HomeMy WebLinkAbout20170419Notice of Relinquishment.pdf83O0 Greensboro Dr.
Suite 1200
lysons,YA22lO2
(703) 584-8678
www.tcctAw,coM LLCS LUKAS
LAFURIA
CUTIERREZ
& SACHS LLp
ORIGII{A[
April 18,2017
VIA FEDEX
Ms. Diane Hanian, Commission Secretary
Idaho Public Utilities Commission
47 2 W est Washington Street
Boise, lD 83702-0074
Budget PrePay,Inc. dba Budget Mobile - Notice of ETC Relinquishment
Case No. BPP-T-12-01
Dear Ms. Hanian:
On behalf of Budget PrePay, Inc. dba Budget Mobile ("Budget"), we are enclosing for
filing an original and seven copies of Budget's Notice of Relinquishment of its Eligible
Telecommunications Carrier Designation pursuant to 47 U.S.C. $ 2la(e)(a).
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P)z6e date stamp the copy marked "stamp and Return" and return this copy in the
y'prepaid self-addressed envelope to my attention at Lukas, LaFuria, Gutierrez & Sachs,
LLP.
Should you have any questions or concerns with regard to the above, please feel free to
contact me either by phone at the number listed above or by email at tlantor @,fcc I aw. com
Respectfu lly submitted,
Lukas, LaFuria, Gutierrez & Sachs, LLP
Todd B. Lantor
Partner
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Re:
Enclosures
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
In the Matter of the Application of
BUDGET PREPAY, INC. d/b/A
BUDGET MOBILE
Case No. BPP-T-12-01
NOTICE OF RELINQUISHMENT
OF ETC STATUS IN IDAHO
)
)
)
)
)
)
)
For Designation as an Eligible
Telecommunications Carrier
Budget PrePay, Inc. dba Budget Mobile ("Budget"), pursuant to $ 214(e)(4) of the
Communications Act of 1934, as amended ("Act"), 47 U.S.C. $ 21a(e)(a), $ 54.205 of the Rules
of the Federal Communication Commission ("FCC"),47 C.F.R. $ 54.205, and Idaho Code $ 62-
6l0D(4), hereby requests that the Commission approve the relinquishment of Budget's Eligible
Telecommunications Carrier ("ETC") designation in the State of Idaho, effective June 5, 2017. ln
support thereof, the following is respectfully submitted:
I. BACKGROLIND
l. On January 23,2013, the Commission designated Budget as an ETC for the limited
purpose of providing the services supported by the Universal Service Fund ("USF") under the
FCC's Lifeline Program ("Lifeline") for low-income consumers.
2. Budget seeks to relinquish its Lifeline-only ETC designation and to discontinue
service in Idatro, because of changes in the wireless industry and proposed modifications to the
Lifeline program.
3. Relinquishment of Budget's Lifeline-only ETC designation will not affect the
amount of federal Lifeline support available to other ETCs in the state.
il. RELINOUISHMENT REOUIREMENTS
4. Under the USF provisions of the Act, the Commission must allow an ETC to
relinquish its designation in any area served by more than one ETC. Section 214(e)(4) of the Act
states, in pertinent part, as follows
A State commission ... shall permit an [ETC] to relinquish its designation as such
a carrier in any area served by more than one [ETC]. An [ETC] that seeks to
relinquish its [ETC] designation for an area served by more than one [ETC] shall
give advance notice to the State commission ... of such relinquishment. Prior to
permitting a telecommunications carrier designated as an [ETC] to cease providing
universal service in an area served by more than one [ETC], the State commission
... shall require the remaining [ETC] or [ETCs] to ensure that all customers served
by the relinquishing carrier will continue to be served, and shall require sufficient
notice to permit the purchase or construction ofadequate facilities by any remaining
eligible telecommunications carrier. The State commission ... shall establish a
time, not to exceed one yeil after the State commission ... approves such
relinquishment under this paragraph, within which such purchase or construction
shall be completed.r
5. The FCC rule essentially reiterates the same requirements in $ 214(e)(4) of the Act
and states, in pertinent part, that a "state commission shall permit" an ETC to "relinquish its
designation as such in any area served by more than one [ETC]."2 The FCC rule also requires that
the ETC "shall give advance notice to the state commission of such relinquishment."3 Finally, the
rule requires state commissions to ensure that the relinquishing ETC's customers will be served
by the remaining ETC(s) and ensure sufficient notice to permit the purchase and construction of
facilities if necessary.a
' 47 U.S.C. $ 2la(e)( ). See 47 C.F.R. $ s4.20s
2 +7 c.F.R. g 5a.205(a).
