Attachment 20170124163706-913.p

20170124163706-913.p

SUPPLEMENT

Supplement

1998-11-10

This document pretains to ITC-214-19981110-00795 for International Global Resale Authority on a International Telecommunications filing.

IBFS_ITC2141998111000795_1396532

                                                           Streamlined    ITC—214—19981110—00795
                                                           OSAN COMMUNICATION, INC.




                     Categories of Services for 214 Applications
                         «...   _(Streaml ifl:\ze /Non—streamline)



                  ASSIGNMENT OF LICENSE
DDDDD&D




                  CLOBAL FACILITIES—BASED SERVICE
                  GLOBAL FACILITIES—BASED/GLOBAL RESALE SERVICE
                  GLOBAL RESALE SERVICE              f
                  INDIVIDUAL FACILITIES—BASED SERVICE
                  INTERCONNECTED PRIVATE LINE RESALE SERVICE
                  LIMITED GLOBAL FACILITIES—BASED SERVICE/LIMITED
                   CLOBAL RESALE SERVICE
                  LIMITED GLOBAL F;EELITIESnBASED SERVICE
 A 9A A o o o o




                  LIMITED GLOBAL RESALE SERVICE
                  INMARSAT AND MOBILE SATELLITE SERVICE
                  SWITCHED RESALE SERVICE
                  ~TRANSFER OF CONTROL—
                  SUBMARINE CABLE LANDING LICENSE
                  INTERNATIONAL SPECIAL PROJECT




    Description of Application:


                                    Before the
                       FEDERAL COMMUNICATIONS COMMISSION
                                     Washington D.C. 20554


                                                      )
In the Matter of                                      )
                                                      )
OsSaAN COMMUNICATION, INC.                            )
                                                      )   File No. ITC—98 __
Application for global facilities authority           ) Tea3a\4—14 Ci%l |(o—067 5
pursuant to §214 of the Communications Act            J —   .
of 1934, as amended.                                  )
                                                      )
                                                      )

                                         APPLICATION

        OSAN COMMUNICATION, INC. (hereinafter "OSAN"), by counsel, pursuant to §214

of the Communications Act of 1934, as amended," and §63.18 of the Commission‘s Rules,"

hereby requests global facilities authorization to permit OSANto provide international

communications services. As stated herein, OSAN is not a facilities basedcarrier, however, in

anticipation of the possibility in the future, OSAN is requesting facilities based carrier authority

in addition to its present capacity. OSAN is legally, financially, and technically qualified to

provide the service proposed in this application.

        This application is subject to the FCC‘s streamlined processing procedures applicable to

eligible §214 applications.

        As fully described herein, grant of authority to provide international communications

services will allow OSAN‘ s customers long distance communication abilities between the

United States and others residing or doing business in foreign countries. Accordingly, grant of




‘ 47 U.S.C. §214 (1998)
2 47 C.FR. §63.18 (1998)


this application will benefit the public interest by permitting OSAN to provide consumer friendly

and cost effecting long distance telephone services for its customers.



L.       DESCRIPTION OF THE APPLICANT




         A. Legal Description:

         OSAN is a corporation incorporated in the State of Florida and is wholly owned by

         Bertalina Cardenas who holds100% of the stock.




         B. Technical Description:

               OSAN seeks authority to operate an international telephone network using a packet

         switching and "Voice over IP" and "Voice over Frame" technology. OSAN carries the

         traffic via terrestrial leased lines, leased satellite earth station facilities, and leased

         satellite circuits in the U.S.A. OSAN presently owns no equipment. As such, OSAN is

         not a facilities—based carrier." However, OSAN is requesting facilities—based carrier

         authority in this application, in anticipation of the possibility of acquiring equipment in

         the future that would qualify it as a facilities—basedcarrier.

                  OSAN is a United States carrier that has no affiliation with, and is not itself, a

         foreign carrier" in any country to which it provides services, and is therefore, non—

         dominant carrier for the provision of international communications services."




* See 47 C.F.R. §63.12, Note to Paragraph (c)
* See definitions set forth in 47 C.F.R. §63.18 (h)(1)(I) and (ii); and §63.10 (a)


         C. Business/Contractual Description

              OSAN contracts with long distance carriers in the United States. Contracts are to

         deliver voice and facsimiletraffic to foreign countries. The U.S. carriers deliver the

         traffic to OSAN in New York City, New York. The contracts call for OSAN to deliver

         and terminate the calls in foreign countries. To fulfill these contracts, OSAN has

         contracts with transmission companies to transmit the traffic to the foreign country.

