The full Senate has approved the nomination of former FCC Commissioner Jonathan Adelstein to be the Administrator of the U.S. Department of Agriculture’s Rural Utilities Service (RUS).
On behalf of the wireless broadband industry, I congratulate Mr. Adelstein on his confirmation to head the rural Internet program. A strong advocate for bringing innovative broadband services to rural America, Mr. Adelstein is the ideal choice to lead the RUS program to distribute $2.5 billion in broadband stimulus funds and promote universal wireless broadband access in the United States.
Showing posts with label universal wireless broadband access. Show all posts
Showing posts with label universal wireless broadband access. Show all posts
Friday, July 24, 2009
WCAI Congratulates Mignon Clyburn and Meredith Baker on Confirmation as FCC Commissioners
The full Senate has approved the nominations of Mignon Clyburn and Meredith Attwell Baker to fill the remaining two seats on the FCC. The vote came yesterday afternoon by unanimous consent.
WCAI applauds the Senate for promptly confirming Commissioners Clyburn and Baker to serve on the FCC. With all five commissioners now onboard, the agency is well-equipped to promote innovative wireless broadband services and achieve universal wireless broadband access in the United States. On behalf of the wireless broadband industry, I congratulate Commissioners Clyburn and Baker on their confirmations and look forward to working with them.
WCAI applauds the Senate for promptly confirming Commissioners Clyburn and Baker to serve on the FCC. With all five commissioners now onboard, the agency is well-equipped to promote innovative wireless broadband services and achieve universal wireless broadband access in the United States. On behalf of the wireless broadband industry, I congratulate Commissioners Clyburn and Baker on their confirmations and look forward to working with them.
Wednesday, July 15, 2009
WCAI Releases Broadband Stimulus Report
The WCAI Broadband Stimulus Report is now available for download. This comprehensive, free publication analyzes the broadband stimulus rules recently released by the NTIA and RUS and provides guidance on the grant application process. The report also features case studies from some of the leading industry players and market analysis from key industry researchers.
WCAI has established itself as the lead advocate for utilizing the stimulus funds to achieve universal wireless broadband access in the United States. The Association works closely with regulators at the NTIA and RUS to participate in the debate on how to best allocate the $7.2 billion available for broadband as part of the American Recovery and Reinvestment Act of 2009. For more information or to join WCAI, please visit our website: www.wcai.com.
WCAI has established itself as the lead advocate for utilizing the stimulus funds to achieve universal wireless broadband access in the United States. The Association works closely with regulators at the NTIA and RUS to participate in the debate on how to best allocate the $7.2 billion available for broadband as part of the American Recovery and Reinvestment Act of 2009. For more information or to join WCAI, please visit our website: www.wcai.com.
Thursday, April 9, 2009
WCAI Promotes Universal Wireless Broadband Access in Comments on ARRA Broadband Initiatives
As part of our mission to promote universal wireless broadband access in the United States, we at WCAI today submitted two separate sets of comments with the NTIA/RUS and the FCC to assist the Agencies in implementation of the American Recovery and Reinvestment Act’s broadband initiatives.
Because mobile wireless broadband service is a separate product market, WCAI urged NTIA to define areas in which mobile wireless broadband service is unavailable as “unserved,” even if fixed broadband is available. In this proceeding there seems to be a misperception that, with the advent of IP-enabled services, all communications services now participate in a single ‘broadband’ product market. During the roundtable phase of the public comment period, many commenters appeared to assume that the only differentiator of broadband services is speed. However, the differences between wireless and wired networks are more than purely technical or speed-related – the ability of wireless networks to offer mobility places mobile wireless broadband in an entirely separate product market.
Fortunately, there is no need for the Agencies to define the relevant broadband product markets anew to implement the ARRA. The FCC has already delineated between mobile and fixed broadband product markets in the context of its orders addressing various merger and other transactions. The Agencies should rely on this body of precedent when implementing the ARRA.
Other WCAI recommendations include:
WCAI Comments to the National Telecommunications and Information Administration and the Rural Utilities Service: http://www.wcai.com/images/pdf/2009_wcai4-9.pdf.
WCAI Comments to the Federal Communications Commission: http://www.wcai.com/images/pdf/2009_fcc4-9.pdf.
Because mobile wireless broadband service is a separate product market, WCAI urged NTIA to define areas in which mobile wireless broadband service is unavailable as “unserved,” even if fixed broadband is available. In this proceeding there seems to be a misperception that, with the advent of IP-enabled services, all communications services now participate in a single ‘broadband’ product market. During the roundtable phase of the public comment period, many commenters appeared to assume that the only differentiator of broadband services is speed. However, the differences between wireless and wired networks are more than purely technical or speed-related – the ability of wireless networks to offer mobility places mobile wireless broadband in an entirely separate product market.
Fortunately, there is no need for the Agencies to define the relevant broadband product markets anew to implement the ARRA. The FCC has already delineated between mobile and fixed broadband product markets in the context of its orders addressing various merger and other transactions. The Agencies should rely on this body of precedent when implementing the ARRA.
Other WCAI recommendations include:
- The Agencies should consider separate speeds for mobile wireless broadband networks.
- NTIA should define areas in which mobile wireless broadband service capable of delivering at least 3 mbps downlink and 768 kbps uplink speeds is unavailable as “underserved.”
- The Agencies should reject requests to limit initial rounds of funding to “unserved” areas only and instead consider both “unserved” and “underserved” areas simultaneously.
- Projects that receive funding should represent the optimal mix of capabilities and cost.
- The Agencies should provide funding to “middle mile” only projects where appropriate, because delivering broadband to end users often requires a complementary backhaul solution.
- The Agencies should give substantial consideration to the views of the States, but the Agencies should not delegate wholesale their responsibility to review and rank applications.
WCAI Comments to the National Telecommunications and Information Administration and the Rural Utilities Service: http://www.wcai.com/images/pdf/2009_wcai4-9.pdf.
WCAI Comments to the Federal Communications Commission: http://www.wcai.com/images/pdf/2009_fcc4-9.pdf.
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