Attachment Petition to Adopt Co

Petition to Adopt Co

PETITION submitted by DOJ

Petition to Adopt

2005-02-01

This document pretains to ITC-214-19981019-00794 for International Global Resale Authority on a International Telecommunications filing.

IBFS_ITC2141998101900794_1784542

                                                   February 01, 2005


By Electronic Mail

Ms. Marlene H. Dortch
Federal Communications Commission
445 12th Street, S.W.
Room TW-B204
Washington, D.C. 20554


        Re:    Petition to Adopt Conditions to Authorizations and Licenses pertaining to In the
               Matter ofApplication Pursuant to Section 214 of the Communications Act of
               1934 and Section 63.24 of the Commissions’ Rules for Consent to the Transfer
               of Control ofInfonet Broadband Services Corporation to BT Group plc and
               Application Pursuant to Section 214 of the Communications Act of 1934 and
               Section 63.04 of the Commission’s Rules for Consent to the Transfer of Control
               ofInfonet Telecommunications corporation to BT Group plc, File No.
               ITC-T/C-20041119-00460, WC Docket No. 04-42 1


Dear Ms. Dortch:


        Transmitted herewith by the United States Department of Justice (“DOJ”), including the Federal
Bureau of Investigation (“FBI”), and the by United States Department of Homeland Security (“DHS”)
(hereinafter the “Agencies”), is an original electronic copy of a “Petition to Adopt Condition to
Authorizations and Licenses” regarding the above-referenced matter. Please accept this Petition and be
respectfully advised that the Agencies have no objection to the Federal Communications
Commission granting the above-captioned Applications, provided that the Commission
conditions the grant of the Applications on British Telecommunications plc (“BT”), and its
subsidiaries operating in the United States, abiding by the commitments and undertakings
contained in Exhibit 1.

                                               Sincerely,

                                               Is! MYLA R. SALDI VAR-TROTTER
                                               Myla R. Saldivar-Trotter
                                               Office of the General Counsel
                                               935 Pennsylvania Ave., N.W.
                                               Washington, D.C. 20535



Attachment


Before the
                              Federal Communications Commission
                                     Washington, DC 20554



  In the Matter of

  Application Pursuant to Section 214 of the       File No. ITC-T/C-20041 119-00460
  Communications Act of 1934 and
  Section 63.24 of the Commission’s Rules for
  Consent to the Transfer of Control of Infonet
  Broadband Services Corporation to BT Group
  plc

  and

  Application Pursuant to Section 214 of the       WC Docket No. 04-421
  Communications Act of 1934 and
  Section 63.04 of the Commission’s Rules for
  Consent to the Transfer of Control of Infonet
  Telecommunications Corporation to BT Group
  plc



To: Office of the Secretary
Attention. International Bureau and Wireline Competition Bureau

                           PETITION TO ADOPT CONDITIONS TO
                            AUTHORIZATIONS AND LICENSES

        The United States Department of Justice (“DOJ”), including the Federal Bureau of

Investigation (“FBI”), together with the United States Department of Homeland Security

(“DHS”) (collectively, the “Agencies”), respectfully submit this Petition to Adopt Conditions to

Authorizations and Licenses (“Petition”), pursuant to Section 1.41 of the Federal

Communications Commission’s (“FCC” or “Commission”) rules.’ Through this Petition, the

Agencies advise the Commission that they have no objection to the Commission granting the

147   C.F.R.   §   1.41.


above-referenced Application, provided that the Commission conditions the grant of the

Application on British Telecommunications plc (“BT”),2 and its subsidiaries operating in the

United States, abiding by the commitments and undertakings contained in BT’s January 12, 2005

letter from Tim Cowen, General Counsel, BT Global Services, to Laura H. Parsky, Tina W.

Gabbrielli, and Patrick W. Kelley (“Letter”), attached hereto as Exhibit 1.

          In the above-captioned docket, Infonet Broadband Services Corporation (“IBSC”),

Infonet Telecommunications Corporation (“ITC”), and BT Group plc (collectively the

“Applicants”) filed an Application requesting approval to transfer control of IBSC and ITC from

their ultimate corporate parent, Infonet Services Corporation (“Infonet”), to BT Group plc.

