i) The station
is not ranked among the top four TV
stations in the DMA, based on the most
recent all-day (9 a.m.-midnight)
audience share, as measured by Nielsen
Media Research or by any comparable
professional, accepted audience ratings
service; and (ii) At least 8
independently owned and operating
major media voices would remain in the
DMA in which the community of
license of the TV station in question is
located (for purposes of this provision
major media voices include full-power
TV broadcast stations and major
newspapers).
(4) In making a finding under
paragraph (2), there shall be a
presumption that it is inconsistent with
the public interest, convenience, and
necessity for an entity to own, operate
or control a daily newspaper and an
AM, FM or TV broadcast station whose
relevant contour encompasses the entire
community in which such newspaper is
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published as set forth in paragraph (1)
in a DMA other than the top 20 Nielsen
DMAs or in any circumstance not
covered under paragraph (3).
(5) In making a finding under
paragraph (2), the Commission shall
consider: (i) Whether the combined
entity will significantly increase the
amount of local news in the market; (ii)
whether the newspaper and the
broadcast outlets each will continue to
employ its own staff and each will
exercise its own independent news
judgment; (iii) the level of concentration
in the Nielsen Designated Market Area
(DMA); and (iv) the financial condition
of the newspaper or broadcast station,
and if the newspaper or broadcast
station is in financial distress, the
proposed owner’s commitment to invest
significantly in newsroom operations.
(6) In order to overcome the negative
presumption set forth in paragraph (4)
with respect to the combination of a
major newspaper and a television
station, the applicant must show by
clear and convincing evidence that the
co-owned major newspaper and station
will increase the diversity of
independent news outlets and increase
competition among independent news
sources in the market, and the factors
set forth above in paragraph (5) will
inform this decision.
(7) The negative presumption set forth
in paragraph (4) shall be reversed under
the following two circumstances: (i) The
newspaper or broadcast station is failed
or failing; or (ii) the combination is with
a broadcast station that was not offering
local newscasts prior to the
combination, and the station will
initiate at least seven hours per week of
local news programming after the
combination. FCC Form 303–S is used
in applying for renewal of license for a
commercial or noncommercial AM, FM
or TV broadcast station and FM
translator, TV translator or Low Power
TV (LTV), and Low Power FM broadcast
stations. It can also be used in seeking
the joint renewal of licenses for an FM
or TV translator station and its coowned primary FM, TV, or LPTV
station.
This collection also includes the third
party disclosure requirement of 47 CFR
Section 73.3580. This section requires
local public notice of the filing of the
renewal application. For AM, FM, and
TV stations, these announcements are
made on-the-air. For FM/TV Translators
and AM/FM/TV stations that are silent,
the local public notice is accomplished
through publication in a newspaper of
general circulation in the community or
area being served.
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Federal Communications Commission.
William F. Caton,
Deputy Secretary.
[FR Doc. E8–15584 Filed 7–8–08; 8:45 am]
BILLING CODE 6712–01–P
FEDERAL COMMUNICATIONS
COMMISSION
Notice of Public Information
Collection(s) Being Submitted for
Review to the Office of Management
and Budget, Comments Requested
July 2, 2008.
SUMMARY: As part of its continuing effort
to reduce paperwork burden and as
required by the Paperwork Reduction
Act (PRA) of 1995 (44 U.S.C. 3501–
3520), the Federal Communications
Commission invites the general public
and other Federal agencies to comment
on the following information
collection(s). Comments are requested
concerning (a) Whether the proposed
collection of information is necessary
for the proper performance of the
functions of the Commission, including
whether the information shall have
practical utility; (b) the accuracy of the
Commission’s burden estimate; (c) ways
to enhance the quality, utility, and
clarity of the information collected; and
(d) ways to minimize the burden of the
collection of information on the
respondents, including the use of
automated collection techniques or
other forms of information technology.
An agency may not conduct or sponsor
a collection of information unless it
displays a currently valid OMB control
number. No person shall be subject to
any penalty for failing to comply with
a collection of information subject to the
Paperwork Reduction Act that does not
display a valid OMB control number.
DATES: Written PRA comments should
be submitted on or before August 8,
2008. If you anticipate that you will be
submitting PRA comments, but find it
difficult to do so within the period of
time allowed by this notice, you should
advise the FCC contact listed below as
soon as possible.
ADDRESSES: Submit your comments to
Nicholas A. Fraser, Office of
Management and Budget (e-mail
address: nfraser@omb.eop.gov), and to
the Federal Communications
Commission’s PRA mailbox (e-mail
address: PRA@fcc.gov). Include in the emails the OMB control number of the
collection as shown in the
SUPPLEMENTARY INFORMATION section
below or, if there is no OMB control
number, the Title as shown in the
SUPPLEMENTARY INFORMATION section. If
you are unable to submit your
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comments by e-mail contact the person
listed below to make alternate
arrangements.
For
additional information contact Jerry
Cowden via e-mail at PRA@fcc.gov or at
202–418–0447. To view or obtain a copy
of an information collection request
(ICR) submitted to OMB: (1) Go to this
OMB/GSA Web page: https://
www.reginfo.gov/public/do/PRAMain,
(2) look for the section of the Web page
called ‘‘Currently Under Review,’’ (3)
click on the downward-pointing arrow
in the ‘‘Select Agency’’ box below the
‘‘Currently Under Review’’ heading, (4)
select ‘‘Federal Communications
Commission’’ from the list of agencies
presented in the ‘‘Select Agency’’ box,
(5) click the ‘‘Submit’’ button to the
right of the ‘‘Select Agency’’ box, and (6)
when the list of FCC ICRs currently
under review appears, look for the OMB
control number of the ICR you want to
view (or its title if there is no OMB
control number) and then click on the
ICR Reference Number. A copy of the
FCC submission to OMB will be
displayed.
FOR FURTHER INFORMATION CONTACT:
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SUPPLEMENTARY INFORMATION:
OMB Control Number: None.
Title: Information Collection
Regarding Redundancy, Resiliency and
Reliability of 911 and E911 Networks
and/or Systems as set forth in the
Commission’s Rules (47 CFR 12.3).
Form No.: Not applicable.
Type of Review: New collection.
Respondents: Business or other forprofit.
Number of Respondents and
Responses: 74 respondents; 74
responses.
Estimated Time per Response: 105.3
hours (120 hours for local exchange
carriers, 72 hours for commercial mobile
radio service providers, and 40 hours for
interconnected Voice over Internet
Protocol service providers).
Frequency of Response: One-time
reporting.
