Attachment 20170831131018-270.p

20170831131018-270.p

SUPPLEMENT

Supplement

2007-01-09

This document pretains to ITC-214-20060608-00309 for International Global Resale Authority on a International Telecommunications filing.

IBFS_ITC2142006060800309_1626613

                                          Before the
                     FEDERAL COMMUNICATION                                                     COMMISSION
                              Washington, DC 2/                                                54


In the Matter of




                                                   No ho Nt Nt Nt Nt Nt Nt Ned Ned Ned Nt Nt
The Pager Company
d/b/a The Pager & Phone Company
(EFRN 0008410409)

Application for Global International
Facilities—Based and Resold Authority

Pursuant to Section 214                                                                        File No. ITC—214—
of the Communications Act of 1934,
As Amended




                                        APPLICATIO!

        The Pager Company d/b/a The Pager & PI ie Company ("Pager & Phone" or
"Applicant"), by its attorneys and pursuant to Section 2    of the Communications Act of 1934,
as amended ("the Act"), 47 U.S.C. § 214, hereby requ s global authority to: (1) operate as a
facilities—based carrier pursuant to the terms and co itions of Section 63.18(e)(1) of the
Commission‘s Rules, 47 C.F.R. § 63.18(e)(1), to al foreign points as authorized by the
Commission; and (2) operate as a resale carrier pursuar o the terms and conditions of Section
63.18(e)(2) of the Commission‘s Rules to all foreign poi ; as authorized by the Commission, 47
C.FR. § 63.18(e)(2). Pager & Phone has no affiliatio with any foreign carrier in any of the
destination countries for which authority is requested, 1   is Pager & Phone affiliated with any
dominant U.S. carrier whose services Pager & Phone ay resell. Thus, pursuant to Section
63.10(a)(1), Pager & Phone should be classified as a non—dominant carrier in its provision of
international service on all routes. 47 C.F.R. § 63.10(a)(1). Furthermore, as explained herein,
this Application is entitled to streamlined processing under Section 63.12 of the Commission‘s
Rules. 47 C.F.R. § 63.12.

       In support of this Application, Pager & Phone submits the following information
pursuant to Section 63.18 of the Commission‘s Rules, 47 C.F.R. § 63.18:

       (a) The name, address and telephone number of the Applicant is:

               The Pager Company
               d/b/a The Pager & Phone Company
               2800 E. 18th Street
               Kansas City, MO 64127
               816.483.3301 ext. 4802


       (b) EP    er & Phone is a corporation organized u_   t      laws of the state of Missouri.

        (c) C_   respondence concerning this Applicatior    1ou    be addressed to:

                 Zenas J. Choi, Esq.
                 Wendy M. Creeden, Esq.
                 SONNENSCHEIN NATH & ROSENTHAL LL.
                 1301 K Street, N.W.
                 suite 600, East Tower
                 Washington, DC 20005

       with      sies to:

                 Dale Schmick — CEO
                 I‘HEB PAGER COMPANY
                 D/B/A THE PAGER& PHONE COMPANY
                 2800 E. 18th Street
                 <Tansas City, MO 64127

       (d) I     ;er & Phone has not previously received    ter    ional Section 214 authority from
the Commis:      —a.

        (e)      ger & Phone is applying for authority      > ¢    rate as a facilities—based carrier
pursuant to      : terms and conditions of Section 63.1     :)(     of the Commission‘s Rules, 47
C.FR. § 63        (e)(1), and as a resale carrier pursuan   > t    terms and conditions of Section
63.18(e)(2)        the Commission‘s Rules. 47 C.F.R.        33.    e)(2). Pager & Phone requests
authority to     ve all countries permitted under a grant    glk   1 authority. As evidenced by the
certification    ovided in Attachment A, Pager & EP         ne     ill comply with the terms and
conditions c      ained in Section 63.21, 63.22 and 63.2    oft    Commission‘s Rules. 47 C.F.R.
§§ 63.21—23.

        (f) m this time, Pager & Phone does not seek authority to provide services not
referenced under paragraph (e) of Section 63.18 of the Commission‘s Rules. 47 C.ER.
§ 63.18(e).

