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Docket ID: [CC Docket No. 98-67 and CG Docket No. 03-123; FCC 05-141]
SUBJECT CATEGORY: Telecommunications Relay Services and Speech-to-Speech Services for Individuals With Hearing and Speech Disabilities
DOCUMENT SUMMARY: In this document, the Commission concludes that two-line captioned telephone service is a type of telecommunications relay service (TRS) eligible for compensation from the Interstate TRS Fund. The Commission also approves the National Exchange Carrier Association, Inc. (NECA), the Interstate TRS Fund Administrator, proposed allocation methodology for determining the number of inbound twoline captioned telephone minutes that should be compensated from the Interstate TRS Fund. Also in this document, the Commission seeks approval from the Office of Management and Budget (OMB) for any Paperwork Reduction Act (PRA) burdens contained in this document that will modify OMB Control No. 30601053 to have TRS providers offering twoline captioned telephone service along with TRS providers offering oneline captioned telephone service file annual reports with the Commission.
SUMMARY: Individuals with hearing and speech disabilities; telecommunications relay and speech-to-speech services,
The Order contains modified information collection requirements.
The Commission, as part of its continuing effort to reduce paperwork
burdens, invites the general public to comment on the information
collection requirements contained in the Order as required by the
Paperwork Reduction Act of 1995 (PRA), Public Law 10413. Public and
agency comments are due November 14, 2005. In addition, the Commission
notes that pursuant to the Small Business Paperwork Relief Act of 2002,
Public Law 107198, see 44 U.S.C. 3506(c)(4), the Commission previously
sought specific comment on how it might ``further reduce the
information collection burden for small business concerns with fewer
than 25 employees.'' In this present document, the Commission has assessed the effects
[[Page 54295]]
of its determination that twoline captioned telephone service is a
type of TRS eligible for compensation from the Interstate TRS Fund, and
finds that such action will not affect businesses with fewer than 25 employees.
Synopsis
In the August 2003 Captioned Telephone Declaratory Ruling, the Commission concluded that captioned telephone Voice Carry Over (VCO) service is a type of TRS, and that eligible providers of such services are eligible to recover their costs in accordance with Section 225 of the Communications Act. See Telecommunications Relay Services, and SpeechtoSpeech Services for Individuals with Hearing and Speech Disabilities, CC Docket No. 9867, Declaratory Ruling, 18 FCC Rcd 16121, August 1, 2003, published at 68 FR 55898, September 29, 2003, (Captioned Telephone Declaratory Ruling) recognizing captioned telephone service as a form of telecommunications relay service (TRS). Captioned telephone service uses a special telephone that has a text display. It permits, on one standard telephone line, the user typically someone who has the ability to speak and some residual hearingto both listen to what is said over the telephone and simultaneously read captions of what the other person is saying. A communications assistant (CA) using specially developed voice recognition technology generates the captions. No typing is involved. The Captioned Telephone Declaratory Ruling permits providers of interstate captioned telephone service to be compensated from the Interstate TRS Fund.
To use oneline captioned telephone service, the captioned telephone user dials the number of the person she wishes to call. Unlike with other forms of TRS, the user does not dial the number of a TRS provider (or the 711 access number). Although the user has dialed the number of the other party, the captioned telephone automatically calls a captioned telephone CA at a TRS facility. The TRS provider, in turn, calls the number of the called party, and all three parties (the captioned telephone user, the CA, and the called party) are connected. Unlike ``traditional'' TRS, where the CA would type what the called party says, the CA instead repeats or revoices what the called party says and voice recognition technology automatically transcribes the CA's voice into text, which is then transmitted directly to the user and displayed on the captioned telephone. As a result, the captions appear on the captioned telephone at nearly the same time the user hears the called party's spoken words. Throughout the call the CA is completely transparent and does not participate in the call by voicing any part of the conversation; there is no interaction with the CA by either party to the call. Calls may be placed to captioned telephone users via a provider's toll free access number. When such an ``inbound'' captioned telephone call is made, the caller is prompted by a recording to enter the number he or she wishes to call, and the call is automatically processed.