Pursuant to the terms of an agreement and plan of merger (“Merger Agreement”) entered into by

BT on behalf of its ultimate corporate parent, BT Group plc, and Infonet, Infonet would become

a direct wholly-owned subsidiary of BT United States L.L.C., a Delaware limited liability

company that is indirectly wholly-owned by BT Group plc. IBSC and ITC, in turn, would each

remain a wholly-owned subsidiary of Infonet. On December 14, 2004, the Agencies and the

Applicants jointly requested that the Commission defer grant of the Application until the

Agencies and Applicants notify the Commission that they have addressed any aspects of the

Application that the Agencies believe may raise potential national security, law enforcement, and

public safety matters.

         As the Commission is aware, the Agencies have taken the position that their ability to

satisfy their obligations to protect the national security, enforce the laws, and preserve the safety

of the public could be impaired by transactions in which foreign entities will own or operate a

part of the U.S. telecommunications system, or in which foreign-located facilities will be used to


2   British Telecommunications plc is an indirect subsidiary of applicant BT Group plc.


provide domestic telecommunications services to U.S. customers. In the Foreign Participation

Order, the Commission stated that, in reviewing license applications from foreign carriers under

Sections 214 and 310(b)(4) of the Communications Act, it would: (1) continue to apply the

public interest test, and (2) “continue to find national security, law enforcement, foreign policy

and trade policy concerns relevant to our decision to grant or deny Section 214 and 31 0(b)(4)

applications from applicants from WTO Member[s].”3 The Commission further stated that it

would “continue to accord deference to the expertise of Executive Branch agencies in identifying

and interpreting issues of concern” relating to national security, law enforcement, and foreign

policy relevant to a pending application.4 In recent cases the Commission has adopted, as

conditions of the requested licenses and authorizations, commitments agreed upon between the

Agencies and the applicants that address these issues.5

        After discussions with the Applicants’ representatives in connection with the proposed

acquisition and transfer of control, the Agencies have concluded that the commitments set forth

in the Letter are sufficient to ensure that the Agencies and other entities with responsibility for

enforcing the law, protecting the national security, and preserving public safety can proceed in a

legal, secure, and confidential manner to satisfy these responsibilities. Accordingly, the


~ In the Matter ofRules and Policies ofForeign Participation in the US. Telecommunications
Market, 12 FCC Rcd 23,891, para. 61 (Nov. 1997).
~ Id., para. 63.

~ See, e.g., Memorandum Opinion, Order and Authorization, Loral Satellite, Inc. and Intelsat
North America, LLC, 2004 WL 253309, 19 FCC Rcd 2404 (F.C.C.) (2004); Memorandum
Opinion, Order and Authorization, Bell Atlantic New Zealand Holdings, Inc. and Pac~flc
Telecom Inc., 18 FCC Rcd 23,140, 2003 WL 22517694 (F.C.C.) (2003); Memorandum Opinion,
Order and Authorization, Global Crossing Ltd. and GC Acquisition Limited, 18 FCC Rcd
20,301, 2003 WL 22309107 (F.C.C.) (2003); Error! Main Document OnIy.Memorandum
Opinion, Order and Authorization, XO Communications, Inc., 17 FCC Rcd 19,212, 2002 WL
31235646 (F.C.C.) (2002) (agreement adopted by the Commission, but the transaction was not
consummated); Memorandum Opinion and Order, VoiceStream Wireless Corporation, Powertel,
Inc., and Deutsche TelekomAG, 16 FCC Rcd 9779, 2001 WL 476559 (2001).


Agencies hereby advise the Commission that they have no objection to the Commission granting

the above-referenced Application for consent to transfers of control, provided that the

Commission conditions its consent on compliance by BT and its subsidiaries operating in the

United States with the commitments set forth in the Letter.

        The Agencies are authorized to state that the Applicants do not object to the grant of this

Petition.