       (g) Pager & Phone will use previously authorized facilities to provide the services
requested under the Application. Consequently, Pager & Phone is categorically excluded from
environmental assessment pursuant to Section 1.1306 of the Commission‘s Rules. 47 C.F.R.
§ 1.1306.

       (h) Pager & Phone is a privately—held company. 80% of Pager & Phone is owned by
David Garza, 10% by Dale Schmick, and 10% by Paul Hicks, all U.S. citizens whose principal
business is telecommunications. The address for Mr. Garza, Mr. Schmick and Mr. Hicks is 2800
E. 18th Street, Kansas City, MO 64127. Applicant does not have any interlocking directorates
with a foreign carrier.


        (i) As evidenced by the certification attached hereto as Attachment A, Pager & Phone is
not affiliated with a foreign carrier.

        (j) As evidenced by the certification attached hereto as Attachment A, Pager & Phone
does not seek to provide international telecommunications service to any destination where: (1)
Pager & Phone is a foreign carrier in that country; (2) Pager & Phone controls a foreign carrier in
that country; (3) any entity that owns more than a 25% interest in Pager & Phone or controls
Pager & Phone, controls a foreign carrier in that country; or (4) two or more parties own, in the
aggregate, more than 25% of Pager & Phone and are parties to, or the beneficiaries of, a
contractual relationship that affects the provision or marketing of international basic
telecommunications services in the United States.

        (k) Not applicable; Pager & Phone is not affiliated or otherwise related to any foreign
carrier on any of the routes which Pager & Phone proposes to provide service under this
Application.

        (1) Not applicable; Pager & Phone is not a foreign carrier andis not affiliated with a
foreign carrier on any of the routes it proposes to resell international telecommunications service.

       (m) Not applicable; Pager & Phone is not affiliated with any foreign carrier on any of the
routes it proposes to provide services.

        (n) As evidenced by the certification provided in Attachment A, Pager & Phone has not
agreed to accept special concessions directly or indirectly fromany foreign carrier with respect
to any U.S. international route on which the foreign carrier possesses sufficient market power on
the foreign end of the route to affect competition adversely in the U.S. market and will not enter
into such agreements in the future.

       (0) As evidenced by the certification provided in Attachment A, no party to this
Application is subject to a denial of Federal benefits pursuant to Section 5301 of the Anti—Drug
Abuse Act of 1988.

        (p) Pager & Phone respectfully requests streamlined processing of this Application
pursuant to Section 63.12. This Application qualifies for streamlined processing for the
following reasons: (1) Pager & Phone is not affiliated with a foreign carrier on any route for
which authority is sought; (2) Pager & Phone is not affiliated with any dominant U.S. carrier
whose international switched or private lines services it seeks to resell; and (3) Pager & Phone is
not requesting authority to provide switched service over private lines to countries not previously
authorized for service by the Commission.


       Wherefore, Pager & Phone respectfully requests that the Commission grant it authority to
provide international telecommunications services on a facilities and resale basis pursuant to
Section 214 of the Communications Act of 1934, as amended.




                                    Respectfully submitted,


                                      Diuey M. (re_——
                                    Zenas J. Choi, Esq.
                                    Wendy M. Creeden, Esq.
                                    SONNENSCHEIN, NATH & ROSENTHAL LLC
                                    1301 K Street, N.W.
                                    Suite 600, East Tower
                                    Washington, DC 20005—3364
                                    202.408.6479 Tel
                                    202.408.6399 Fax
                                    zchoi@sonnenschein.com
                                    wereeden@sonnenschein.com

                                    Counsel for The Pager Company
                                    d/b/a The Pager & Phone Company


Dated: June 8, 2006


                                          AttachmentA

                                         CERTIFICATE

         The undersigned hersby certifies, on behalf of The Pager Company d/b/a The Pager &
 Phone Company ("Pager & Phone"), with respect to the foregoing Application for Global
 International Facilities—Based and Resold Authorty Pursuant to Section 214 of the
 Communications Act of 1934, as Amended, that:

         1.   . Pager & Phone is not affiliated with any foreign carrier in any of the countries to
 which Pager & FPhone proposes to provide service in the foregoing Application.