Obligation to Respond: Mandatory (47
CFR 12.3).
Total Annual Burden: 7,792 hours.
Total Annual Cost: None.
Privacy Act Impact Assessment: This
information collection does not affect
individuals or households, and
therefore a privacy impact assessment is
not required.
Nature and Extent of Confidentiality:
These reports will contain sensitive data
and, for reasons of national security and
the prevention of competitive injury to
reporting entities, Section 12.3 of the
Commission’s rules specifically states
that all reports will be afforded
confidential treatment. These reports
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will be shared pursuant to a protective
order with only the following three
entities, if the entities file a request for
the information: The National
Emergency Number Association, The
Association of Public Safety
Communications Officials, and The
National Association of State 9–1–1
Administrators. All other access to these
reports must be sought pursuant to
procedures set forth in 47 CFR 0.461.
Notice of any requests for inspection of
these reports will be provided to the
filers of the reports pursuant to 47 CFR
0.461(d)(3).
Needs and Uses: The Commission, in
order to help fulfill its statutory
obligation to make wire and radio
communications services available to all
people in the United States for the
purpose of the national defense and
promoting safety of life and property,
released an Order (FCC 07–107) that
adopted a rule requiring analysis of 911
and E911 networks and/or systems and
reports to the Commission on the
redundancy, resiliency and reliability of
those networks and/or systems (47 CFR
12.3). It is critical that Americans have
access to a resilient and reliable 911
system irrespective of the technology
used to provide the service. These
analyses and reports on the redundancy,
resiliency, and dependability of 911 and
E911 networks and systems will further
this goal. This requirement will serve
the public interest and further the
Commission’s statutory mandate to
promote the safety of life and property
through the use of wire and radio
communication. See 47 U.S.C. 151.
This rule obligates local exchange
carriers (LECs), commercial mobile
radio service (CMRS) providers that are
required to comply with the wireless
911 rules set forth in Section 20.18 of
the Commission’s rules, and
interconnected Voice over Internet
Protocol (VoIP) service providers to
analyze their 911 and E911 networks
and/or systems and file a detailed report
to the Commission on the redundancy,
resiliency and reliability of those
networks and/or systems. LECs that
meet the definition of a Class B
company set forth in Section 32.11(b)(2)
of the Commission’s rules, nonnationwide commercial mobile radio
service providers with no more than
500,000 subscribers at the end of 2001,
and interconnected VoIP service
providers with annual revenues below
the revenue threshold established
pursuant to Section 32.11 of the
Commission’s rules are exempt from
this rule. The reports are due 120 days
from the date that the Commission or its
staff announces activation of the 911/
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E911 network and system reporting
process.
Description of Information Collection:
The Commission delegated authority to
the Public Safety and Homeland
Security Bureau (Bureau) to implement
and activate a process through which
these reports will be submitted. The
Bureau will collect these reports
through a Web interface that will input
the reports into an electronic database
partitioned for each entity type subject
to Section 12.3 of the Commission’s
rules (i.e., LECs, CMRS providers
required to comply with section 20.18 of
the Commission’s rules, and
interconnected VoIP service providers).
Respondents that are subject to state
regulations requiring the reporting of
similar information may meet the
requirements of section 12.3 by
submitting the state report, provided
that the state report includes the
relevant information required by this
section 12.3 information collection. The
system will also allow users to provide
additional information about the
redundancy, resiliency and
dependability of their 911 and E911
networks and systems. This data
collection system will carefully restrict
access to the data. Users will be able to
input and see data for their company,
but will not be able to see or input data
for another company. The system will
also allow users to input other
information they may wish to provide
about the redundancy, resiliency and
dependability of their 911 and E911
networks and systems.
The Commission also delegated
authority to the Bureau to establish the
specific data that will be required. The
following is the information that the
Bureau will require from LECs, CMRS
providers and interconnected VoIP
service providers pursuant to Section
12.3.
LECs (including incumbent LECs and
competitive LECs). Each LEC will be
asked to provide the FCC Registration
Number(s) of the responding carrier and
the OCN (LERG assigned service
provider number) the responding
carrier. For each state in which LECs
provide service, they will be asked to
provide the following information on a
state-by-state basis.
LECs will be required to provide
information about switches to Selective
Routers, specifically, information about
those switches that they own or operate.
LECs must report the percent of
switches that they own or operate in the
network from which 911 calls originate.
With respect to those switches, LECs
must identify the percent of switches
with logically diverse paths to their
primary Selective Routers. Logical
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diversity is achieved when redundant
circuits are assigned between the source
node and the destination node. For
switches for which they have not
provided or made arrangements for a
logically diverse path, LECs must
discuss the circumstances, including
why logically diverse paths are not
provisioned, and any plans to provide
logically diverse paths in the future.
With respect to those switches that a
LEC owns or operates in the network
from which 911 calls originate, LECs
must also report the percent of switches
with physically diverse connections to
their primary Selective Routers.
Physical diversity is achieved when
geographically separated redundant
facilities are assigned between the
source node and the destination node.
For those switches for which LECs have
not provided or made arrangements for
physically diverse connections, they
must discuss the circumstances
including why physically diverse paths
are not provisioned and any plans to
provide physically diverse connections
in the future.
LECs must also provide information if
they own or operate Selective Routers.
They must provide the percent of
Selective Routers with at least one
alternate Selective Router for at least
50% of the 911 traffic. If they have not
provided or made arrangements for
alternate selective routers for at least
50% of 911 traffic, they must discuss
the circumstances including why an
alternate selective router for at least
50% of 911 traffic is not provisioned
and any plans to provide an alternate
selective router in the future. With
respect to Selective Routers to public
safety answering points (PSAPs), LECs
must provide the following information
if they own or operate Selective Routers
but only for the PSAPs supported by
those Selective Routers. LECs must state
the number of PSAPs supported by their
Selective Routers and the percent of
PSAPs with an alternate (back-up)
Selective Router in addition to the
primary Selective Router. For those
PSAPs for which a LEC has not
provided or made arrangements for an
alternate (back-up) Selective Router in
addition to the primary Selective
Router, the LEC needs to discuss the
circumstances including why an
alternative (back-up) selective router is
not provisioned and any plans to
provide an alternate (back-up) selective
router in the future. LECs must also
identify the percent of PSAPs with
logically diverse paths to their primary
Selective Router. For those PSAPs for
which a LEC has not provided or made
arrangements for logically diverse paths
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to the primary Selective Router, they
must discuss the circumstances
including why logically diverse paths
are not provisioned, and any plans to
provide logically diverse paths in the
future. LECs must also report the
percent of PSAPs with physically
diverse connections to their primary
Selective Router. For those PSAPs for
which they have not provided or made
arrangements for physically diverse
connections to the primary Selective
Router, LECs must discuss the
circumstances including why physically
diverse paths are not provisioned and
any plans to provide physically diverse
paths in the future.