The Captioned Telephone Declaratory Ruling did not address twoline captioned telephone service, and Petitioners now seek clarification that this type of captioned telephone service is also a type of TRS eligible for compensation from the Interstate TRS Fund. See Ultratec, Inc., Sprint Corporation, and Hamilton Relay, Inc., Request for Clarification, CC Docket No. 9867 and CG Docket No. 03123, filed December 7, 2004 (Ultratec Petition). The Commission refers to Ultratec, Inc., Sprint Corporation, and Hamilton Relay, Inc. as Petitioners). As Petitioners explain, twoline captioned telephone service requires the user to have two standard telephone lines connected to a captioned telephone. See, e.g., Ultratec Petition at 2. The first line is set up as the user's primary telephone line, and the second line transmits the captions from the captioned telephone relay service. When a twoline captioned telephone user places an outbound call, he or she dials the number of the party he or she wants to call on the first line, in the same way that a voice telephone call is made to the called party. An outbound call occurs when a captioned telephone user initiates (dials) a call from his or her captioned telephone hardware device. When this call is being made, the twoline captioned telephone simultaneously connects to the captioned telephone relay service on the second line. When this connection is made, the twoline captioned telephone takes the voice of the party who is called via the first line and sends it to the captioned telephone relay provider over the second line. As with oneline captioned telephone, the captioned telephone CA then revoices everything that is said by the called party. Voice recognition technology transcribes what the CA says into text, and sends captions back on the second line to the text display on the twoline captioned telephone. In short, with oneline captioned telephone service the outbound call goes through the captioned telephone service provider to be connected to the called party; with twoline captioned telephone service, the primary telephone line links the calling and called parties directly, and the captioned telephone service is brought in on a second line.
For inbound calls to the twoline captioned telephone user, the calling party simply dials the telephone number of the person he or she wants to call. An inbound call occurs when a captioned telephone user receives a call from a voice telephone caller. The call goes directly to the twoline captioned telephone in the same way a call would come in to any traditional telephone. When the captioned telephone user answers the call, his or her twoline captioned telephone automatically calls the captioned telephone relay service on the second telephone line, and the call then proceeds in the same manner as an outbound two line captioned telephone call. Ultratec Petition at 3.
Petitioners cite several benefits that twoline captioned telephone
service offers that are not available with oneline captioned telephone
service. First, because a twoline captioned telephone allows direct
inbound dialing, no special ``relay'' numbers are needed and users can
give out their own telephone numbers to persons who may want to call
them, not the number of a captioned telephone relay service provider.
Second, because twoline captioned telephone service directly connects
both parties to the call on the same telephone line and adds the
captioned telephone relay service on a second telephone line, it allows
the user access to other telephone network features available to voice
telephone users such as *69 to receive information about the last
incoming call and to return such call, call waiting, and call
forwarding. In addition, and for the same reason, this service makes it
possible for users to directly access 911 emergency services in the
same way that hearing telephone users access these services (while
simultaneously receiving captions back on the second telephone line).
Twoline captioned telephone service also allows two or more persons to
be on the call at the same time e.g., by using another telephone
extension in the same house because the primary connection is a direct
voice connection, just like with any other call. In contrast, oneline
captioned telephone service uses a single connection to carry both
voice traffic and captioning information, which are encoded into a
single data stream. This data stream would be unintelligible to a user who picks up a
[[Page 54296]]
separate phone connected to the line on which oneline captioned
telephone service is being used. Finally, unlike with oneline
captioned telephone service, the captions service can be added to a
call at any time during the call even after the call is in progress by
engaging the second line which is the call to the captioned telephone service.
