Attachment Supplement

This document pretains to ITC-ASG-20050405-00140 for Assignment on a International Telecommunications filing.

IBFS_ITCASG2005040500140_434075

                        K R A S K I N, M OORMAN      &   C O S S O N,   LLC
                                      ATTORNEYS    AT   LAW

2120 L Street, N.W., Suite 520                                           Telephone (202) 296-8890
Washington, D.C. 20037                                                   Telecopier (202) 296-8893



April 25, 2005

Marlene H. Dortch
Secretary
Federal Communications Commission
445 12th St., S.W.
Washington, D.C. 20554

                                     Re:     The S&A Telephone Company, Inc., Mid-South
                                             Telecommunications Company Charitable
                                             Remainder Unitrust and Eastern Kansas Holdings,
                                             Inc., Application for Authorization Pursuant to
                                             Section 214 of the Communications Act of 1934, as
                                             Amended, for Transfer of Control.
                                             WC Doc. No. 05-164
                                             Supplement to Application

Dear Ms. Dortch:

         The Commission’s staff has requested clarification of certain portions of the above
application. Specifically, with respect to paragraphs (4), (6) and (8) of the Application, upon
closing of the transaction, Applicant Eastern Kansas Holdings, Inc., will own the capital stock of
S&A Telephone Company, Inc. Eastern Kansas Holdings, Inc., is a holding company and not a
carrier, and does not and will not itself provide telecommunications service anywhere. S&A
Telephone Company, Inc. is the only carrier, dominant or non-dominant involved in the
proposed transaction. As described in paragraph (4), Eastern Kansas Holdings, Inc. is affiliated
with entities which own the stock of local exchange carriers in Missouri, and Mississippi and has
a pending transaction to acquire the stock of a local exchange carrier in Pennsylvania, but is not
affiliated with any other Kansas carrier.

       Please contact me if there are any questions regarding this matter.

                                             Sincerely yours


                                             David Cosson
                                             Counsel to Eastern Kansas Holdings, Inc.


Cc:    Adam Kirschenbaum, Competition Policy Division
       Tracey Wilson-Parker, Competition Policy Division



Document Created: 2005-05-26 10:30:08
Document Modified: 2005-05-26 10:30:08

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