Further, LECs must report the percent
of PSAPs with logically diverse paths to
their primary Selective Router in which
the interoffice portion of the
connections to the primary Selective
Router is physically diverse. The
interoffice network consists of facilities
and transmission equipment that
interconnects switching offices in a
telecommunications inter-exchange
network. For those PSAPs with logically
diverse paths to the primary Selective
Router for which they have not
provided or made arrangements for
physical diversity in the interoffice
portion of the connections to the
primary Selective Routers, LECs must
discuss the circumstances including
why such physical diversity is not
provisioned and any plans to provide
such physical diversity in the future.
LECs will also need to provide the
percent of PSAPs where the connection
between the PSAP and the primary
Selective Router is physically diverse
from the connection between the PSAP
and the alternate Selective Router. For
those PSAPs for which the connection
between the PSAP and the primary
Selective Router is not physically
diverse from the connection between
the PSAP and the alternate Selective
Router, LECs must discuss the
circumstances including why such
physically diverse connections are not
provisioned and any plans to provide
such physically diverse connections in
the future. Finally, LECs must provide
the percent of PSAPs where the
interoffice portion of the connection
from the PSAP to the primary Selective
Router is physically diverse from the
interoffice portion of the connection
from the PSAP to the alternate Selective
Router. For those PSAPs where the
interoffice portion of the connection
from the PSAP to the Selective Router
is not physically diverse from the
interoffice portion of the connection
from the PSAP to the alternate Selective
Router, LECs must discuss the
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circumstances including why such
physical diversity is not provisioned
and any plans to provide physical
diversity in the future.
Additionally, LECs that own or
operate Selective Routers must provide
information about alternate PSAPs, but
only for the PSAPs supported by those
Selective Routers. These LECs will be
required to provide the percent of
PSAPs for which traffic is automatically
rerouted to another PSAP if the PSAP is
unavailable. For those PSAPs without
automatic re-routing, they need to
discuss the circumstances including
why automatic re-routing to another
PSAP is not provisioned and any plans
to provide such automatic re-routing in
the future.
LECs will also be required to provide
specific information if they own or
operate Automatic Location Information
(ALI) databases. LECs must provide the
number of ALI Database pairs
(redundant). An ALI database pair is a
configuration of two ALI databases that
will operate seamlessly even if one of
the two databases fails. LECs that own
or operate ALI databases will also be
required to state the percent of PSAPs
supported by ALI database pairs in
which the connections from the ALI
databases to the PSAP are physically
diverse. For those PSAPs supported by
ALI database pairs in which the
connections from the ALI databases to
the PSAP are not physically diverse,
LECs must discuss the circumstances
including why physically diverse
connections are not provisioned and
any plans to provide physically diverse
connections in the future. LECs that
own or operate ALI databases must also
provide the percent of PSAPs supported
by ALI database pairs in which the
interoffice portion of the connections
from the ALI databases to the PSAP are
physically diverse. For those PSAPs
supported by ALI database pairs in
which the interoffice portion of the
connections from the ALI databases to
the PSAP are not physically diverse,
they must discuss the circumstances
including why such physical diversity
is not provisioned and any plans to
provide such physical diversity in the
future.
CMRS Providers. Each CMRS provider
will be asked to provide the FRN of the
responding provider and the OCN of the
responding provider. CMRS providers
must provide information for each area
in which the CMRS provider serves.
Regarding Mobile Switching Centers
(MSCs) to Selective Routers, CMRS
providers must provide information for
the MSCs that they own or operate. This
information includes the: (1) Percent of
MSCs in network that have Phase I E911
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capability; (2) percent of MSCs in
network that have Phase II E911
capability; and (3) percent of MSCs with
logically diverse paths to primary
Selective Routers. For those MSCs for
which CMRS providers have not
provided or made arrangements for
logically diverse paths, they are
required to discuss the circumstances
including why logically diverse paths
are not provisioned and any plans to
provide logically diverse paths in the
future. CMRS providers must also report
the percent of MSCs with physically
diverse connections to their primary
Selective Routers. For those MSCs for
which they have not provided or made
arrangements for physically diverse
connections, CMRS providers must
discuss the circumstances including
why physically diverse connections are
not provisioned and any plans to
provide physically diverse connections
in the future.
CMRS providers must also provide
information about MSCs to Mobile
Positioning Centers (MPCs) or Gateway
Mobile Location Centers (GMLCs). They
must report the percent of MSCs
connected to a pair of MPCs/GMLCs.
MSCs can be connected to a pair of
MPCs/GMLCs for redundancy. In
configurations like this, the MSC will
continue to provide positioning
information even if one of the MPCs/
GMLCs suffers an outage. CMRS
providers must also state the percent of
MSCs with logically diverse paths to
their primary MPCs/GMLCs. For MSCs
for which they have not provided or
made arrangements for logically diverse
paths to the primary MPCs/GMLCs,
CMRS providers must discuss the
circumstances, including why logically
diverse paths are not provisioned and
any plans to provide logically diverse
paths in the future. They must also
provide the percent of MSCs with
physically diverse connections to their
primary MPCs/GMLCs. For those MSCs
for which CMRS providers have not
provided or made arrangements for
physically diverse connections, they
must discuss the circumstances
including why physically diverse
connections are not provisioned and
any plans to provide physically diverse
connections in the future.
Further, CMRS providers must report
the percent of MSCs where the
connection from the MSC to the primary
MPC/GMLC is physically diverse from
the connection to the alternate MPC/
GMLC. For those MSCs where the
connection from the MSC to the primary
MPC/GMLC is not physically diverse
from the connection to the alternate
MPC/GMLC, providers must discuss the
circumstances including why physically
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diverse connections are not provisioned
and any plans to provide physically
diverse connections in the future.
CMRS providers that own or operate
MPCs/GMLCs must report additional
information, including the percent of
MPCs/GMLCs for which there is an
alternate MPC/GMLC. This question is
concerned with the percentage of MPCs/
GMLCs that are backed up. An earlier
question asked about the percentage of
MSCs that are served by a pair of MPCs/
GMLCs. Both questions address the
redundancy of MPCs/GMLCs but this
one addresses MPC/GMLC pairing while
the previous one addressed redundant
access from MSCs to MPC/GMLC pairs.