Jurisdictional Separation of Costs and Inbound TwoLine Captioned Telephone Service
Petitioners and NECA acknowledge that although providers can readily determine which oneline captioned telephone calls are interstate and which are intrastate for reimbursement purposes, and can also make that determination for outbound twoline captioned telephone calls, they cannot do so for inbound twoline captioned telephone calls. See the National Exchange Carrier Association, Inc., CC Docket No. 9867 and CG Docket No. 03123, Petition for Declaratory Ruling, filed December 10, 2004 (NECA Petition). Therefore, NECA proposes that we adopt an allocation methodology for the jurisdictional compensation of the inbound twoline captioned telephone calls; i.e., for determining which such calls shall be compensated by a state, and which such calls shall be compensated from the Interstate TRS Fund.
As NECA explains, for oneline captioned telephone service the relay center is able to determine whether each call is intrastate or interstate because such calls go through the relay center, and therefore the center can determine where the call originates from the automatic number identification (ANI) of the caller's telephone number and where it ends from the called party's telephone number. NECA Petition at 12; see also Ultratec Petition at 6. In other words, the TRS providers (i.e., call center) captures network information from both the caller's and the called person's telephone numbers. This applies to both inbound and outbound oneline captioned telephone calls. For outbound twoline captioned telephone calls, the process of determining the jurisdictional nature of the call is the same as for oneline captioned telephone service. NECA Petition at 2. The telephone captures the number of the called party that is dialed, and automatically forwards that number to the relay center through the second line. See Ultratec Petition at 6. As a result, in this situation the call center receives from the calling party the user of the two line captioned telephone the telephone number of both the calling and called parties. For inbound twoline captioned telephone calls, however, the relay center is incapable of determining the location of the calling (i.e., originating) party to the call. This is because the originating inbound caller calls the captioned telephone user directly, and the captioned telephone does not receive information about the calling party that can be forwarded to the relay center when the captioned telephone calls the relay center on the second line. NECA Petition at 2; Ultratec Petition at 7. As a result, the relay center does not receive the calling party's ANI, and therefore cannot determine the jurisdictional nature of the call in order to report and bill either the state or the Interstate TRS Fund for the call. NECA Petition at 2; Ultratec Petition at 7. Petitioners suggest that although Caller ID might provide the necessary information, ``this would not offer a consistent solution because it is often blocked or unavailable,'' and also note that Caller ID is a feebased service that may put an unfair additional financial burden on the user. According to NECA, presently states are compensating providers of inbound twoline captioned telephone calls for all such calls.
The problem of determining the jurisdictional nature of inbound
twoline captioned telephone calls was addressed at the Interstate TRS
Advisory Council's (Council) April 2004 and September 2004 meetings.
NECA, on behalf of the Council, now requests that the Commission adopt
an allocation methodology to determine the portion of such calls that
will be considered intrastate, and the portion that will be considered
interstate. NECA notes that an allocation methodology has been approved
and is currently used for toll free (800) and paypercall (900) number
calls because providers cannot determine the jurisdictional nature of
such calls. In those cases, the share of minutes compensable from the
Interstate TRS Fund is based on the relationship of interstate and
international TRS minutes to intrastate toll, interstate, and
international TRS minutes. Because this allocation is a means of
estimating the percentage of 800 and 900 number calls that are
interstate, and 800 and 900 number calls are not local calls, only
intrastate calls that are toll calls, and not all intrastate calls, are
included in the denominator of this calculation. NECA requests that a
similar interstate allocation factor be calculated and applied to all
inbound twoline captioned telephone calls. However, for such calls
NECA proposes that the allocation factor be based on the relationship
between the number of interstate and international traditional TRS
minutes to the total number of all traditional TRS minutes (i.e.,
including all intrastate minutes, as well as all interstate and
international minutes). In other words, although NECA proposes that the
same allocation methodology used for 800 and 900 calls also be used to
determine an allocation factor for inbound twoline captioned telephone
calls, the allocation factor applied would not be the same for 800/900
calls and for inbound twoline captioned telephone calls because the
denominator would not be the same. NECA notes that based on this
proposed allocation methodology, the allocation factor for the 2004
2005 Fund year (using the traditional TRS data projected for the
calendar years 2004 and 2005) would be 10 percent. Pursuant to this
methodology and allocation factor, 10% of the twoline inbound
captioned telephone minutes would be allocated to the interstate
jurisdiction for payment from the Interstate TRS Fund, while the
remaining 90% of the twoline inbound captioned telephone minutes would
continue to be billed to the intrastate jurisdiction. On December 16,
2004, the Ultratec Petition and NECA Petition were placed on Public
Notice. Request for Clarification Filed by Ultratec, Inc., Sprint
Corporation and Hamilton Relay, Inc. and Petition for Declaratory
Ruling Filed by The National Exchange Carrier Association, Inc.
