Attachment Attachment 2

This document pretains to ITC-214-20160509-00152 for International Global Resale Authority on a International Telecommunications filing.

IBFS_ITC2142016050900152_1135606

                                    Attachment 2

                         Application of PEG Bandwidth, LLC

Response to Question 14

The following information is provided pursuant to Section 63.18(h) of the Commission’s
Rules, 47 C.F.R. § 63.18(h):

The following entities directly or indirectly own 10 percent or more of PEG Bandwidth,
LLC (“Applicant”):

       1)     Name:                 CSL Bandwidth Inc.
              Address:              10802 Executive Center Drive, Benton Building,
                                    Suite 300
                                    Little Rock, Arkansas 72211
              Ownership:            100% directly in Applicant
              Citizenship:          Delaware
              Principal Business:   Holding Company

       2)     Name:                 Uniti Holdings LP
              Address:              10802 Executive Center Drive, Benton Building,
                                    Suite 300
                                    Little Rock, Arkansas 72211
              Ownership:            100% directly in CSL Bandwidth Inc. (100%
                                    indirectly in Applicant)
              Citizenship:          Delaware
              Principal Business:   Holding Company

       3)     Name:                 Uniti Holdings GP, LLC
              Address:              10802 Executive Center Drive, Benton Building,
                                    Suite 300
                                    Little Rock, Arkansas 72211
              Ownership:            Non-economic General Partner in Uniti Holdings
                                    LP (100% indirectly in Applicant)
              Citizenship:          Delaware
              Principal Business:   Holding Company

       4)     Name:                 Communications Sales & Leasing, Inc. (NASDAQ:
                                    CSAL)
              Address:              10802 Executive Center Drive, Benton Building,
                                    Suite 300
                                    Little Rock, Arkansas 72211




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               Ownership Interest:    100% directly in Uniti Holdings GP, LLC and Uniti
                                      Holdings LP (100% indirectly in Applicant)
               Citizenship:           Maryland
               Principal Business:    Real Estate Investment Trust

         5)    Name:                Windstream Services, LLC
               Address:             4001 Rodney Parham Rd., Little Rock, AR 72212
               Ownership Interest: 19.5% directly in Communications Sales & Leasing,
                                   Inc. (19.5% indirectly in Applicant)
               Citizenship:        Delaware
               Principal Business: Communications

               As a publicly traded company, the stock of Communications Sales &
               Leasing, Inc. is otherwise widely held and no other person holds more
               than 10% of the outstanding stock of Communications Sales & Leasing,
               Inc.

         6)    Name:                  Windstream Holdings, Inc. (NASDAQ: WIN)
               Address:               4001 Rodney Parham Rd., Little Rock, AR 72212
               Citizenship:           Delaware
               Ownership:             100% directly in Windstream Services, LLC (19.5%
                                      indirectly in Applicant)
               Principal Business:    Holding Company

               As a publicly traded company, the stock of Windstream Holdings, Inc. is
               widely held and no person holds more than 10% of the outstanding stock
               of Windstream Holdings, Inc.

No other person or entity is expected to hold a 10 percent or greater ownership interest in
the Applicant pursuant to the Commission’s attribution rule.

Interlocking directorates: Applicant has no interlocking directorates with a foreign
carrier.

Response to Question 15

(d)       The Applicant has not previously received international authority under Section
          214 of the Act. The Applicant holds domestic 214 authority pursuant to Section
          63.01 of the Commission’s Rules.

(e)(3)    The Applicant requests Section 214 authority to provide facilities-based and
          resold telecommunications services pursuant to Sections 63.18(e)(1) and (e)(2)
          of the Commission’s Rules. The Applicant requests such authorization for all
          international routes authorized by the Commission. The Applicant certifies that
          it will comply with the terms and conditions contained in Sections 63.21. 63.22
          and 63.23 of the Commission’s Rules.



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(g)   Applicant certifies that authorization of the facilities is categorically excluded,
      pursuant to Section 1.1306 of the Commission’s rules. Therefore, an
      environmental assessment, as described in Section 1.1311 of the Commission’s
      Rules, need not be filed with the instant application.




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Document Created: 2016-05-09 13:32:04
Document Modified: 2016-05-09 13:32:04

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