                                      Respectfully submitted,


Is! LAURA H. PARSKY                                           Is! PATRICK W. KELLEY
Laura H. Parsky                                               Patrick W. Kelley
Deputy Assistant Attorney General                             Deputy General Counsel
Office of the Assistant Attorney General                      Federal Bureau of Investigation
Criminal Division Room 2113
                   —                                          935 Pennsylvania Avenue, N.W.
United States Department of Justice                           Washington, D.C. 20532
950 Pennsylvania Avenue, N.W.                                 (202) 324-6829
Washington, D.C. 20530
(202) 616-3928


Is! TI1’JA W. GABBRIELLI
Tina W. Gabbrielli
Director of Intelligence Coordination and
       Special Infrastructure Protection Programs
Office of Infrastructure Protection
United States Department of Homeland Security
Washington, D.C. 20528
(202) 282-8582

January 31, 2005


                                                                                     BT

                                                                                  January 12, 2005

 BY HAND DELIVERY
Ms. Laura H. Parsky
Deputy Assistant Attorney General
United States Department of Justice
950 Pennsylvania Avenue, N.W.
Washington, D.C. 20530

Ms. Tina W. Gabbriclli
Director of Intelligence Coordination and
       Special Infrastructure Protection Programs
United States Department of Homeland Security
Washington, D.C. 20528

Mr. Patrick W. Kelley
Deputy General Counsel
Federal Bureau of Investigation
935 Pennsylvania Avenue, N.W.
Washington, D.C. 20535

Dear Ms. Parsky, Ms. Gabbriclli and Mr. Kelley:

               As you know. British Telecommunications plc (“BT”), a United Kingdom
company engaged in the provision of global communications services and solutions, plans to
acquire Infonet Services Corporation (“Infonet”), a Delaware corporation offering value-added
network communications services.

                BT and Infonet have met with representatives of the U.S. Department of Justice
(“DOT’), including the Federal Bureau of Investigation (“FBI”), and the U.S. Department of
Homeland Security (“DHS”) to discuss BT’s security arrangements with respect to the planned
transaction. Further to those discussions, this letter now sets forth certain security assurances of
BT to the DOJ, FBi and DHS in connection with BT’s acquisition of Infonet. These security
assurances relate to the combined network facilities of BT and Infonet physically located in the
United States (“BT U.S. Facilities”) and will be effective immediately upon consummation of
the acquisition of Infonet by BT.

                Specifically, following consummation of the transaction, BT will maintain
security policies designed to protect BT U.S. Facilities, safeguard U.S. Customer Data, as
hereinafier defined, respond to security incidents, and comply with U.S. law enforcement
requests. In furtherance of the foregoing security objectives, BT undertakes the following:



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                                                                                    Page 2


    Maintenance of U.S. Security Policy and Ooeratlonal Plan. BT will maintain a
    secwity policy and operational plan for the BT U.S. Facilities (the “Security Policy”),
    including all of the elements set forth below. The Security Policy will address BT’s
    broad security objectives with respect to its U.S. Facilities as well as specific
    standards and practices to be applied in the BT organization including, but not limited
    to, facility access, security management, employee screening, cooperation with U.S.
    law enforcement and related matters.

    Desfanation of U.S. Security Committee. BT will designate at least two (2) persons
    to serve as members of a security committee (the “Security Committee”). BT
   contemplates that the Security Committee initially will be comprised of four persons:
   (i) the BT Americas General Counsel; (ii) the Head of U.S. Network Operations. (iii)
   the U.S. Security Officer; and (iv) the U.S. Law Enforcement Primary Contact
   Person. BT expects that the composition and number of members of the Security
   Committee may change from time to time, but in any event will have a minimum of
   two members, one of which will be the BT Americas General Counsel and one of
   which will be the Head of U.S. Network Operations. The Security Committee will
   meet periodically (no less than quarterly) to review the Security Policy and confirm
   that BT is in operational compliance with the Security Policy. The Security
   Committee will be responsible for ensuring that the Security Policy is followed in the
   event of a high level threat or national emergency in the United States. The Security
   Committee will also be responsible for making appropriate revisions to the Security
   Policy as needed in light of changes and modifications to the BT global network. The
   members of the Security Committee will be resident U.S. citizens and will be subject
   to the third-party, pre-employment screening process at the higher level described
   below.

3. Desl~natlon of U.S. Security Officer. BT will designate a Security Officer for the1
   BT U.S. Facilities. The Security Officer will oversee the day-to-day implementation
   and maintenance of the Security Policy for the BT U.S. Facilities. The Security
   Officer will report to the Security Committee. The Security Officer will be a resident
   U.S. citizen and will be subject to the pre-employment screening process at the higher
   level described below.