Concerning TwoLine Captioned Telephone Voice Carry Over, A Form of
Telecommunications Relay Service, CC Docket No. 9867, CG Docket No.
0312, Public Notice (December 16, 2004) (Twoline Captioned Telephone
Public Notice). Comments were filed by the California Coalition of
Agencies Serving the Deaf and Hard of Hearing (California Coalition
Comments) (January 6, 2005) and Telecommunications for the Deaf, Inc.
(TDI Comments) (January 7, 2005). Ultratec, Inc. (Ultratec) filed reply
comments to the NECA Petition on January 18, 2005 (Ultratec Reply Comments). All commenting parties support both petitions.
Discussion
The Commission concludes that twoline captioned telephone service
is a type of TRS eligible for compensation from the Interstate TRS
Fund. As noted above, in the August 2003 Captioned Telephone
Declaratory Ruling the Commission concluded that oneline captioned
telephone is a type of TRS eligible for compensation from the
Interstate TRS Fund. The record reflects that twoline captioned telephone
[[Page 54297]]
service is simply a variation of captioned telephone service that
offers the same functionality while also offering the user additional
features, noted above. Ultratec Petition at 26; see also California
Coalition Comments at 13; TDI Comments at 12. These additional
features `` including direct inbound dialing and the ability to use
call waiting, call forwarding, directly call 911, and have two or more
persons on the call at the same time `` represent another step forward
toward functional equivalency. Therefore, the Commission clarifies that
twoline captioned telephone service, like oneline captioned telephone
service, is a type of TRS eligible for compensation from the Interstate
TRS Fund. In reaching this conclusion, the Commission is mindful that
Section 225 obligates the Commission to ensure that interstate and
intrastate TRS are available, to the extent possible and in the most
efficient manner, to hearingimpaired and speechimpaired individuals
in the United States, and to ensure that the TRS regulations encourage
the use of existing technology and do not discourage or impair the
development of improved technology. 47 U.S.C. 225 (b)(1); 47 U.S.C. 225
(d)(2). The Commission also notes that no commenters oppose this conclusion.
The Commission concludes that the same allocation methodology presently used for 800 and 900 number call minutes should be used for inbound twoline captioned telephone call minutes. In enacting Section 225, Congress provided for the compensation of TRS providers for their costs of providing TRS. See 47 U.S.C. 225(d)(1)(D). The users of TRS cannot be required to pay for the service; see also Captioned Telephone Declaratory Ruling. This cost recovery regime distinguishes between interstate and intrastate TRS: the providers of interstate TRS are compensated from the Interstate TRS Fund, and providers of intrastate TRS are compensated from the states. See, e.g., 47 U.S.C. 225(c) and (d)(3); 47 CFR 64.603, 64.604(c)(5). Presently the costs of providing certain types of intrastate TRS are compensated from the Interstate TRS Fund, including VRS and IP Relay. See Captioned Telephone Declaratory Ruling. As noted above, however, with inbound twoline captioned telephone calls, there is currently no way for the provider to determine the jurisdictional nature of the call. As a result, the provider cannot determine which calls should be reported and billed to the states, and which should be reported and billed to the Interstate TRS Fund. In these circumstances, NECA has proposed an allocation methodology by which an interstate allocation factor is calculated and applied to all inbound twoline captioned telephone minutes. NECA notes that the impact of the use of its allocation methodology on the fund would be minimal. NECA Petition at 4. NECA states that although captioned telephone minutes are growing, they are not a significant portion of the TRS provider payments (less than 1% of the monthly fund requirements), and that inbound captioned telephone minutes are in turn a small portion of total captioned telephone minutes. No party filed an alternate proposal or an opposition to NECA's proposal.