3 Id.
4 See 47 C.F.R. $ 54.205(b).
2
6. Similarly, the Idaho Code provides that the Commission "shall permit an [ETC] to
relinquish its designation as such a carrier in any area served by more than one (l) [ETC]."5 The
Commission is also required "to ensure that all customers served by the relinquishing carrier will
continue to be served."6
7. The requirements for relinquishing ETC designation are: (l) there must be more
than one ETC serving in the area of the ETC seeking relinquishment; (2) the ETC seeking
relinquishment must provide advance notice to the relevant state commission; (3) the customers
served by the relinquishing ETC must continue to be served by an ETC; and (4) to the extent that
additional facilities are required to serve any of the relinquishing ETC's customers, sufficient
notice shall be provided to ensure that the construction or purchase can be timely completed. As
shown below, all such requirements for relinquishing Budget's ETC designation are satisfied.
M. BUDGET'S ETC DESIGNATED SERVICE AREA
8. The wire centers impacted by this request along with the incumbent local exchange
carriers ("ILECs") currently serving those wire centers are identified in Exhibit A, attached hereto.
To the best of Budget's knowledge, each of the wire centers identified in Exhibit A is currently
served by the ILEC which is an ETC. In addition, the Commission has designated other wireless
ETCs to provide Lifeline service within Budget's current ETC designated area. Wireless ETCs,
including Lifeline-only providers, which provide service in at least part of Budget's ETC
designated service area, include Assurance Wireless, Boomerang Wireless, Q Link Wireless, and
Safelink Wireless. As there is ready at least one other ETC in all areas in which Budget is
currently designated as an ETC, the Commission is required by federal law to permit Budget to
5Idaho code g 62-6toD(4).
6 Id.
3
relinquish its Lifeline-only ETC designation.
9. Since multiple ETCs already serve the same ETC service area that Budget serves,
to the best of Budget's knowledge, those ETCs will not be required to purchase or construct
additional facilities to ensure that Budget's Lifeline subscribers continue to receive service.
10. Because there is at least one additional ETC throughout Budget's ETC service area,
there is no bar to prevent this Commission from allowing Budget to relinquish its ETC designation
in Idaho, and the requirements set forth in 47 U.S.C. $ 21a(e)(a), 47 C.F.R. $ 54.205, and Idaho
Code $ 62-610D(4) have been met.
IV. CUSTOMER NOTICE
1 1. Budget requests the Commission issue an order approving the relinquishment of
Budget's ETC designation as soon as possible, but no later than 30 days after the date this Notice.
Budget will provide notice to all of its wireless subscribers in Idaho by April 19,2017. Budget
currently has less than 250 Lifeline subscribers in Idaho. Such action will permit Budget to provide
ample notice to its Lifeline customers of the discontinuance of their Lifeline service and to ensure
an orderly transition. In addition, consistent with Section 31.41.01 .312.02a of the Idaho
Administrative Code which requires 45 days prior notice, actual Lifeline service will not cease
until June 5,2017, more than 45 days from the date of this filing and more than 45 days in advance
of the date Budget will provide notice to its Lifeline customers in Idaho of the upcoming cessation
of their Lifeline service from Budget.
12. If a Budget customer decides to obtain service from another provider, there will not
be any early termination fees, as Budget customers are not subject to such fees.
13. Budget customers will receive notice that Budget intends to discontinue their
service text message. Text messages have historically been the mechanism by which Budget
4
communicates with its customers, and they will be the most effective method of ensuring Budget's
customers receive this important information.
14. Budget will send each Lifeline customer at least one text message on April 19,
2017, notifuing Budget's Lifeline customers in Idaho of Budget's cessation of service in Idaho.
The contents of this message will include the following information: (1) Budget is no longer an
ETC and their existing service will be discontinued; (2) a Lifeline discount can be obtained from
the remaining ETCs in Idaho and information about alternative Lifeline providers in Idaho will be
provided; (3) the customer must make arrangements with another carrier to continue Lifeline
service; and ( ) a toll-free number will be provided that customers may call to reach Budget's
customer service representatives to assist with the transition. The notice is set forth below:
Budget Mobile will cease providing service to you on 6-5-2017
Please contact another Lifeline provider like Boomerang Wireless or Q Link
Wireless if you still want Lifeline.
For more information, please call888-777-4007 or visit
http : //www. b u d setm obile. com.
Additional information is available from the Idaho PUC at
http ://www.puc.idaho.sov/teleco ml etco/o20list.PDF
15. Budget will continue to provide its existing Lifeline customers with the Lifeline
Idaho discount and claim reimbursement for the Lifeline discount until Budget discontinues its
wireless operations in ldaho. Budget expects to stop seeking reimbursement for the Lifeline
discount on or about June 5, 2017.
