HomeMy WebLinkAboutLetter regarding FCC Cancellation.pdf~o
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210 N, Park Ave,
Winter Park, FL
April 24, 2006
Via US Mail
32789
O, Drawer 200
Winter Park, FL
Idaho Public Utilities Commission
472 West Washington Street
Boise, Idaho 83702
32790-0200
RE:Application of Nationwide Professional Teleservices, LLC pursuant to
Section 214 of the Communications Act of 1934, as amended, and Section
63.19 of the Commission s Rules, 47 C.R Section 63., to discontinue its
domestic services as a reseller of telecommunications services
Tel: 407-740-8575
Fax: 407-740-0613
tmi(Qitminc,com
Dear Sir/Madam:
A copy ofthe enclosed is provided in compliance with 47 C.R. Section 63.71 of the
Federal Communications Commission s Rules.
Questions regarding this filing should be directed to my attention at (407) 740-8575.
Sincerely,
&7J
Monique Byrnes
Consultant to
Nationwide Professional Teleservices, LLC
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Enclosure
cc:
File:
tms:
W. Dangar - Nationwide Pro Tel
Nationwide Pro Tel - FCC IXC
FCC0600xx
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210 N. Park Ave.
Winter Park, FL
32789
O. Drawer 200
Winter Park. FL
32790-0200
Tel: 407-740-8575
Fax: 407-740-0613
tmi(Q)tminc.com
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April 4, 2006
Via Overnight Delivery
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Ms. Marlene Dortch, FCC Secretary
Federal Communications Commission
Office of the Secretary
9300 E. Hampton Drive
Capitol Heights, MD 20743
Attention: Wireline Competition Bureau
Re:Application of Nationwide Professional Teleservices, LLC, pursuant to Section 214
of the Communications Act of 1934, as amended, and Section 63.19 of the
Commission s Rules, 47 c.F.R Section 63.19, to discontinue its domestic services as a
reseller of telecommunications services
Dear Ms. Salas:
Enclosed for fJling are the original and six (6) copies of the above-referenced application flIed
on behalf of Nationwide Professional Teleservices, LLC to discontinue domestic service. The
Company has ceased operations in all states and no longer has any customers nor has any
outstanding obligations in the form of deposits and/or advance payments. Consequently,
customer notification is not applicable.
Please acknowledge receipt of this fJling by date stamping the extra copy of this cover letter and
r-eturning it to me in the self-addressed, stamped envelope provided for this purpose.
Thank you for your attention in this matter. Questions regarding this filing should be directed to
my attention at (407) 740-3005 or via e-mail at mbyrnes('g)tminc.com
Sincerely,
:::
Consultant to Nationwide Professional Teleservices, LLC
Enclosure
cc:
File:
tms:
W. Dangar, NProTel
NProTel - FCC IXC
FCCi0600 withdrawal
Before the
FEDERAL COMMUNICATIONS COMMISSION
Washington, D.C. 20554
In the Matter of
Section 63.71 Application of
Nationwide Professional Teleservices, LLC
to Discontinue Service
File No.
APPLICATION TO DISCONTINUE SERVICE
Nationwide Professional Teleservices, LLC, ("Nationwide ProTeI") hereby requests, pursuant
to Section 214 ofthe Communications Act of 1934, as amended, 47 D.C. Section 214, and Section
63.71 ofthe Commission s Rules, 47 C.R. Section 63., to discontinue domestic services as a
reseller of telecommunications services.
Nationwide ProTei is a limited liability company organized under the laws of the state of
Florida. In support of Nationwide ProTeI's request for authorization to discontinue service , the
following infonnation is submitted pursuant to Section 63.71 of the Commission Rules, 47 C.
Section 63.71.
(1)The name, address and telephone number ofthe applicant:
Nationwide Professional Te1eservices, LLC
14001 63rd Way
Clearwater, FL 33760
(2)
(4)
Correspondence concerning this application should be sent to:
Monique Byrnes
Consultant to Nationwide Professional Teleservices, LLC
Technologies Management, Inc.
O. Box 200
Winter Park, Florida 32790-0200
Telephone: (407) 740-3005
Facsimile: (407) 740-0613
e-mail: mbyrnes~tminc.com
The Company does not have any customers and is no longer offering any
domestic interstate service.
(3)There is no affected geographical area of service.
The Company has not provided domestic interstate or international services since October, 2005.
(4)No notice of its planned discontinuance of service was provided, as the Company does
not and. did not have any customers.
(6)Nationwide ProTeI is a non-dominant carrier with respect to the services requested to be
discontinued.
Conclusion
Pursuant to Section 214 of the Communications Act of 1934, as amended, 47 US.C. Section
214, and Section 63.71 of the Commission s Rules, 47 C.R. Section 63., the Company
understands that this application will be automatically granted on the 31 st day after its filing with no
Commission notification to the Company unless th-e Commission has notified the Company that the
grant will not be automatically effective.
Dated this 31st day of March 2006.
c - Sneri Lutich
President
Nationwide Professional Teleservices, LLC
Monique Byrnes
Consultant to Nationwide Professional Te1eservices, LLC
Technologies Management, Inc.
O. Drawer 200
Winter Park, Florida 32790-0200
Telephone: (407) 740-3005
Facsimile: (407) 740-0613
E-mail: mbyines~tminc.com