The Commission agrees with NECA's recommendation that the same allocation methodology presently used for 800 and 900 number call minutes should be used for inbound twoline captioned telephone call minutes. Application of this methodology will ensure that the Interstate TRS Fund compensates providers of inbound twoline captioned telephone calls only for such minutes reasonably estimated to be interstate in nature. As a result, the Commission adopts NECA's proposed methodology and instructs the Interstate TRS Fund Administrator to determine and apply, on an annual basis, an allocation factor for inbound twoline captioned telephone calls that is based on the relationship between interstate and international traditional TRS calls and all intrastate, interstate, and international traditional TRS calls. As with the determination of the allocation factor for 800 and 900 number calls, the Fund Administrator will generally use the providers' projected minutes of use for traditional TRS. This allocation factor, along with the allocation factor for 800 and 900 number calls, shall be reflected in the Interstate TRS Fund Administrator's annual filing with the Commission proposing the TRS compensation rates for the upcoming TRS Fund year. Upon release of the Order, NECA shall determine an allocation factor for inbound twoline captioned telephone calls as specified herein and submit it to the Commission. After Public Notice and an opportunity for comments, the Commission will issue an order approving or modifying the proposed factor. Finally, the Commission notes that Ultratec suggests that we monitor the usage data of oneline and twoline captioned telephone service to ensure that any allocation methodology adopted accurately reflects the usage of twoline captioned telephone service. Utratec Reply Comments at 45. The Commission will do so as part of its general oversight of the regulation and compensation of TRS.
The Regulatory Flexibility Act of 1980, as amended (RFA), requires that an initial regulatory flexibility analysis be prepared for notice andcomment rule making proceedings, unless the agency certifies that the rule will not, if promulgated, have a significant economic impact on a substantial number of small entities. See 5 U.S.C. 603. The RFA, see 5 U.S.C. 601612, has been amended by the Small Business Regulatory Enforcement Fairness Act of 1996 (SBREFA), Public Law Number 104121, Title II, 110 Statute 857 (1996). The RFA generally defines the term ``small entity'' as having the same meaning as the terms ``small business,'' ``small organization,'' and ``small governmental jurisdiction.'' 5 U.S.C. 601(6). In addition, the term ``small business'' has the same meaning as the term ``small business concern'' under the Small Business Act. 5 U.S.C. 601(3) (incorporating by reference the definition of ``smallbusiness concern'' in the Small Business Act, 15 U.S.C. 632). Pursuant to 5 U.S.C. 601(3), the statutory definition of a small business applies unless an agency, after consultation with the Office of Advocacy of the Small Business Administration and after opportunity for public comment, establishes one or more definitions of such term which are appropriate to the activities of the agency and publishes such definition(s) in the Federal Register. A ``small business concern'' is one which: (1) Is independently owned and operated; (2) is not dominant in its field of operation; and (3) satisfies any additional criteria established by the Small Business Administration (SBA). 15 U.S.C. 632. Nationwide, there are approximately 1.6 million small organizations. Independent Sector, the New Nonprofit Almanac & Desk Reference (2002).
The Order addresses two petitions concerning the regulation and compensation of captioned telephone service, a form of
telecommunications relay service (TRS). As noted in the Order, in
August 2003, the Commission concluded that captioned telephone Voice
Carry Over (VCO) service is a type of TRS, and that eligible providers
of such services are eligible to recover their costs in accordance with
Section 225 of the Communications Act. See Captioned Telephone Declaratory Ruling. The Captioned Telephone
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Declaratory Ruling did not address twoline captioned telephone
service, and petitioners now seek clarification that this type of
captioned telephone service is also a type of TRS eligible for compensation from the Interstate TRS Fund.
As noted in the Order, the record reflects that twoline captioned telephone service is simply a variation of captioned telephone service that offers the same functionality while also offering the user additional features. These additional features represent another step forward toward functional equivalency. Therefore, in the Order the Commission clarifies that twoline captioned telephone service, like oneline captioned telephone service, is a type of TRS eligible for compensation from the Interstate TRS Fund.