5
V. CONCLUSION
For the foregoing reasons, Budget respectfully requests that the Commission grant this
Application expeditiously allowing Budget to relinquish its Lifeline-only ETC designation and
right to receive federal Lifeline funding in Idaho, effective June 5, 2017.
Respectfully submitted,
d*, a Ce.ft
Todd B. Lantor
LuKAs, LeFuruA Gurrennez & Secus, LLP
8300 Greensboro Drive, Suite 1200
Tysons, VA22l02
(703) 584-8678
tlantor@fcclaw.com
Counselfor Budget PrePay, Inc. dba Budget Mobile
Dated: April 18,2017
6
EXHIBIT A
List of Rural
Non-Rural Wire Centers
Where Budget PrePay
Seeks BTC Relinquishment
and
EXEIBIT A
List of Rural and Non-Rural Wire Centers
Ilhere Budget PrePay
Seeks ETC Relinquis ent
Rural Wlrc Centers
Comoanv
ALBTON TELEPHONE CO. DBA ATC COMMI.JMCATIONS
ALBION TELEPHONE CO. DBA ATC COMMI.]MCATIONS
ALBION TELEPHONE CO. DBA ATC COMMI.]MCATIONS
ALBION TELEPHONE CO. DBA ATC COMMI.JMCATIONS
ALBION TELEPHONE CO. DBA ATC COMMI.'MCATIONS
ALBION TELEPHOM CO. DBA ATC COMMI.JMCATIONS
ALBION TELEPHONE CO. DBA ATC COMMI'MCATIONS
ALBION TELEPHONE CO. DBA ATC COMMI.JNICATIONS
ALBION TELEPHONE CO. DBA ATC COMMI,JNICATIONS
ALBION TELEPHOM CO. DBA ATC COMMI.'NrcATIONS
ALBTON TELEPHONE CO. DBA ATC COMMI,JNICATIONS
CAMBRIDGE TELEPHONE COMPA}.IY
CAMBRIDGE TELEPHONE COMPANY
CAMBRIDGE TELEPHONE COMPA}.IY
CAMBRIDGE TELEPHONE COMPANY
COLUMBINE TELCO DBA SILVER STAR COMMUNICATIPMS
DIRECT COMMUNICATIONS ROCKLAND, INC.
DIRECT COMMUMCATIONS ROCKLAND INC.
DIRECT COMMUNICATIONS ROCKLAND, [NC.
FARMERS MUTUAL TELEPHONE CO.
FARMERS MUTUAL TELEPHONE CO.
FILER MUTUAL TELEPHONE CO.
FTLER MUTUAL TELEPHONE CO.
FREMONT TELCOM CO
TNLAND TELEPHONE CO.
MI,ID LAKE TELEPHONE COOPERATME ASSOICATION, INC.
MI.ID LAKE TELEPHONE COOPERATIVE ASSOICATION, INC.
MUD LAKE TELEPHONE COOPERATIVE ASSOICATION, INC.
MUD LAKE TELEPHONE COOPERATIVE ASSOICATION, INC.
MUD LAKE TELEPHONE COOPERATIVE ASSOICATION, INC.
OREGON . IDAHO UTTLTTIES, [NC.
POTLATCH TELEPHONE CO., [NC.
POTLATCH TELEPHONE CO., TNC.
POTLATCH TELEPHONE CO., INC.
PROJECT MUTUAL TELEPHONE COOP. ASSOCI,ATION, [NC.
PROJECT MUTUAL TELEPHONE COOP. ASSOCIATION, [NC.
PROJECT MUTUAL TELEPHONE COOP. ASSOCIATION, [NC.
Wire Centcr
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PROJECT MUTUAL TELEPHONE COOP. ASSOCIATION, INC.
PROJECT MUTUAL TELEPHONE C@P. ASSOCIATION, [NC.
SILVER STAR TELEPHONE CO., TNC.
SILYER STAR TELEPHONE CO., TNC.
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CERTIFICATE OF SERVICE
I HEREBY CERTIFY that on the 18ft day of April,2017, a true and correct original plus
seven copies of the within and foregoing NOTICE OF RELINQUISHMENT OF BUDGET'S
ETC STATUS IN IDAHO (Case No. BPP-T-12-01) was sent via FedEx Ovemight Priority
delivery to Commission Secretary Diane Hanian at the Idaho Public Utilities Commission office
at472 West Washington Street, Boise, Idaho 83702-0074 with additional copies sent by
electronic mail to:
Donald L. Howell, II
Deputy Attorney General and
Attorney for the Commission Staff
Idaho Public Utilities Commission
472 W est Washington Street
Boise,ID 83702-5918
Grace Seaman
Technical Staff Member
Idaho Public Utilities Commission
472 W est Washington Steet
Boise,ID 83702-5918
Kathleen R. Mathiasen
Signed
i