Federal Communications Commission DA 13-282 Before the Federal Communications Commission Washington, D.C. 20554 In the Matter of Connect America Fund High-Cost Universal Service Support ) ) ) ) ) WC Docket No. 10-90 WC Docket No. 05-337 ORDER ON RECONSIDERATION Adopted: February 26, 2013 Released: February 26, 2013 By the Chief, Wireline Competition Bureau: I. INTRODUCTION 1. On November 6, 2012, the Wireline Competition Bureau (Bureau) released a Report and Order1 adopting data specifications for the collection of study area boundary data to use in the implementation of certain universal service reforms adopted as part of the USF/ICC Transformation Order.2 The Study Area Boundary Order required incumbent local exchange carriers (LECs) to submit certified study area boundary data in esri shapefile format, and it allowed state commissions or state telecommunications associations (state entities) voluntarily to submit such data on the LECs’ behalf.3 2. In this Order on Reconsideration, the Bureau modifies on its own motion several aspects of the rules adopted in the Study Area Boundary Order. First, we conclude that it is more appropriate for state commissions to certify to the accuracy of the study area boundary data when they submit such data on behalf of the incumbent LECs operating in their state. Second, we reconsider our decision to permit state associations to submit data on behalf of incumbent LECs and instead require that the entity that will certify to the accuracy of the data make the submission. Third, we permit incumbent LECs that are price cap carriers to submit exchange-level study area boundary data by providing internal wire center boundaries, if they choose, and indicating the exchange(s) associated with the wire center. Finally, we provide some guidance as to our expectations regarding the certification requirement and clarify the standards of accuracy laid out in the Study Area Boundary Order. 1 Connect America Fund; High-Cost Universal Service Support, WC Docket Nos. 10-90, 05-337, Report and Order, 27 FCC Rcd 13528 (Wireline Comp. Bur. 2012) (Study Area Boundary Order). The Study Area Boundary Order was published in the Federal Register on January 28, 2013. See 78 FR 5750. 2 See Connect America Fund; A National Broadband Plan for Our Future; Establishing Just and Reasonable Rates for Local Exchange Carriers; High-Cost Universal Service Support; Developing a Unified Intercarrier Compensation Regime; Federal-State Joint Board on Universal Service; Lifeline and Link-Up; Universal Service Reform—Mobility Fund; WC Docket Nos. 10-90, 07-135, 05-337, 03-109, CC Docket Nos. 01-92, 96-45, GN Docket No. 09-51, WT Docket No. 10-208, Report and Order and Further Notice of Proposed Rulemaking, 26 FCC Rcd 17663 (2011) (USF/ICC Transformation Order), pets. for review pending sub nom. In re: FCC 11-161, No. 11-9900 (10th Cir. filed Dec. 8, 2011). 3 Study Area Boundary Order, 27 FCC Rcd at 13528, para. 1. Federal Communications Commission DA 13-282 2 II. DISCUSSION A. State Entity Certification 3. In the Study Area Boundary Order, we allowed state entities voluntarily to submit shapefiles on behalf of any and/or all incumbent LECs within their states.4 The Bureau stated that state commissions typically are the entities that establish incumbent LEC service areas and therefore are well situated to assist incumbent LECs in preparing study area boundary data.5 The Study Area Boundary Order concluded, however, that even when states submit data on behalf of incumbent LECs, those incumbent LECs remain responsible for reviewing and certifying to the accuracy of the state-submitted data.6 With this Order on Reconsideration, we modify certain aspects of these requirements and conclude that the entity submitting data to the Commission is the more appropriate entity to certify to the accuracy of the study area boundaries; we continue to encourage states to submit data on behalf of their incumbent LECs. 4. Since release of the Study Area Boundary Order, some incumbent LECs have argued that, because state commissions are the entities responsible for establishing study area boundaries, state commissions should be responsible for submitting such boundaries and/or certifying that they are accurate.7 In addition, certain state commissions have also asserted that they should be involved in or responsible for certifying the accuracy of the study area boundaries in their state.8 We recognize that both state commissions and this Commission have a role in overseeing study area boundaries.9 Therefore, we now conclude upon reconsideration that it is appropriate for the state commissions that voluntarily undertake the task of submitting boundary data to us to certify that these data are accurate and correct to the best of their knowledge, information, and belief.10 In addition to acknowledging the states’ traditional role in administering incumbent LEC study area boundaries, we also believe that it is most efficient and direct for an entity submitting data to the Commission to be responsible for its accuracy, rather than having data submitted by one party but verified by another. While state commissions were the entities 4 Id. at 13533, para. 17. 