Attachment 20161229133254-850.p

20161229133254-850.p

SUPPLEMENT

Supplement

2000-01-25

This document pretains to ITC-214-20000125-00039 for International Global Resale Authority on a International Telecommunications filing.

IBFS_ITC2142000012500039_1387674

       Categorie           ces for
               (StreamlinefiNon-st




)    LIMITED/GLOBAL RESALE SERVIC
C        TED/GLOBAL FACILITIES—BA
Q///iiziTED/GLOBAL FACILITIES—BA
C    INDIVIDUAL FACILITIES—BASED
E3   INTERCONNECTED PRIVATE LINE
C    INMARSAT AND MOBILE SATELLIT
[    INTERNATIONAL SPECIAL PROJEC
C    SWITCHED RESALE SERVICE
@    TRANSFER OF CONTROL
C    ASSIGNMENT OF LICENSE
&    PRO FORMA TRANSFER/ASSIGNMENT
(@   SPECIAL TEMPORARY AUTHORITY
C    SUBMARINE CABLE LANDING LICENSE




Description of Application:


                                               Before the

                         ‘EDE 2iAL COMMUNITATIONS COMMISSI DN

                                         Wastingtoi, D.C. 20554


n the Matter of                                 )
ZONE.NET, LLC                                   )
 Application for authority pur: uant       )            File No. L T.C.—   n
~o Section 214 of the Commu nicati ons Act )
f 192 4, as amencled, fcr glot al authority     )       Application
:0 operate as an it ternaiional                 )
"acilities—based ar d resile can rier           )




       Fone.Net, LLC ("Fone .Net", hereby recuests authority, to prov de glivbal international

esale services beween the U nited States and international point: purs r1ant t> Section 214 of the

Communications Act 0| 1934 , as ainended, 47 U.S.C. Section 214 (1982), and Section

63.18(e)(1) of the Commissic n‘s Rules, 47 C.F.R. Section 63.18.

       Fone.Net is a U.S. cor wpany organized to provide both domesti:: and nternational

telecommunicaticns services. Fone Net has no foreign affiliations. Fonz.Net serves business

customers throughout the United States.

       By granting this application, the Commission will serve the public interest, convenience

and necessity by promoting competition in the international services market. Competition will

benefit U.S. consumers by increasing service options and lowering prices.

       Thus, the public interest will be served by the grant of Section 214 authority to Fone.Net.

                                        Section 63.18 Information

        The following information is submitted, as required by Section 63.18 of the

Commission‘s Rules, in support of Fone.Net*‘ request for authorization.
                                                    1


       (a)     Fone.Net, LLC
               16 North Market Street
               Cortez, CO 81321
               970—564—1824

       (b)     Fone.Net is a corporation organized under the laws of the state of Colorado

       (c)     Correspundence consernirg this application should be sent to:

                          Dallas Parga
                          Eiusiness Manager
                          Fone.Net LLC
                          16 North Market Street
                          Cortez, CO 81321

               and

                          Stanley K. Stoll
                          ELACKBURN & STOLL, LC
                          77 West 200 South, Suite 400
                          Salt Lake City, Uts h 84101
                          {(301) 521—7900

       (d)     Fone.Net has not received authority previously un der Section 214 of the

               Commuiications Act.

       (e)     Fone.Net requests global rssale Section 214 authcrity pursuant to the terms and

               conditio is of Section 63.1 Me)(1) of th e Commission‘s Rules.

       (€)     At this t me, Fone.Net seeks no other authorization available under Section

               63.18(e).

       (g)     Not applicable.

       (h)     Fone.Net certifies that it is not affiliated with any foreign or U.S. facilities—based

               carrier.

       In support of this certification, the name, address, citizenship and ;

the shareholders that control ten percent or more of Fone.Net are as follow


                       None~~

                        Telecommunication Services
                        USA Citizenship

                       None

                        Telecommunication Services
                        USA Citizenship


       (1)      Fone.Net certifies that it has not agreed and will not agrice in the future to acce; t

                any direct or indirect special concessions from a foreign carticr or administraticn

                with regards to traffic or revenue flows between the United States a 1d an fore: gn

                countries the company is authorized to> serve.

       (J)      Fone.Net certifies that no party to this application has been denied federa

                benefits pursuant to Secticn 5301 of tie Anti—Drug Abuse Act of 1988.



                                             Conclusicn

       In conclusion, Fone.Net certifies that all of the information in tiis ap slication is riccur; te

and correct.

       For these reasons, Fone.Net respectfully requ »st that the Commission grant this

application.

Respectfully submitted,

Fone.Net, LLC

By: /s/ N//Z?l/( £ >             ),j
      Dallas Parga, Business Ma@éer
      Fone.Net LLC
      16 North Market Street
      Cortez, CO 81321
      USA
      Date:     January 21, 2000


       71926564335   TCA INC                                  686 PAZ           moar s3 ‘0@@   11:47




MEMO
To: Fran Eisenstein
From: Todd Houseman
RE: Fone.Net‘s Section 214 Application



In an effort to clear up the confusion rela ed to the Sectic i1 . 4 App icati n
for Fone.Net, LLC the following informa io 1i respectfu 1y M mit ec.

Fone.Net is a consortium of 12 Indépenc' sn : L scal Exch: ng :       omj an




                                                                                CV
operating in the state of Colorado. Each uf he companie i i           ved ha




                                                                                m
equal share in Fone.Net and therefore none of he shareh, 1d           om;p an




                                                                                3F
control 10 percent or more of Fone.Net.

Sorry for the confusion the original wording in the applicati         aused. I
further information is required, please do not hesitate to cor   2l   me. T i:       k
you for your attention to this matter.

Todd Houseman
Senior Consultant
TCA, Inc. — Telcom Consulting Associates
1465 Kelly Johnson Blyvd. — Suite 200
Colorado Springs, CO 80920
719—266—4334
719—266—4335 (fax)



Document Created: 2019-04-19 10:13:36
Document Modified: 2019-04-19 10:13:36

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