         OSAN has further contracts with foreign telephone companies to receive the traffic and

         terminate in that country.




IL.      PUBLIC INTEREST CONSIDERATIONS

         OSAN‘s ability to enter the international telecommunications market place will promote

         competition domestically and abroad, thus helping to lower prices and consequently

         causing a more efficient use of the domestic and international telecommunications

         infrastructure. Furthermore, United States consumers, and their counterparts abroad, will

         benefit from lower prices. In addition to economic—price advantages to consumers,

         OSAN‘s development and deploymentof advanced telecommunications technologies

         will benefit consumers. OSAN is now using recently developed Voice Over IP ("VOIP")

         and Voice Over Frame Relay ("VOF") technologies. Approval of OSAN‘s application

         will benefit consumers as they will have greater access to these technologies.




5 See §63.10 (a)(1)


IIL.       INFORMATION REQUIREDBY §63.18


(a) Name, Address and Telephone number of applicant.

           OSAN COMMUNICATION, INC.
           Bertalina Cardenas
           Director and President
           635 S.W. 114 Ave.
           Miami, FL 33174
           Telephone (305) 380—9990

(b) Florida. OSAN is a Corporation organizedin and under the laws of the State of Florida...

(c) Address all correspondence to:

           DAVID B. ALBO
           Counsel to OSAN COMMUNICATION, INC.
           Albo & Oblon, L.L.P.
           6350 Rolling Mill, PL.
           Suite 102
           Springfield, VA 22152
           (70O3) 455—0046



          Bertalina Cardenas
          Director and President
           OSAN COMMUNICATION, INC.
           635 S.W. 114 Ave.
          Miami, FL 33174
           Telephone (305) 380—9990

(d) OSAN has not previously received authority under 47 U.S.C. §214.

(e) (6): OSAN is applying for authority to acquire facilities or to provide services not covered by

       §63.18(e)(1)—(5). OSAN‘s description of the facilities and services for which it seeks

       authorization is set forth above in section I. Description of the Applicant. Although OSAN

       is not presently a facilities—based carrier, OSAN is requesting such authority in addition to


     what it needs at this time in anticipation of acquiring equipment in the future that would

     qualify it as a facilities—based carrier.

(f) Not applicable

(g) Not applicable

(h) By the attached certification, OSAN certifies that it has no affiliation with any foreign

     carrier, as defined by §63.18(h)(1) of the Commission‘s Rules. In support of this

     certification, attached hereto as Exhibit A is a iist of OSAN‘s shareholders, including the

     address, citizenship and principal businessof each such shareholder. In addition, attached

     hereto as Exhibit B is a list of all interlocking directorates held by OSAN‘s directors. OSAN

     further certifies that it is not affiliated with U.S. carrier(s) whose facilities—based services(s)

     OSAN leases or otherwise contracts.

     By the attached certification, OSAN certifies that, except as permitted by the Commission‘s

     Rules, as amended from time to time, OSAN has not agreed to accept any special

     concessions, directly or indirectly from any foreign carrier or administration with respect to

     traffic or revenue flows between the U.S. and any foreign country which OSAN may be

     authorized to serve and it will not enter into agreements in the future.

0)   By the attached certification and as required by §63.18(j) of the Commission‘s rules, OSAN

     certifies that no party to this Application is subject to a denial of Federal benefits pursuant to

     §5301 of the Anti—Drug Abuse Act of 1988.


IV.     CONCLUSION

        For the reasons stated above, OSAN COMMUNICATION, INC., submits that the public

interest, convenience and necessity would be furthered by a grant of this application for global

facilities authorization to provide international communications services as both a non—facilities—

based carrier and a facilities—based carrier.




                                                RESPECTFULLY SUBMITTED

                                                OsSAN COMMUNICATIONS, INC.