5 Id. The Bureau did not require all states to submit the study area boundaries on behalf of their incumbent LECs, however, in part due to an expectation that some state commissions may not be prepared to undertake the necessary reconciliation effort in the time frame contemplated for the data collection. 6 Id. at 13534, para. 18. 7 See Comments of United States Telecom Association, WC Docket Nos. 10-90, 05-337, OMB Control No. 3060- 1181, filed Jan. 3, 2013, at 4, 16 (USTelecom PRA Comments); Remarks of Jeff Lanning, VP-Federal Regulatory Affairs, CenturyLink, at NARUC Winter Committee Meetings, Staff Subcommittee on Telecommunications – CAF- Boundary Mapping, Feb. 3, 2013 (Lanning Feb. 3 Remarks). 8 Letter from Maurice Gene Hand, Director, Communications Department, Nebraska Public Service Commission, to Chelsea Fallon, Assistant Chief, Industry Analysis and Technology Division, FCC, WC Docket Nos. 10-90, 05-337 (filed Feb. 21, 2013). 9 The Commission froze all study area boundaries effective November 15, 1984, to prevent the establishment of high-cost exchanges within existing service territories merely to maximize high cost support. See MTS and WATS Market Structure; Amendment of Part 67 of the Commission’s Rules and Establishment of a Joint Board, CC Docket Nos. 78-72, 80-286, Decision and Order, 50 Fed. Reg. 939 (1985) (Part 67 Order); see also 47 C.F.R. Part 36 App. (“Study area boundaries shall be frozen as they are on November 15, 1984”). A carrier must therefore apply to the Commission for a waiver of the study area boundary freeze if it wishes to acquire or transfer exchanges. Part 67 Order, 50 Fed. Reg. at 939, para. 1. In the USF/ICC Transformation Order, the Commission streamlined its rules governing study area waiver requests, creating a method similar to the Bureau’s processing of routine section 214 transfer of control applications. See USF/ICC Transformation Order, 26 FCC Rcd at 17763, paras. 266-67; 47 C.F.R. § 36.4. The Bureau considers whether the state commission objects to the proposed transfer of exchanges. 10 See infra para. 15 for a further discussion of certification. Federal Communications Commission DA 13-282 3 that originally established study area boundaries for the incumbent LECs in their state, we acknowledge that certain states may not have the resources available to compile and submit study area boundary data in the format requested for this data collection. We therefore will continue to rely on individual incumbent LECs to submit data on the study areas they serve in cases where state commissions do not submit data and invite state entities to participate in any necessary reconciliation of data submitted by ILECs.11 5. State commissions wishing to submit and certify study area boundary data should notify the Commission in writing of their intention to do so by filing a notification in WC Docket No. 10-90 using the Commission’s Electronic Comment Filing System (ECFS).12 In these notifications, states should indicate which incumbent LEC study areas they plan to include in their submission. We will release a Public Notice identifying the deadlines for these notices, as well as the deadlines for the shapefile submissions and certifications, in the near future. States planning to submit data will be able to file at a later date than incumbent LECs since the states will have already taken on the task of resolving any disputes and ensuring the accuracy of the filing. State commissions should submit data based on the specification in the Appendix attached hereto. We expect that the boundaries submitted and certified by state commissions will have been verified and reconciled at the state level, and that minimal further reconciliation will need to be done by Commission staff.13 6. If a state commission does not notify the Commission that it intends to submit study area boundary data for the incumbent LECs in its state, those incumbent LECs are required to submit and certify their study area boundary data under the rules and procedures established in the Study Area Boundary Order and this Order on Reconsideration, as well as subsequent Public Notices providing filing deadlines and instructions.14 7. On reconsideration, we no longer provide an option for state associations to submit data on behalf of incumbent LECs in their state. Consistent with our decision above that state commissions making submissions should certify as to the accuracy of the data, we conclude in general that the party submitting the data should also certify as to its accuracy, consistent with the