The Commission does not believe this clarification will have a significant economic impact; however, in the event that it does, the Commission also notes that there are not a substantial number of small entities that will be affected by our action. The SBA has developed a small business size standard for Wired Telecommunications Carriers, which consists of all such firms having 1,500 or fewer employees. 13 CFR 121.201, NAICS code 517110 changed from 513310 in October 2002. According to Census Bureau data for 1997, there were 2,225 firms in this category which operated for the entire year. U.S. Census Bureau, 1997 Economic Census, Subject Series: Information, ``Establishment and Firm Size (Including Legal Form of Organization),'' Table 5, NAICS code 513310 issued October 2000. Of this total, 2,201 firms had employment of 999 or fewer employees, and an additional 24 firms had employment of 1,000 employees or more. Thus, under this size standard, the majority of firms can be considered small. The census data do not provide a more precise estimate of the number of firms that have employment of 1,500 or fewer employees; the largest category provided is ``Firms with 1,000 employees or more''. Currently, only three providers are providing captioned telephone service and being compensated from the Interstate TRS Fund: CapTel, Inc., Hamilton and Sprint. The Commission expects that only one of the providers noted above may be a small entity under the SBA's small business size standard. In addition, the Interstate Fund Administrator is the only entity that will be required to pay to eligible providers of twoline captioned telephone service the costs of providing interstate service. The Commission will send a copy of the Order, including a copy of this Regulatory Flexibility Certification, to the Chief Counsel for Advocacy of the SBA. (5 U.S.C. 605(b)). Congressional Review Act
The Commission will send a copy of the Order in a report to Congress and the Governmental Accountability Office pursuant to the Congressional Review Act. See 5 U.S.C. 801(a)(1)(A).
Pursuant to the authority contained in Sections 1, 2, and 225 of the Communications Act of 1934, as amended, 47 U.S.C. 151, 152, and 225, this Order is hereby adopted.
The Request for Clarification submitted by Ultratec, Inc, Sprint Corporation, and Hamilton Relay, Inc., is granted to the extent indicated herein.
The Petition for Declaratory Ruling filed by the National Exchange
Carrier Association, Inc. (NECA), on behalf of the Interstate
Telecommunications Relay Service Advisory Council, is granted to the extend indicated herein.
The Order shall be effective October 14, 2005.
The Commission's Consumer & Governmental Affairs Bureau, Reference
Information Center shall send a copy of the Order, including the
Regulatory Flexibility Certification, to the Chief Counsel for Advocacy of the U.S. Small Business Administration.
Federal Communications Commission.
Marlene H. Dortch,
Secretary.
[FR Doc. 0518029 Filed 91305; 8:45 am]
BILLING CODE 671201P
FOR FURTHER INFORMATION CONTACT Thomas Chandler, Consumer & Governmental Affairs Bureau at (202) 4181475 (voice), (202) 4180597 (TTY), or email Thomas.Chandler@fcc.gov. For additional information concerning the PRA information collection requirements contained in the document, contact Leslie Smith at (202) 4180217, or via the Internet at Leslie.Smith@fcc.gov.
14 CFR Part 39 40 CFR Part 52 14 CFR Part 71 33 CFR Part 165 50 CFR Part 679 47 CFR Part 73 26 CFR Part 1 40 CFR Part 180 33 CFR Part 117 50 CFR Part 17 44 CFR Part 67 50 CFR Part 648 14 CFR Part 97 40 CFR Part 63 33 CFR Part 100 50 CFR Part 622 50 CFR Part 660 26 CFR Part 301 44 CFR Part 65 39 CFR Part 111 40 CFR Part 300 6 CFR Part 5 40 CFR Part 271 47 CFR Part 64 40 CFR Parts 52 and 81 50 CFR Part 665 10 CFR Part 50 44 CFR Part 64 49 CFR Part 571 39 CFR Part 3020