The People's Operati

Section 1.65 Notification submitted by The People's Operator USA, LLC

Rule 1.65 Notice

2015-03-10

This document pretains to ITC-214-20141219-00324 for International Global Resale Authority on a International Telecommunications filing.

IBFS_ITC2142014121900324_1078880

                       LLP



Michael H. Pryor
T: +1 202 776 2339
mpryor@cooley.com




                                                  March 10, 2015


Via IBFS

Marlene H. Dortch
Secretary
Federal Communications Commission
445 12th Street SW
Washington, DC 20554

        RE:        ITC—214—20141219—00327

Dear Mrs. Dortch

        Pursuant to Section 1.65 of the rules of the Federal Communications Commission
("FCC"), The People‘s Operator USA, LLC ("the Applicant") hereby provides this notice to
update the above—captioned application for authority under section 214 of the Communications
Act to provide global resale international telecommunications services. The application is
currently under review by Team Telecom, which is being provided a copy of this letter.

       Attachment 2 of the application identified Andrew Rosenfeld as the owner of 56.13
percent of the shares of The People‘s Operator plc ("TPO ple"), the ultimate parent of the
Applicant. On February 8, 2015, Mr. Rosenfeld unexpectedly and unfortunately passed
away. Mr. Rosenfeld was not involved in the day—to—day management of TPO and his passing
does not affect the management or business plans of the Applicant.

        Following Mr. Rosenfeld‘s death, his shares passed into his estate. Under his estate the
only beneficiaries are his widow, Juliet Rosenfeld, and his four children, being James Rosenfeld,
Matthew Rosenfeld, Joanna Rosenfeld and Naomi Rosenfeld. They are the only beneficiaries of
his estate and they are between them entitled to the whole of Mr. Rosenfeld‘s estate, including
the shares of TPO ple.




  1299 PENNSYLVANIA AVENUE, NW, SUITE 700, WASHINGTON, DC 20004—2400. T: (202) 842—7800 F: (202) 842—7899 WWW.COOLEY.COM


Marlene H. Dortch
March 10, 2015
Page Two



         Juliet and Matthew will administrator the estate. Upon completion of the administration
of his estate, it is anticipated that Mr. Rosenfeld‘s TPO ple shares will be distributed evenly
among the five family beneficiaries. This distribution will result in each family member owning
11.23 percent of the shares. No family member will have de jure or de facto control over TPO
ple, and, therefore, no de jure or de facto control over the Applicant. The Applicant will notify
the FCC upon distribution of the shares.

                                                                 Sincerely,
                                                                 Is/
                                                                 Michael Pryor

ce:      David Krech, FCC (via email)
         Bermel Paz, Team Telecom (via email).




114772470 vi




 _ 1299 PENNSYLVANIA AVENUE, NW, SUITE 700, WASHINGTON, DC 20004—2400 T: (202) 842—7800 F: (202) 842—7899 WWW.COOLEY.COM



Document Created: 2015-03-10 18:33:44
Document Modified: 2015-03-10 18:33:44

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