certification standard as explained below. We do not believe that the state associations are likely to have the necessary information to be able to certify as to the accuracy of incumbent LECs’ data; we therefore reconsider our earlier decision to provide the option for state associations to submit data on behalf of incumbent LECs. However, state associations can assist state commissions and incumbent LECs in preparing boundary data and in the reconciliation of data submitted by incumbent LECs. In those states where the state commission chooses not to submit data on behalf of all incumbents, we encourage state commissions and state telecommunications associations to participate in the process of reconciling data submitted by the incumbent LECs and will share such data with them to assist in that function.15 For instance, we plan to provide state entities with a map of the LEC-submitted boundaries for their review and comment. If 11 See infra paras. 5-7. 12 ECFS is available at . 13 Commission staff will review data submitted by state commissions to ensure its completeness and to confirm that it follows the data specification and mapping standards set forth in the Appendix to this Order on Reconsideration. 14 As stated in the Study Area Boundary Order, we will contact any incumbent LEC that does not submit study area boundary data in the format requested by the required date and request that the data be submitted within 30 days, unless the state commission has filed a notification indicating that it plans to submit study area boundary data on behalf of that incumbent LEC. We will also contact any incumbent LEC that has not certified the accuracy of the required study area data, and request that the incumbent LEC certify the data, or submit corrected data, within 30 days. Study Area Boundary Order, 27 FCC Rcd at 13535, para. 22. 15 For instance, state telecommunications associations can assist incumbent LECs in preparing boundary data and, in cases where the associations maintain such data in their own records, can provide that data to the incumbent LECs for them to submit. Federal Communications Commission DA 13-282 4 boundary overlaps, void areas, or disputes occur in data submitted by incumbent LECs, we will seek input from the relevant state entities and incumbent LECs to help resolve such issues. If a state commission chooses not to participate in the reconciliation process, we will resolve the matter based on the information before us. 8. We emphasize that we need to complete the initial data collection with sufficient time to allow for its use in developing revised high cost loop support (HCLS) benchmarks that will determine support levels beginning January 1, 2014. If neither an incumbent LEC nor the relevant state commission submits or certifies boundary data for particular study areas, the Bureau will determine the boundaries of such study areas, using its own analysis and data sources, for purposes of establishing the HCLS benchmarks that will be used to deliver support in 2014.16 If state commissions or incumbent LECs make refinements or corrections to study area boundary data after the required deadlines in 2013, those modifications cannot be considered until the next time the Bureau updates the HCLS benchmarks.17 B. Submissions by Price Cap Carriers 9. The Study Area Boundary Order required all incumbent LECs to submit study area boundary data at the exchange level, with the shapefile for each study area depicting each internal exchange as a closed, non-overlapping polygon.18 It is important to collect exchange-level data from rate- of-return carriers because the Bureau, when conducting the analysis used to implement the HCLS benchmarking rule, must be able to distinguish those exchanges that are subject to “frozen” support levels from those that are not, and track and account for exchanges that are transferred from one incumbent LEC to another.19 However, because the HCLS benchmarking rule does not apply to price cap carriers, certain parties have argued that it may not be necessary or practical to collect study area boundary data at the exchange level from price cap carriers.20 10. The study area boundaries of price cap carriers are needed to “complete the puzzle” for HCLS implementation – to verify the accuracy of adjacent rate-of-return carrier study areas. In addition, data on exchanges is useful for tracking the sale or transfer of exchanges between price cap and rate-of- return carriers. Knowing which exchanges have been transferred from a price cap carrier is important for HCLS implementation because it allows the Bureau to account for whether and how a rate-of-return carrier’s study area boundary has changed as a result of the sale or purchase of an exchange. We therefore believe that exchange-level data from price cap carriers is necessary to ensure ongoing accurate HCLS implementation and will provide information generally useful for ongoing policy implementation at the Commission. 