For those MPCs/GMLCs that do not
have alternates, CMRS providers must
discuss the circumstances including
why alternate MPCs/GMLCs are not
provisioned and any plans to provide
alternate MPCs/GMLCs in the future.
CMRS providers must also state whether
they are able to pass location
information from more than one MPC/
GMLC. For those cases in which they
are not able to do so, they must discuss
the circumstances including why the
capability to pass location information
from more than one MPC/GMLC is not
provisioned and any plans to provide
this capability in the future.
CMRS providers that own or operate
MPCs/GMLCs must also report whether
there are logically diverse paths from
each MPC/GMLC to either the primary
ALI database or the back-up ALI
database. For those cases where they
have not provided or made
arrangements for logically diverse paths,
CMRS providers must discuss the
circumstances including why logically
diverse paths are not provisioned and
any plans to provide logically diverse
paths in the future. Additionally, CMRS
providers that own or operate MPCs/
GMLCs must state whether there are
physically diverse connections from
each MPC/GMLC to either the primary
ALI database or the back-up ALI
database. For those cases where they
have not provided or made
arrangements for physically diverse
connections, they must discuss the
circumstances including why physically
diverse connections are not provisioned
and any plans to provide physically
diverse connections in the future.
Interconnected VoIP Service
Providers. Each responding
interconnected VoIP service provider
will be asked to report their FRN, if any,
and OCN, if any. Interconnected VoIP
providers will have to provide
information about interconnection to
Selective Routers and third-party
providers. They must report the percent
of switches wherein 911 service is
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provided by the interconnected VoIP
provider, where the VoIP provider has
a direct connection to Selective Routers.
Additionally, interconnected VoIP
service providers will be required to
report the percent of switches wherein
911 service is provided by a third party,
where another company is utilized to
route 911 calls.
Interconnected VoIP service providers
that have direct connections to Selective
Routers must report the percent of
switches with logically diverse paths to
their primary Selective Routers—for
cases when the VoIP provider has direct
connections to Selective Routers. For
switches for which they have not
provided or made arrangements for
logically diverse paths, they must
discuss the circumstances, including
why logically diverse connections are
not provisioned and any plans to
provide logically diverse paths in the
future. Interconnected VoIP service
providers that have direct connections
to Selective Routers must also report the
percent of switches with physically
diverse connections to their primary
Selective Routers. For those switches for
which they have not provided or made
arrangements for physically diverse
connections, they must discuss the
circumstances including why physically
diverse connections are not provisioned
and any plans to provide physically
diverse connections in the future.
Interconnected VoIP service providers
that use a third party to provide
connections to Selective Routers must
report the percent of switches with
logically diverse paths to their primary
access points—for cases when the VoIP
provider uses a third party.
For switches for which they have not
provided or made arrangements for
logically diverse paths to their primary
access points, they must discuss the
circumstances including why logically
diverse paths are not provisioned and
any plans to provide logically diverse
paths in the future. Interconnected VoIP
service providers that use a third party
to provide connections to Selective
Routers are also required to report the
percent of switches with physically
diverse connections to their primary
access points. For those switches for
which they have not provided or made
arrangements for physically diverse
connections to their primary access
points, they must describe the
circumstances including why physically
diverse connections are not provisioned
and any plans to provide physically
diverse connections in the future.
Responding LECs, CMRS providers and
interconnected VoIP service providers
must also provide information regarding
disaster planning for the resiliency and
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Federal Register / Vol. 73, No. 132 / Wednesday, July 9, 2008 / Notices
reliability of 911 architecture. All
respondents must state whether they
have a contingency plan that addresses
the maintenance and restoration of 911/
E911 service during and following
disasters. If the answer is ‘‘yes,’’ the
respondent will be asked to describe its
contingency plan including those
elements that address the maintenance
and restoration of 911/E911 service. If
the answer is ‘‘no,’’ the respondent will
be asked to discuss the circumstances
including why it does not have a
contingency plan that addresses 911/
E911 maintenance and restoration and
any plans to develop such a contingency
plan in the future.
Respondents that do have a
contingency plan that addresses the
maintenance and restoration of 911/
E911 service must state whether they
regularly test their plan. If respondents
answer ‘‘yes’’ to this question, they must
describe the program for testing their
contingency plan, including the extent
to which they periodically test to ensure
that the critical components (e.g.,
automatic re-routes, PSAP Make Busy
Key) included in contingency plans
work as designed and the extent they
involve PSAPs in tests of their
contingency plan. Respondents that
answer ‘‘no’’ will be asked to discuss
the circumstances including why they
do not test their contingency plan and
any plans to test their plan in the future.
All respondents must state whether
they have a routing plan so that, in the
case of a lost connection of dedicated
transport facilities between the
originating switch/MSC and the
Selective Router, 911 calls are routed
over alternate transport facilities.
Respondents that answer ‘‘yes’’ must
describe their routing plan. Respondents
that answer ‘‘no’’ must discuss the
circumstances and any plans to develop
such a plan in the future.
All responding LECs, CMRS providers
and interconnected VoIP service
providers must state whether, in cases
where 911 service is disrupted, they
make test calls to assess the impact as
part of the restoration process. If the
answer is ‘‘no,’’ respondents must
discuss the circumstances including
why they do not make test calls as part
of the restoration process and any plans
to do so in the future. Respondents must
also state whether their company makes
additional test calls when service is
restored and, if not, they must discuss
why they do not make additional test
calls.
All respondents must describe any
current plans they have to migrate to
next generation 911 (NG911)
architecture once a standard for NG911
has been developed. Finally,
VerDate Aug<31>2005
16:15 Jul 08, 2008
Jkt 214001
39309
respondents are asked to provide any
additional relevant information
regarding steps they have taken to
ensure redundancy, resiliency and
reliability of their 911/E911 facilities.
Federal Communications Commission.
James D. Bradshaw,
Deputy Chief, Audio Division, Media Bureau.
[FR Doc. E8–15593 Filed 7–8–08; 8:45 am]
Federal Communications Commission.
William F. Caton,
Deputy Secretary.
[FR Doc. E8–15586 Filed 7–8–08; 8:45 am]
FEDERAL MARITIME COMMISSION
BILLING CODE 6712–01–P
FEDERAL COMMUNICATIONS
COMMISSION
Radio Broadcasting Services; AM or
FM Proposals To Change the
Community of License
Federal Communications
Commission.
ACTION: Notice.
