Attachment Attachment 2.pdf

This document pretains to ITC-214-20161026-00289 for International Global Resale Authority on a International Telecommunications filing.

IBFS_ITC2142016102600289_1157653

                                                                                US SONET LLC
                                                                           123 East Main Street
                                                                               Salem, IL 62881
                                                                            (618) 548—6909 TEL
   J ice_      video       _data                                           (618) 548—3491 FAX

                                                                         www.ussonstnet URL




October 26, 2016

VIA FCC INTERNATIONAL BUREAU FILING SYSTEM (IBFS)

Attachment No. 2

       Ms, Marlene H. Dortch, Office of the Secretary
       Federal Communications Commission
       445 12" Street, SW
       Washington, DC 20554

       Attention: International Bureau

       RE: International Section 214 Authority

Dear Ms. Dortch:

In accordance with International Section 214 Applicationfiling requirements, I am
submitting this letter as Attachment 2 to Lightspeed Telecom‘s International Section 214
application certifying the following items pursuant to Section 63.18 (d), (e)(3) and (g):


    1. Section 63.18 (d): Lightspeed Telecom has not previously applied for or received
       International Section 214 authority.

       Section—63.18—(e)(3):LightspeedFelecom—is—notapplying—forauthoritytoacquire
       facilities or to provide services not covered by paragraphs (e)(1) and (e)(2) of this
       Section.

       Section 63.18 (e)(3): Lightspeed Telecom certifies that it will comply with the
       terms contained in Section 47 C.F.R § 63.21 and 47 C.F.R § 63.23.

       Section 63.18 (g): Lightspeed Telecom is not seeking facilities—based authority
       and does not need to make any statements underthis subsection.

In addition, I am also providing "the name, address, citizenship and principal business of
the applicant‘s ten percent or greater direct and indirect shareholders or other equity
holders, and identify any interlocking directorates" below:


All are citizens of the United States.

   1. Susan J. Andrews (11.875%)
      3664 Andrews Ct.
      Salem, IL 62881
      Employment: Lightspeed

   2. Rhonda Andrews (13.125%)
      3664 Andrews Ct.
      Salem, IL 62881
      Employment: Director of Fayette County Health Department

   3. Steven Quick (12.0625%)
      16679 North Casey Pike Lane
      Mt. Vernon, IL 62864
      Employment: Retired


No other persons or entities has ten percent or greater share of the Company.


All correspondence and inquirers concerning this filing should be addressed to the
undersigned.

                                     Respectfully submitted,
                                     Lightspeed Telecom, LLC (DBA) US SONET



                                       San J Andrew
                                     Manager/COO



Document Created: 2016-11-03 14:46:41
Document Modified: 2016-11-03 14:46:41

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