   Desl2nation of U.S. Network Security Response Team. BT will designate a U.S.
   Network Security Response Team to support and manage BT’s U.S. Facilities. The
   U.S. Network Security Response Team will consist of key personnel from across BT
   Americas and will have the primary responsibility of assuming ultimate control of BT
   U.S. Facilities in the event of a high level threat or U.S. national emergency,
   including (i) terminating control of U.S. Facilities by persons outside the United
   States; (ii) performing network changes as required, and (iii) maintaining functions to
   minimize the impact of such threat or emergency to BT’s customers. For purposes of
   the foregoing, to “assume control” in this context means to take necessary action to
   prohibit personnel physically located outside the United States from performing
   activities directly related to the physical operation of BT’s U.S. Facilities, including
   but not limited to surveillance, maintenance, integration, commissioning and network
   management functions.


                                                                                       Page 3

 5. Compliance with U.S. Law Enforcement Requests. BT will maintain policies and
     procedures for the provision of, or for providing access to, within the United States,
     electronic or wire communications (whether stored or real-time), subscriber
     information, billing and transactional records of U.S. subscribers (the “U.S. Customer
     Data”) requested by U.S. law enforcement agencies, either pursuant to lawful U.S.
     process or as otherwise permitted by law. BT will designate one or more points of
     contact at an office within the United States to receive and process, in a secure and
     efficient manner, requests for assistance from U.S. law enforcement agencies,
     including requests for interception or surveillance of communications and compliance
     with subpoenas or other lawful demands for disclosure of, or access to, BT’s records.
     Such assistance will include, but not be limited to, disclosure, if necessary, of
    technical and engineering information relating to the design, maintenance or
    operation of BT’s systems. BT and the law enforcement agency seeking the
    assistance will work together to determine what assistance is reasonable, taking into
    account the investigative needs of the agency and BT’s commercial interests. BT will
    designate a screened technical official to assist, where applicable, in execution of
    such requests for assistance from law enforcement agencies. BT also will provide for
    the confidential treatment, and prohibition of unauthorized disclosure, of the record of
    such requests and all information supplied to law enforcement in response to such
    requests. Upon designation, BT will notify the FBI, DOJ and DHS in writing of the
    points of contact, and thereafter will promptly notify the FBI, DOJ and DHS of any
    change in such designation. The points of contact will be resident U.S. citizens and
    will be subject to the pre-employnient screening process at the higher level described
    below.

6. Maintenance of Access Control Policy. BT will maintain an access control policy
   (the “Access Control Policy”), which policy will include access control requirements
   for BT’s U.S. Facilities. The Access Control Policy will require in particular that all
   BT U.S. Facilities be secured and that, while on the premises of BT U.S. Facilities, all
   employees and visitors must display appropriate identification. The Access Control
   Policy will also provide that approved visitors are escorted by a BT employee at such
   times that said visitor has access to U.S. communications or network infrastructure.
   The minimum requirements for access by any person to any BT U.S. Facility will be
   that the person (i) is an employee and is based in that particular facility: or (ii) is an
   expected visitor and has made arrangements for entry with a BT employee host.

7. Requirement of Unique User Identification. BT’s Access Control Policy will
   require that each user of computer systems associated with BT’s U.S. Facilities be
   assigned a unique user ID and password for purposes of accessing such systems.
   Further, access will be granted solely on an “as needed” basis, with individuals
   obtaining access exclusively to the systems needed to perform their specific job
   obligations.

8. Network Monitorinli. BT will monitor its U.S. Facilities in order to detect and
   prevent malicious access attempts, as well as to resolve technical faults and potential
   security vulnerabilities. U.S. resident personnel will control the U.S. portions of BT’s
   network with respect to integration, commissioning, and implementation of network


                                                                                   Page 4

    and customer equipment, bandwidth activations, node site management and technical
    assistance. U.S.-resident personnel will also maintain the ability to assume control
    over the U.S. portions of the network, including the ability to terminate control by
    personnel located outside of the U.S. in the event of a high level threat or national
    emergency.