AGENCY:
SUMMARY: The following applicants filed
AM or FM proposals to change the
community of license: DAVAO LLC,
Station KWAP, Facility ID 165961,
BMPH–20080611AAZ, From PINE
HAVEN, WY, To ROZET, WY; JER
LICENSES, LLC, Station NEW, Facility
ID 170966, BNPH–20070502ACF, From
GRAPELAND, TX, To BULLARD, TX;
MATINEE RADIO, LLC, Station KKUL–
FM, Facility ID 164216, BMPH–
20080523ADF, From GROVETON, TX,
To TRINITY, TX; ULTIMATE CAPS,
INC., Station KYDT, Facility ID 78241,
BPH–20080611ABA, From SUNDANCE,
WY, To PINE HAVEN, WY; UNITED
STATES CP, LLC, Station KXCL,
Facility ID 164277, BPH–20080606AES,
From WESTCLIFFE, CO, To FORT
CARSON, CO.
DATES: Comments may be filed through
September 8, 2008.
ADDRESSES: Federal Communications
Commission, 445 Twelfth Street, SW.,
Washington, DC 20554.
FOR FURTHER INFORMATION CONTACT:
Tung Bui, 202–418–2700.
SUPPLEMENTARY INFORMATION: The full
text of these applications is available for
inspection and copying during normal
business hours in the Commission’s
Reference Center, 445 12th Street, SW.,
Washington, DC 20554 or electronically
via the Media Bureau’s Consolidated
Data Base System, https://
svartifoss2.fcc.gov/prod/cdbs/pubacc/
prod/cdbs_pa.htm. A copy of this
application may also be purchased from
the Commission’s duplicating
contractor, Best Copy and Printing, Inc.,
445 12th Street, SW., Room CY–B402,
Washington, DC, 20554, telephone 1–
800–378–3160 or https://
www.BCPIWEB.com.
PO 00000
Frm 00032
Fmt 4703
Sfmt 4703
BILLING CODE 6712–01–P
Notice of Agreements Filed
The Commission hereby gives notice
of the filing of the following agreements
under the Shipping Act of 1984.
Interested parties may submit comments
on agreements to the Secretary, Federal
Maritime Commission, Washington, DC
20573, within ten days of the date this
notice appears in the Federal Register.
Copies of agreements are available
through the Commission’s Web site
(https://www.fmc.gov) or contacting the
Office of Agreements (202) 523–5793 or
tradeanalysis@fmc.gov).
Agreement No.: 010979–046.
Title: Caribbean Shipowners
Association.
Parties: Bernuth Lines, Ltd.; CMA
CGM, S.A.; Crowley Liner Services, Inc.;
Seaboard Marine, Ltd.; Seafreight Line,
Ltd.; Tropical Shipping and
Construction Co., Ltd.; Sea Star Line
Caribbean, LLC; and Zim Integrated
Shipping Services, Ltd.
Filing Party: Wayne R. Rohde, Esq.;
Sher and Blackwell; 1850 M Street NW.,
Suite 900; Washington, DC 20036.
Synopsis: The amendment deletes
Interline Connection, N.V. as a party to
the agreement.
Agreement No.: 011733–024.
Title: Common Ocean Carrier Platform
Agreement.
Parties: A.P. Moller-Maersk A/S; CMA
¨
CGM; Hamburg-Sud; Hapag-Lloyd AG;
Mediterranean Shipping Company S.A.;
and United Arab Shipping Company
(S.A.G.) as shareholder parties, and
Alianca Navegacao e Logistica Ltda.;
Compania Sud Americana de Vapores,
S.A.; Companhia Libra de Navegacao;
COSCO Container Lines Co., Ltd.;
Emirates Shipping Lines; Hanjin
Shipping Co., Ltd.; Hyundai Merchant
Marine Co. Ltd; Kawasaki Kisen Kaisha,
Ltd.; MISC Berhad; Mitsui O.S.K. lines
Ltd.; Nippon Yusen Kaisha; Safmarine
Container Lines N.V.; Senator Lines
GmbH; Norasia Container Lines
Limited; Tasman Orient Line C.V. and
Zim Integrated Shipping as nonshareholder parties.
Filing Party: Wayne R. Rohde, Esq.;
Sher & Blackwell LLP; 1850 M Street,
NW.; Suite 900; Washington, DC 20036.
Synopsis: The amendment adds Zim
Integrated Shipping Services, Ltd. as a
non-shareholder party to the agreement.
E:\FR\FM\09JYN1.SGM
09JYN1
Agencies
[Federal Register Volume 73, Number 132 (Wednesday, July 9, 2008)]
[Notices]
[Pages 39305-39309]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: E8-15586]
-----------------------------------------------------------------------
FEDERAL COMMUNICATIONS COMMISSION
Notice of Public Information Collection(s) Being Submitted for
Review to the Office of Management and Budget, Comments Requested
July 2, 2008.
SUMMARY: As part of its continuing effort to reduce paperwork burden
and as required by the Paperwork Reduction Act (PRA) of 1995 (44 U.S.C.
3501-3520), the Federal Communications Commission invites the general
public and other Federal agencies to comment on the following
information collection(s). Comments are requested concerning (a)
Whether the proposed collection of information is necessary for the
proper performance of the functions of the Commission, including
whether the information shall have practical utility; (b) the accuracy
of the Commission's burden estimate; (c) ways to enhance the quality,
utility, and clarity of the information collected; and (d) ways to
minimize the burden of the collection of information on the
respondents, including the use of automated collection techniques or
other forms of information technology. An agency may not conduct or
sponsor a collection of information unless it displays a currently
valid OMB control number. No person shall be subject to any penalty for
failing to comply with a collection of information subject to the
Paperwork Reduction Act that does not display a valid OMB control
number.
DATES: Written PRA comments should be submitted on or before August 8,
2008. If you anticipate that you will be submitting PRA comments, but
find it difficult to do so within the period of time allowed by this
notice, you should advise the FCC contact listed below as soon as
possible.
ADDRESSES: Submit your comments to Nicholas A. Fraser, Office of
Management and Budget (e-mail address: nfraser@omb.eop.gov), and to the
Federal Communications Commission's PRA mailbox (e-mail address:
PRA@fcc.gov). Include in the e-mails the OMB control number of the
collection as shown in the SUPPLEMENTARY INFORMATION section below or,
if there is no OMB control number, the Title as shown in the
SUPPLEMENTARY INFORMATION section. If you are unable to submit your
[[Page 39306]]
comments by e-mail contact the person listed below to make alternate
arrangements.