                                                            C             Tz
                                                BY:    BERTALINA CARDENAS
                                                      Director and President




        ALBO & OBLON, LLP.




      oéT_/David B. AIN
                Counsel to Applicant
                6350 Rolling Mill PIL.
                Suite 102
                Springfield, VA 22152
                (703) 455—0046
                Va Bar #28488


                            CERTIFICATION OF APPLICANT


        On behalf of OSAN COMMUNICATION, INC., and in accordance with Section

1.2001—1.2003 of the Communication‘s Rules, 47 C.F.R. §§1.2001—1.2003, I hereby

certify that no party to this application is subject to a denial of Federal benefits that

includes FCC benefits pursuant to Section 5301 of the Anti—Drug Abuse Act of 1988.

iSee 21 U.S.C. 853a. I also hereby certify that the statements in the foregoing application

for special temporary authority are true, complete, and correct to the best of my

knowledge and are made in good faith.

       Except to the extent authorized under 47 C.F.R. 63.14, as it may be amended from

time to time, OSAN COMMUNICATION, INC. hasnot agreed to accept any concession

directly nor indirectly from any foreign carrier or administration with respect to traffic or

revenue flow between the United States and various international points under Section

214 of the Communications Act of 1934, as amended, and the Commission‘s Rules, and

has not agreed to enter into such agreements in the future.



                                       OsSAN SOMMUNICATIONS, INC.


                                       wemy
          il 3___, 1998              /@%_@M
                                       By:      BERTALINA CARDENAS
                                               Director & President


                                 EXHIBIT
                          LIST OF SHAREHOLDERS OF
                         OSAN COMMUNICATIONS, INC.


BERTALINA CARDENAS
100% Shareholder
Director and President

       Address:
       OsSAN COMMUNICATION, INC.
       635 S.W. 114 Ave.
       Miami, FL 33174
       Telephone (305) 380—9990

       U.S. Citizen


                        EXHIBIT B

               INTERLOCKING DIRECTORIES OF
           OsSAN COMMUNICATION, INC. DIRECTORS


OSAN COMMUNICATIONS, INC. INTERLOCKING DIRECTORIES

BERTALINA CARDENAS
Director                       No other Directorships


NOY—21—98          B1 :04     PM      ALBO&OBLON                            T93   455   o043




                                           A.lbo & Oblot , L.L.P.
                                            Attorneys & Counse ors at Law
   Main Office                                                                      Fairp ux City Branch Office
   6350 Rolling Mill Place                                                             4101 Chain Bridge Road
   Suite 102                                                                                           Suite 209
   Springfield, Virginia 22151                                                          Fairfax, Virginia 22030

   Albo Direct Diat: (703) 455 00 16                                          Arlington County Branch Office
       Telecopler:; {703) 485—00)43                                                     1918 Wilson Boulevard
       E—Mail: dave@davealbc.co n                                                                     Suite 209
                                                                                     Arlington, Virginia 22201
       David B. Albo
       David A. Oblon*
       Seth C. Berenzweig,+*°

       Brinton T. Warren                                                          +Also : dmitted in Maryland
       Oliver A, Potts                                                                 *Also admiited in D.C.
       Jujiet D. Hiznay                                                       °Also admitted in Pennsylvania


                                               Nove ml er 21. 1598

       Ms. Fran Eisenstein
       Federal Communicatio:is Commistion.

       Via facsimile (202) 418 —21,24

       RE:     OSAN Commuaicition, In. 1‘CC §21) appl caion.

       Dear Ms. Eisenstein:

             Thank you for y ou © inform{ tiv s call n Novenb :r 19°" regarding the application I filec!
       for OSAN Communica io:i, Inc. fo: authority u nder {21 4 of the Communications Act of 1934.

           As you stated, riy ipplication yas conf ising »ecause it applied under §63.18(e)(6). 1 id
   this because according o jny interf retation of { 63.18, § }{e){(1)—{e)(5) did not seem to apply.

   :           As I mentioned on the telephone, OSAN Communication, Inc. owns absolutely no
   equipment. It leases all equipment from companies to transfer its customer‘s signals from the
   U.S. to a foreign country,.

          This being the case, as you have informed me, I should have applied under §63.18(c)(1).
   Therefore, by this letter, I would like to confirm that it is OSAN Communication, Inc.‘s intention
   to apply under §63.18(e)(1).

                                             Kind Regards,



Document Created: 2019-05-24 09:16:55
Document Modified: 2019-05-24 09:16:55

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