9. Maintenance of Screenin2 and Non-Disclosure Reuuirements. BT will require
   pre-employmcnt screening and non-disclosure commitments prior to hiring new
   employees with access to the BT U.S. Facilities. Higher-level screening will be
   mandatory for officers of BT and those individuals who already hold, or will hold,
   particularly sensitive network positions (“Sensitive Network Personnel”), including
   the members of the Security Committee, the Security Officer, the U.S. Network
   Security Response Team and the technical official referenced in Paragraph 5 above.
   The list of positions designated as Sensitive Network Personnel will be reviewed
   periodically by the Security Officer and approved by the Security Commiftee to
   ensure that the appropriate persons are so designated and have been properly screened
   according to the Security Policy. Prior to such approval, BT will provide 003, FBI,
   and DHS a two week comment period to review the initial list of Sensitive Network
   Personnel positions and to provide input into the required level of screening for
   certain sensitive positions. BT will promptly notify DOJ, FBI and DHS of any
   material changes made in the list thereafter.
10. Protection of U.S. Customer Data. BT’s Security Policy will include appropriate
    policies and procedures, consistent with BT’s compliance with U.S. and foreign laws,
     to protect U.S. Customer Data from unauthorized access and from mandatory
    destruction under any foreign laws, and to require prior consent of the DOJ, FBI and
    OHS before disclosing U.S. Customer Data to non-U.S. persons who are not
    screened, consistent with BT’s Security Policy, to a level commensurate with the
    sensitivity of the data to which they have access. Such prior consent is not required
    for compulsory disclosure pursuant to valid legal process enforceable by a non-U.S.
    government, in which case BT will give prompt notice to DOJ, FBI and OHS, of the
    service upon BT of any such process so long as such notice to DOJ, FBI and DHS is
    not in violation of foreign law. Should any non-U.S. person have access to the
    content of communications, they would he screened to a substantively identical level
    as would Sensitive Network Personnel, consistent with the law of the jurisdiction
    governing such screening. Unauthorized disclosure of U.S. Customer Data will be
    required to be reported promptly to the Security Committee, which will investigate
   the matter and make referrals to U.S. law enforcement when it reasonably appears
   that U.S. law may have been violated, with a copy of any such referral to DO), FBI
   and OHS. BT’s policies regulating the disclosure of U.S. Customer Data will also
   apply to agents and contractors of BT through non-disclosure agreements, as
   appropriate.

11. Reportin2 of Network Changes. BT’s Security Policy will require that any major
    acquisitions, modifications, upgrades or changes made to BT’s U.S. Facilities,
    including network operating systems, software and access security be promptly
    reported to the Security Officer and the Head of U.S. Network Operations.


                                                                                              Page 5

         12. Reportin! of Securhy Breaches. BT’s Security Policy will require that all breaches
             and suspected breaches of network security that directly and significantly impact the
             operations or overall management of BT’s U.S. Facilities will be promptly reported to
             the Security Committee. The Security Policy will further require that such matters be
             investigated by the BT Americas General Counsel and the Security Officer, and that
             referrals be made to U.S. law enforcement when it reasonably appears that U.S. law
             may have been violated, with a copy of any such referral to DOJ, FBI and DHS.
             BT’s Security Policy also will require that the Security Officer maintain a record of
             such actual or suspected breaches. DOJ, FBI and DHS will have a right, with two
             weeks notice to BT Americas General Counsel and the Security Officer, to inspect the
            record of reports of all breaches and suspected breaches to the Security Committee,
            and to obtain on request a brief report of investigation in any matter of concern.
                                              *      *       *


                  The assurances provided in this letter reflect BT’s commitment to maintaining
secure facilities in the United States, as ~ve11 as BT’s desire to continue its strong working
relationship with the United States government. Should there be any material changes with
respect to BT’s security arrangements, or in the facts and circumstances set forth in this letter, or
in the letter of November 18, 2004, to DOJ, FBI, DHS, and other U.S. Government agencies, BT
will promptly notify DOJ, FBI, and DHS. Should you have any questions regarding any aspect
of this letter, please do not hesitate to contact the undersigned.

                                                              Very truly yours,

                                                             British Telecommunications plc
                                                             Dat(c_~—~’L ~

                                                             By:   __________________




                                                             Printed Name: ‘T     ~


                                                             Title: ~                  C~~—
                                                                     C...LO~r-         ~~g~JLCE~



Document Created: 2019-07-10 08:30:24
Document Modified: 2019-07-10 08:30:24

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