FOR FURTHER INFORMATION CONTACT: For additional information contact
Jerry Cowden via e-mail at PRA@fcc.gov or at 202-418-0447. To view or
obtain a copy of an information collection request (ICR) submitted to
OMB: (1) Go to this OMB/GSA Web page: https://www.reginfo.gov/public/do/
PRAMain, (2) look for the section of the Web page called ``Currently
Under Review,'' (3) click on the downward-pointing arrow in the
``Select Agency'' box below the ``Currently Under Review'' heading, (4)
select ``Federal Communications Commission'' from the list of agencies
presented in the ``Select Agency'' box, (5) click the ``Submit'' button
to the right of the ``Select Agency'' box, and (6) when the list of FCC
ICRs currently under review appears, look for the OMB control number of
the ICR you want to view (or its title if there is no OMB control
number) and then click on the ICR Reference Number. A copy of the FCC
submission to OMB will be displayed.
SUPPLEMENTARY INFORMATION:
OMB Control Number: None.
Title: Information Collection Regarding Redundancy, Resiliency and
Reliability of 911 and E911 Networks and/or Systems as set forth in the
Commission's Rules (47 CFR 12.3).
Form No.: Not applicable.
Type of Review: New collection.
Respondents: Business or other for-profit.
Number of Respondents and Responses: 74 respondents; 74 responses.
Estimated Time per Response: 105.3 hours (120 hours for local
exchange carriers, 72 hours for commercial mobile radio service
providers, and 40 hours for interconnected Voice over Internet Protocol
service providers).
Frequency of Response: One-time reporting.
Obligation to Respond: Mandatory (47 CFR 12.3).
Total Annual Burden: 7,792 hours.
Total Annual Cost: None.
Privacy Act Impact Assessment: This information collection does not
affect individuals or households, and therefore a privacy impact
assessment is not required.
Nature and Extent of Confidentiality: These reports will contain
sensitive data and, for reasons of national security and the prevention
of competitive injury to reporting entities, Section 12.3 of the
Commission's rules specifically states that all reports will be
afforded confidential treatment. These reports will be shared pursuant
to a protective order with only the following three entities, if the
entities file a request for the information: The National Emergency
Number Association, The Association of Public Safety Communications
Officials, and The National Association of State 9-1-1 Administrators.
All other access to these reports must be sought pursuant to procedures
set forth in 47 CFR 0.461. Notice of any requests for inspection of
these reports will be provided to the filers of the reports pursuant to
47 CFR 0.461(d)(3).
Needs and Uses: The Commission, in order to help fulfill its
statutory obligation to make wire and radio communications services
available to all people in the United States for the purpose of the
national defense and promoting safety of life and property, released an
Order (FCC 07-107) that adopted a rule requiring analysis of 911 and
E911 networks and/or systems and reports to the Commission on the
redundancy, resiliency and reliability of those networks and/or systems
(47 CFR 12.3). It is critical that Americans have access to a resilient
and reliable 911 system irrespective of the technology used to provide
the service. These analyses and reports on the redundancy, resiliency,
and dependability of 911 and E911 networks and systems will further
this goal. This requirement will serve the public interest and further
the Commission's statutory mandate to promote the safety of life and
property through the use of wire and radio communication. See 47 U.S.C.
151.
This rule obligates local exchange carriers (LECs), commercial
mobile radio service (CMRS) providers that are required to comply with
the wireless 911 rules set forth in Section 20.18 of the Commission's
rules, and interconnected Voice over Internet Protocol (VoIP) service
providers to analyze their 911 and E911 networks and/or systems and
file a detailed report to the Commission on the redundancy, resiliency
and reliability of those networks and/or systems. LECs that meet the
definition of a Class B company set forth in Section 32.11(b)(2) of the
Commission's rules, non-nationwide commercial mobile radio service
providers with no more than 500,000 subscribers at the end of 2001, and
interconnected VoIP service providers with annual revenues below the
revenue threshold established pursuant to Section 32.11 of the
Commission's rules are exempt from this rule. The reports are due 120
days from the date that the Commission or its staff announces
activation of the 911/E911 network and system reporting process.
Description of Information Collection: The Commission delegated
authority to the Public Safety and Homeland Security Bureau (Bureau) to
implement and activate a process through which these reports will be
submitted. The Bureau will collect these reports through a Web
interface that will input the reports into an electronic database
partitioned for each entity type subject to Section 12.3 of the
Commission's rules (i.e., LECs, CMRS providers required to comply with
section 20.18 of the Commission's rules, and interconnected VoIP
service providers). Respondents that are subject to state regulations
requiring the reporting of similar information may meet the
requirements of section 12.3 by submitting the state report, provided
that the state report includes the relevant information required by
this section 12.3 information collection. The system will also allow
users to provide additional information about the redundancy,
resiliency and dependability of their 911 and E911 networks and
systems. This data collection system will carefully restrict access to
the data. Users will be able to input and see data for their company,
but will not be able to see or input data for another company. The
system will also allow users to input other information they may wish
to provide about the redundancy, resiliency and dependability of their
911 and E911 networks and systems.
The Commission also delegated authority to the Bureau to establish
the specific data that will be required. The following is the
information that the Bureau will require from LECs, CMRS providers and
interconnected VoIP service providers pursuant to Section 12.3.
LECs (including incumbent LECs and competitive LECs). Each LEC will
be asked to provide the FCC Registration Number(s) of the responding
carrier and the OCN (LERG assigned service provider number) the
responding carrier. For each state in which LECs provide service, they
will be asked to provide the following information on a state-by-state
basis.
LECs will be required to provide information about switches to
Selective Routers, specifically, information about those switches that
they own or operate. LECs must report the percent of switches that they
own or operate in the network from which 911 calls originate. With
respect to those switches, LECs must identify the percent of switches
with logically diverse paths to their primary Selective Routers.
Logical
[[Page 39307]]
diversity is achieved when redundant circuits are assigned between the
source node and the destination node. For switches for which they have
not provided or made arrangements for a logically diverse path, LECs
must discuss the circumstances, including why logically diverse paths
are not provisioned, and any plans to provide logically diverse paths
in the future. With respect to those switches that a LEC owns or
operates in the network from which 911 calls originate, LECs must also
report the percent of switches with physically diverse connections to
their primary Selective Routers. Physical diversity is achieved when
geographically separated redundant facilities are assigned between the
source node and the destination node. For those switches for which LECs
have not provided or made arrangements for physically diverse
connections, they must discuss the circumstances including why
physically diverse paths are not provisioned and any plans to provide
physically diverse connections in the future.