        7.      Pager & Phone will comply with the terms and conditions contained in Sections
 63.21, 63.22 and 63.23 ofthe Commission‘s Rules. 47 C.F.R. §§ 63.21—.23.

        2+      Pager & Phone does not seek to provide international telecommunications service
  to any destination where: (i) Pager & Phone is a foreign carrier in that countty; (ii) Pager &
  Phone controls a foreign carrier in that country; (ii1) any entity that owns more than a 25%
~ interest in Pager & Phone, or controls Pager & Phone, controls a foreign carrier in that country;
 or (iv) two or more partics own, in the aggregats, more than 25% of Pager & Phone and ars
 parties to, or the beneficiaries of, a contractual relationship that affects that provision or
 marketing of international bagic telecommunications services in the United States.

        4,      Pager & Phone has not agreed to accept special concessions directly or indirectly
 from any foreign carrier with respect to any U.S. international route where the foreign carrier
 possesses sufficient market power on the foreign end of the route to affect competition adversely
 in the U.S. market and will not enter into such agreements in the future.

        S.     No party to this Application is subject to a denial for Federal benefits pursuant to
 Section 5301 ofthe Anti—Drug Abuse Act of 1988, 21 U.S.C. § £53(a).


                                              The Pager Compa%
                                              d/b/a The Pa    hone Company

                                              By:      /    *~       '
                                              Title:   _Chiel Excestet (MAirer—

                                               Date:   6@/‘:‘@


S—nnenschein
SONNENSCHEIN NATH & ROSENTHAL LLP
                                                                                             1301 k Street NW
                                                                                             ,
                                                                                          Suite 600, East Tower
                                                                                                                      Chicage
                                                                                  Wwashington, D.C. 20005—3364        /.. Clity
                                                                                                     202,408.6400     Los Angeles
                                                                                                  202.408.6?39? fax   New Yont
                                                                                      www.sonnenschein.com            Phoenix

                                                                                                                      Sen Franzisco
                                     REC EIVI i)                                                                      Short Hills, N.J.
                                                                                                                      St. Lo uis
                                       JA N                                                                            Washington, D.C.
                                              1 0 20. 17                                                               West Palin Beach
                                        Policy Divisios
                                     Internat) nal Bure AL
January 9, 2007
UP counesk                                                                               FI LED/ACCEPTED;
Marlene H. Dortch, Secretary
                                                                                                  JAN — 9 2007
Federal Communications Comtaission                                                      Federal Comit unications Commission
c/o Natek, Inc., Inc.                                                                          Of Ice af the Secretary
236 Massachusetts Avenue, N.J1.
Suite 110
Washington, DC 2 )002

        Re:       YourTel America, Inc. f/k a The P igr °c nj any (FRN: 000f 410409)
                  In ernational Section 214 \uthori at 01
                TITC—214—20060608—00309

Dear Secretary Dortch:

        This letter hereby notifies the Comr ission o0    ‘tl e    hs       1g   : in the name of he Pager Company
d/b/a The Pager & Phone Company to Your "el Ame           ic i,:   16        T   ie Pager Company was granted the
above—referenced international Section 214 . wuthoriz     ti n,    [T       5—    14—20060608—00309, effective June 30,
2006. The Pager Company recently change«. its nam         :t )*    ou       ‘T   : America, Inc., and by this letter,
respectfully requests that the Commission update its      ‘ecor    s        or   its international 214 authorization
accordingly.

        Please contact me at (202) 408—6479 should have any questions regarding this notice.

                                                   S!int ely,           |                     L


                                                    V TWM Wb__.
                                                   Wendy M. Creeden

                                                   Counsel for YourTel America, Inc.
                                                   f/k/a The Pager Company

£e:     Matt Connolly (Pager)



Document Created: 2019-11-03 11:30:55
Document Modified: 2019-11-03 11:30:55

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