11. While exchange-level data from rate-of-return carriers are essential to HCLS implementation, and the benefits of collecting these data fully exceed the burdens involved in submitting them, we recognize that the benefits of obtaining similar data from price cap carriers—while substantial—are more removed, and that submitting data at that level of detail involves time and effort on 16 Study Area Boundary Order, 27 FCC Rcd at 13529, para. 4 (discussing HCLS implementation). 17 As stated in the Study Area Boundary Order, incumbent LECs (or state commissions) must submit updated study area boundary data by March 15 of each year showing any changes made by December 31 of the previous year. Id. at 13535, para. 23. When the Bureau updates the HCLS benchmarks, it will use the most recent data available. 18 Each exchange-area polygon would constitute one record in the shapefile and contain associated data with certain attributes used to identify the exchange, such as the exchange name and CLLI (Common Language Location Identifier) code. Id. at 13530, para. 8. 19 Id. at 13530-31, para. 8. 20 See USTelecom PRA Comments at 5-6, 9-10; Lanning Feb. 3 Remarks. Federal Communications Commission DA 13-282 5 the part of the incumbent LECs or state commissions.21 We therefore reconsider our decision to require exchange-level data for price cap areas and will allow price cap carriers – or state commissions – to submit the boundaries of component wire centers, which may be less burdensome to compile in a shapefile format,22 when submitting price cap study area boundary data, as long as the filer indicates the exchange or exchanges associated with each wire center.23 In addition, the filer should submit both a polygon of the outer boundary of the price cap study area, as well as polygons for the individual interior wire center boundaries, as part of the same shapefile or map layer.24 We expect this change to provide the Commission with adequate data for HCLS implementation while reducing the filing burden on incumbent LECs and state commissions. C. Accuracy Requirements 12. In the Study Area Boundary Order, we required that the submitted shapefiles conform to the 1:24,000 scale, which is the standard used by the U.S Geological Survey (USGS) National Map and which claims to produce a horizontal accuracy of +/- 40 feet. Certain parties have voiced concerns about certifying that the study area boundary data they submit have a horizontal accuracy of +/- 40 feet.25 This requirement stems from the need to have boundaries conform to a common base map, rather than an accuracy requirement per se. If two adjoining study areas are bound by a road, stream, or other geographic or topographic feature, basing the maps of these areas on a standard scale of 1:24,000 will produce a more accurate set of boundaries and will greatly improve the reconciliation process.26 13. We clarify in this Order on Reconsideration that in the initial year of implementation of this data collection, we will take a flexible approach in administering the requirement that shapefiles conform to the 1:24,000 topographic scale of the USGS National Map or that have an accuracy level of +/- 40 feet. In particular, we emphasize that we do not intend to penalize filers who undertake reasonable, good faith efforts to submit information within the necessary time frames, even if that information subsequently is adjusted or corrected in future years. 14. We also acknowledge that even after incumbent LECs or state commissions certify to the accuracy of their submitted data, overlap and void areas can occur, and, in such cases, we will seek input from the relevant parties (incumbent LECs and/or state commissions) to resolve such issues during the reconciliation process. There may be disputes in particular instances as to the precise location of a boundary, and in this first year of implementation, we ask all parties to undertake best efforts to work with us to develop a coherent national data set. We recognize that the initial implementation of this data 21 See USTelecom PRA Comments at 5-6, 9-10; Lanning Feb. 3 Remarks; Letter from Jonathan Banks, Senior Vice President, Law & Policy, USTelecom, to Marlene Dortch, Secretary, FCC, WC Docket Nos. 10-90, 05-337 (filed Feb. 25, 2013) (USTelecom Feb. 25 ex parte). 22 See USTelecom PRA Comments at 5-6, 9-10; Lanning Feb. 3 Remarks; USTelecom Feb. 25 ex parte. 