LECs must also provide information if they own or operate Selective
Routers. They must provide the percent of Selective Routers with at
least one alternate Selective Router for at least 50% of the 911
traffic. If they have not provided or made arrangements for alternate
selective routers for at least 50% of 911 traffic, they must discuss
the circumstances including why an alternate selective router for at
least 50% of 911 traffic is not provisioned and any plans to provide an
alternate selective router in the future. With respect to Selective
Routers to public safety answering points (PSAPs), LECs must provide
the following information if they own or operate Selective Routers but
only for the PSAPs supported by those Selective Routers. LECs must
state the number of PSAPs supported by their Selective Routers and the
percent of PSAPs with an alternate (back-up) Selective Router in
addition to the primary Selective Router. For those PSAPs for which a
LEC has not provided or made arrangements for an alternate (back-up)
Selective Router in addition to the primary Selective Router, the LEC
needs to discuss the circumstances including why an alternative (back-
up) selective router is not provisioned and any plans to provide an
alternate (back-up) selective router in the future. LECs must also
identify the percent of PSAPs with logically diverse paths to their
primary Selective Router. For those PSAPs for which a LEC has not
provided or made arrangements for logically diverse paths to the
primary Selective Router, they must discuss the circumstances including
why logically diverse paths are not provisioned, and any plans to
provide logically diverse paths in the future. LECs must also report
the percent of PSAPs with physically diverse connections to their
primary Selective Router. For those PSAPs for which they have not
provided or made arrangements for physically diverse connections to the
primary Selective Router, LECs must discuss the circumstances including
why physically diverse paths are not provisioned and any plans to
provide physically diverse paths in the future.
Further, LECs must report the percent of PSAPs with logically
diverse paths to their primary Selective Router in which the
interoffice portion of the connections to the primary Selective Router
is physically diverse. The interoffice network consists of facilities
and transmission equipment that interconnects switching offices in a
telecommunications inter-exchange network. For those PSAPs with
logically diverse paths to the primary Selective Router for which they
have not provided or made arrangements for physical diversity in the
interoffice portion of the connections to the primary Selective
Routers, LECs must discuss the circumstances including why such
physical diversity is not provisioned and any plans to provide such
physical diversity in the future. LECs will also need to provide the
percent of PSAPs where the connection between the PSAP and the primary
Selective Router is physically diverse from the connection between the
PSAP and the alternate Selective Router. For those PSAPs for which the
connection between the PSAP and the primary Selective Router is not
physically diverse from the connection between the PSAP and the
alternate Selective Router, LECs must discuss the circumstances
including why such physically diverse connections are not provisioned
and any plans to provide such physically diverse connections in the
future. Finally, LECs must provide the percent of PSAPs where the
interoffice portion of the connection from the PSAP to the primary
Selective Router is physically diverse from the interoffice portion of
the connection from the PSAP to the alternate Selective Router. For
those PSAPs where the interoffice portion of the connection from the
PSAP to the Selective Router is not physically diverse from the
interoffice portion of the connection from the PSAP to the alternate
Selective Router, LECs must discuss the circumstances including why
such physical diversity is not provisioned and any plans to provide
physical diversity in the future.
Additionally, LECs that own or operate Selective Routers must
provide information about alternate PSAPs, but only for the PSAPs
supported by those Selective Routers. These LECs will be required to
provide the percent of PSAPs for which traffic is automatically
rerouted to another PSAP if the PSAP is unavailable. For those PSAPs
without automatic re-routing, they need to discuss the circumstances
including why automatic re-routing to another PSAP is not provisioned
and any plans to provide such automatic re-routing in the future.
LECs will also be required to provide specific information if they
own or operate Automatic Location Information (ALI) databases. LECs
must provide the number of ALI Database pairs (redundant). An ALI
database pair is a configuration of two ALI databases that will operate
seamlessly even if one of the two databases fails. LECs that own or
operate ALI databases will also be required to state the percent of
PSAPs supported by ALI database pairs in which the connections from the
ALI databases to the PSAP are physically diverse. For those PSAPs
supported by ALI database pairs in which the connections from the ALI
databases to the PSAP are not physically diverse, LECs must discuss the
circumstances including why physically diverse connections are not
provisioned and any plans to provide physically diverse connections in
the future. LECs that own or operate ALI databases must also provide
the percent of PSAPs supported by ALI database pairs in which the
interoffice portion of the connections from the ALI databases to the
PSAP are physically diverse. For those PSAPs supported by ALI database
pairs in which the interoffice portion of the connections from the ALI
databases to the PSAP are not physically diverse, they must discuss the
circumstances including why such physical diversity is not provisioned
and any plans to provide such physical diversity in the future.
CMRS Providers. Each CMRS provider will be asked to provide the FRN
of the responding provider and the OCN of the responding provider. CMRS
providers must provide information for each area in which the CMRS
provider serves.
Regarding Mobile Switching Centers (MSCs) to Selective Routers,
CMRS providers must provide information for the MSCs that they own or
operate. This information includes the: (1) Percent of MSCs in network
that have Phase I E911
[[Page 39308]]
capability; (2) percent of MSCs in network that have Phase II E911
capability; and (3) percent of MSCs with logically diverse paths to
primary Selective Routers. For those MSCs for which CMRS providers have
not provided or made arrangements for logically diverse paths, they are
required to discuss the circumstances including why logically diverse
paths are not provisioned and any plans to provide logically diverse
paths in the future. CMRS providers must also report the percent of
MSCs with physically diverse connections to their primary Selective
Routers. For those MSCs for which they have not provided or made
arrangements for physically diverse connections, CMRS providers must
discuss the circumstances including why physically diverse connections
are not provisioned and any plans to provide physically diverse
connections in the future.
CMRS providers must also provide information about MSCs to Mobile
Positioning Centers (MPCs) or Gateway Mobile Location Centers (GMLCs).
They must report the percent of MSCs connected to a pair of MPCs/GMLCs.
MSCs can be connected to a pair of MPCs/GMLCs for redundancy. In
configurations like this, the MSC will continue to provide positioning
information even if one of the MPCs/GMLCs suffers an outage. CMRS
providers must also state the percent of MSCs with logically diverse
paths to their primary MPCs/GMLCs. For MSCs for which they have not
provided or made arrangements for logically diverse paths to the
primary MPCs/GMLCs, CMRS providers must discuss the circumstances,
including why logically diverse paths are not provisioned and any plans
to provide logically diverse paths in the future. They must also
provide the percent of MSCs with physically diverse connections to
their primary MPCs/GMLCs. For those MSCs for which CMRS providers have
not provided or made arrangements for physically diverse connections,
they must discuss the circumstances including why physically diverse
connections are not provisioned and any plans to provide physically
diverse connections in the future.
