Attachment Petition

This document pretains to ITC-214-20120730-00191 for International Global Resale Authority on a International Telecommunications filing.

IBFS_ITC2142012073000191_961238

                                 Before the
                   FEDERAL COMMUNICATIONS COMMISSION
                            Washington, D.C. 20554

In the Matter of                                       )
                                                       )
Money Access Network, LLC                              )
                                                       )
Application pursuant to Section 214 of                 )   File No. ITC-214___________
the Communications Act of 1934, as amended             )
to provide global facilities-based and resale          )
 services                                              )


                                       APPLICATION

       Money Access Network, LLC. (“MONEY ACCESS” or “Applicant”), hereby requests

authority, pursuant to Section 214 of the Communications Act of 1934, as amended, 47 U.S.C. §

214 (1982), and Section 63.18 of the Federal Communications Commission's (“Commission”)

Rules, 47 C.F.R. § 63.18, to provide global facilities-based and resale international authority

between the United States and international points, except those international points not

authorized by the Commission (the “Application”).      MONEY ACCESS is a U.S. company

organized to provide international telecommunications services.    MONEY ACCESS has no

foreign affiliations. MONEY ACCESS serves residential and business customers throughout the

United States and the world. 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 MONEY

ACCESS.



                             SECTION 63.18 INFORMATION

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

Commission’s Rules, in support of MONEY ACCESS request for authorization:



                                                                                             1


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

            Money Access Network, LLC
            1811 Bering Drive, Suite 400
            Houston, TX 77057
            (713) 900-1100 phone

(b) MONEY ACCESS is a company organized under the laws of Texas

(c) Correspondence concerning this application should be sent to:

            Anne French
            Money Access Network, LLC
            1811 Bering Drive, Suite 400
            Houston, TX 77057

    with a copy to

            Raul Magallanes, Esq.
            The Law Office of Raul Magallanes, PLLC
            P.O. Box 1213,
            Houston, TX 77549

(d) MONEY ACCESS does not currently hold any 214 authorizations.

(e) MONEY ACCESS requests global facilities-based and resale Section 214 authority

    pursuant to the terms and conditions of Section 63.18(e)(1) and (2) of the Commission’s

    Rules, 47 C.F.R. §63.18(e)(1) and (2)

(f) At this time, MONEY ACCESS seeks no other authorization available under Section

    63.18(e).

(g) Not applicable.

(h) In support of this certification, the name, address, citizenship and principal business of

    the person(s) that control ten percent or more of MONEY ACCESS is as follows:

            Anne French
            1811 Bering Drive, Suite 400
            Houston, TX 77057
            Ownership: 100%
            Citizenship: USA
            Business: Telecommunications




                                                                                            2


(i) MONEY ACCESS certifies that it is not affiliated with any foreign or U.S. facilities-

    based carrier.

(j) MONEY ACCESS certifies that it does not seek to provide international

    telecommunications services to any destination country for which any of the following is

    true:

                     1. MONEY ACCESS is a foreign carrier in that country; or
                     2. MONEY ACCESS controls a foreign carrier in that country; or
                     3. Any entity that owns more than 25 percent of MONEY ACCESS, or
                        that controls MONEY ACCESS, controls a foreign carrier in that
                        country.

(k) No applicable.

(l) Not applicable.

(m) Not applicable.

(n) MONEY ACCESS certifies that it 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 market power on the foreign end of the route and will not

    enter into such agreements in the future.

(o) MONEY ACCESS certifies that pursuant to Sections 1.2001 through 1.2003 of the

    Commission’s Rules, no party to this Application has been denied federal benefits

    pursuant to Section 5301 of the Anti-Drug Abuse Act of 1988.

(p) MONEY ACCESS requests streamline processing pursuant to Section 63.12 of the

    Commission’s Rules. MONEY ACCESS certifies that:

                     1. It is not affiliated with a foreign carrier in a destination market it seeks
                        authority to serve;

                     2. It has no affiliation with a dominant U.S. carrier whose international
                        switched or private line services MONEY ACCESS seeks authority to
                        resell either directly or indirectly through the resale of another
                        reseller’s services;

                     3. It does not seek authority to provide switched basic services over
                        private lines to a country for which the Commission has not previously
                        authorized the provision of switched services over private lines; and


                                                                                                  3


                        4. The Commission has not informed MONEY ACCESS in writing that
                           this Application is not eligible for streamline processing.




                                        CONCLUSION

   In conclusion, MONEY ACCESS certifies that all of the information in this Application is

accurate and correct.     For these reasons, MONEY ACCESS respectfully requests that the

Commission grant this Application.




                                              Respectfully submitted,

                                              Money Access Network, LLC.

                                       By:    /s/ Anne French
                                              Anne French, President




       Date: July 26, 2012




                                                                                         4



Document Created: 2012-07-26 23:48:49
Document Modified: 2012-07-26 23:48:49

© 2024 FCC.report
This site is not affiliated with or endorsed by the FCC