Further, CMRS providers must report the percent of MSCs where the
connection from the MSC to the primary MPC/GMLC is physically diverse
from the connection to the alternate MPC/GMLC. For those MSCs where the
connection from the MSC to the primary MPC/GMLC is not physically
diverse from the connection to the alternate MPC/GMLC, providers must
discuss the circumstances including why physically diverse connections
are not provisioned and any plans to provide physically diverse
connections in the future.
CMRS providers that own or operate MPCs/GMLCs must report
additional information, including the percent of MPCs/GMLCs for which
there is an alternate MPC/GMLC. This question is concerned with the
percentage of MPCs/GMLCs that are backed up. An earlier question asked
about the percentage of MSCs that are served by a pair of MPCs/GMLCs.
Both questions address the redundancy of MPCs/GMLCs but this one
addresses MPC/GMLC pairing while the previous one addressed redundant
access from MSCs to MPC/GMLC pairs. For those MPCs/GMLCs that do not
have alternates, CMRS providers must discuss the circumstances
including why alternate MPCs/GMLCs are not provisioned and any plans to
provide alternate MPCs/GMLCs in the future. CMRS providers must also
state whether they are able to pass location information from more than
one MPC/GMLC. For those cases in which they are not able to do so, they
must discuss the circumstances including why the capability to pass
location information from more than one MPC/GMLC is not provisioned and
any plans to provide this capability in the future.
CMRS providers that own or operate MPCs/GMLCs must also report
whether there are logically diverse paths from each MPC/GMLC to either
the primary ALI database or the back-up ALI database. For those cases
where they have not provided or made arrangements for logically diverse
paths, CMRS providers must discuss the circumstances including why
logically diverse paths are not provisioned and any plans to provide
logically diverse paths in the future. Additionally, CMRS providers
that own or operate MPCs/GMLCs must state whether there are physically
diverse connections from each MPC/GMLC to either the primary ALI
database or the back-up ALI database. For those cases where they have
not provided or made arrangements for physically diverse connections,
they must discuss the circumstances including why physically diverse
connections are not provisioned and any plans to provide physically
diverse connections in the future.
Interconnected VoIP Service Providers. Each responding
interconnected VoIP service provider will be asked to report their FRN,
if any, and OCN, if any. Interconnected VoIP providers will have to
provide information about interconnection to Selective Routers and
third-party providers. They must report the percent of switches wherein
911 service is provided by the interconnected VoIP provider, where the
VoIP provider has a direct connection to Selective Routers.
Additionally, interconnected VoIP service providers will be required to
report the percent of switches wherein 911 service is provided by a
third party, where another company is utilized to route 911 calls.
Interconnected VoIP service providers that have direct connections
to Selective Routers must report the percent of switches with logically
diverse paths to their primary Selective Routers--for cases when the
VoIP provider has direct connections to Selective Routers. For switches
for which they have not provided or made arrangements for logically
diverse paths, they must discuss the circumstances, including why
logically diverse connections are not provisioned and any plans to
provide logically diverse paths in the future. Interconnected VoIP
service providers that have direct connections to Selective Routers
must also report the percent of switches with physically diverse
connections to their primary Selective Routers. For those switches for
which they have not provided or made arrangements for physically
diverse connections, they must discuss the circumstances including why
physically diverse connections are not provisioned and any plans to
provide physically diverse connections in the future.
Interconnected VoIP service providers that use a third party to
provide connections to Selective Routers must report the percent of
switches with logically diverse paths to their primary access points--
for cases when the VoIP provider uses a third party.
For switches for which they have not provided or made arrangements
for logically diverse paths to their primary access points, they must
discuss the circumstances including why logically diverse paths are not
provisioned and any plans to provide logically diverse paths in the
future. Interconnected VoIP service providers that use a third party to
provide connections to Selective Routers are also required to report
the percent of switches with physically diverse connections to their
primary access points. For those switches for which they have not
provided or made arrangements for physically diverse connections to
their primary access points, they must describe the circumstances
including why physically diverse connections are not provisioned and
any plans to provide physically diverse connections in the future.
Responding LECs, CMRS providers and interconnected VoIP service
providers must also provide information regarding disaster planning for
the resiliency and
[[Page 39309]]
reliability of 911 architecture. All respondents must state whether
they have a contingency plan that addresses the maintenance and
restoration of 911/E911 service during and following disasters. If the
answer is ``yes,'' the respondent will be asked to describe its
contingency plan including those elements that address the maintenance
and restoration of 911/E911 service. If the answer is ``no,'' the
respondent will be asked to discuss the circumstances including why it
does not have a contingency plan that addresses 911/E911 maintenance
and restoration and any plans to develop such a contingency plan in the
future.
Respondents that do have a contingency plan that addresses the
maintenance and restoration of 911/E911 service must state whether they
regularly test their plan. If respondents answer ``yes'' to this
question, they must describe the program for testing their contingency
plan, including the extent to which they periodically test to ensure
that the critical components (e.g., automatic re-routes, PSAP Make Busy
Key) included in contingency plans work as designed and the extent they
involve PSAPs in tests of their contingency plan. Respondents that
answer ``no'' will be asked to discuss the circumstances including why
they do not test their contingency plan and any plans to test their
plan in the future.
All respondents must state whether they have a routing plan so
that, in the case of a lost connection of dedicated transport
facilities between the originating switch/MSC and the Selective Router,
911 calls are routed over alternate transport facilities. Respondents
that answer ``yes'' must describe their routing plan. Respondents that
answer ``no'' must discuss the circumstances and any plans to develop
such a plan in the future.
All responding LECs, CMRS providers and interconnected VoIP service
providers must state whether, in cases where 911 service is disrupted,
they make test calls to assess the impact as part of the restoration
process. If the answer is ``no,'' respondents must discuss the
circumstances including why they do not make test calls as part of the
restoration process and any plans to do so in the future. Respondents
must also state whether their company makes additional test calls when
service is restored and, if not, they must discuss why they do not make
additional test calls.
All respondents must describe any current plans they have to
migrate to next generation 911 (NG911) architecture once a standard for
NG911 has been developed. Finally, respondents are asked to provide any
additional relevant information regarding steps they have taken to
ensure redundancy, resiliency and reliability of their 911/E911
facilities.
Federal Communications Commission.
William F. Caton,
Deputy Secretary.
[FR Doc. E8-15586 Filed 7-8-08; 8:45 am]
BILLING CODE 6712-01-P