23 See infra Appendix for further detail. In some states and for some incumbent LECs, exchange boundaries and wire center boundaries are identical; in other cases, a wire center can contain multiple exchanges, or an exchange can contain multiple wire centers. Data on the wire center boundaries of price cap carriers will be useful for other purposes, including informing the work of the Commission’s Technology Transitions Policy Task Force, which is developing recommendations on how the Commission can modernize policies to encourage technological transition, empower consumers, promote competition, and ensure network reliability. FCC Chairman Julius Genachowski Announces Formation of ‘Technology Transitions Policy Task Force,’ News Release, FCC, Dec. 10, 2012, available at http://www.fcc.gov/document/fcc-chairman-announces-technology-transitions-policy-task-force. 24 See infra Appendix for further detail. 25 See USTelecom PRA Comments at 4, 16; Comments of Texas Statewide Telephone Cooperative, Inc., WC Docket Nos. 10-90, 05-337, OMB Control No. 3060-1181, filed Jan. 7, 2013; Lanning Feb. 3 Remarks. 26 See Study Area Boundary Order, 27 FCC Rcd at 13532, para. 14 n.33. Federal Communications Commission DA 13-282 6 collection may be more challenging for some states than others, and we encourage all states to participate in this important effort. 15. Finally, we provide guidance regarding the requirement that an official certify that the information provided is accurate and correct to the best of his or her knowledge, information, and belief. Such certifications should be based on the information before the official making the certification and on a reasonable, good faith effort to confirm the accuracy of submitted boundaries. For incumbent LECs in states where the state commission is unable, for whatever reason, to undertake this important task, it is necessary to have some party indicate that it has made a reasonable, good faith effort to verify the information in question, even though the incumbent LEC is not the ultimate decision maker regarding the location of the boundary. The certification from an official of an incumbent LEC regarding the location of the boundary to the best of that individual’s knowledge, information, and belief will represent just that – the individual’s or company’s reasonable, good faith efforts. III. PROCEDURAL MATTERS 16. Regulatory Flexibility Certification. As required by the Regulatory Flexibility Act of 1980 (RFA),27 the Commission prepared a Final Regulatory Flexibility Analysis (FRFA) for the Study Area Boundary Order. In accordance with the RFA,28 we certify that the modifications adopted herein “will not have a significant economic impact on a substantial number of small entities.”29 The rules modified in this Order on Reconsideration will reduce the burden on small entities relative to the impact of the rules adopted in the Study Area Boundary Order. We have eased the burden on small incumbent LECs by allowing state entities to certify to the accuracy of the data they (the states) submit, rather than requiring incumbent LECs to make the certification. We have also reduced the burden on small entities that are price cap carriers by allowing them the option to submit boundary data at the wire center rather than exchange level. 17. The Commission will send a copy of this Order on Reconsideration, including this certification, to the Chief Counsel for Advocacy of the Small Business Administration.30 In addition, the Order on Reconsideration (or a summary thereof) and certification will be published in the Federal Register.31 18. Paperwork Reduction Act. The Study Area Boundary Order contained new information collection requirements subject to the Paperwork Reduction Act of 1995 (PRA), Public Law No. 104-13. The Bureau submitted a request for emergency PRA approval for this new data collection to the Office of Management and Budget (OMB) in December 2012,32 and OMB approved the Bureau’s request on January 23, 2013.33 The emergency PRA approval expires on July 31, 2013. The Bureau will explain the modifications adopted in this Order on Reconsideration when it submits its request for extension of the currently-approved collection to OMB. When that PRA request is published in the Federal Register, OMB, the general public, and other Federal agencies will be invited to comment on all aspects of the study area boundary information collection requirements. 27 See 5 U.S.C. § 603. The RFA, see 5 U.S.C. § 601 et seq., has been amended by the Contract With America Advancement Act of 1996, Pub. L. No. 104-121, 110 Stat. 847 (1996) (CWAAA). Title II of the CWAAA is the Small Business Regulatory Enforcement Fairness Act of 1996. 28 See 5 U.S.C. § 604. 29 5 U.S.C. § 605(b). 30 Id. 31 Id. 32 77 FR 75159-01. 33 78 FR 5750. Federal Communications Commission DA 13-282 7 19. Congressional Review Act. The Commission will send a copy of this Order on Reconsideration to Congress and the Government Accountability Office, pursuant to the Congressional Review Act.34 20. Effective Date. We conclude that good cause exists to make the effective date of the modifications adopted in this Order on Reconsideration effective immediately upon publication in the Federal Register or on February 27, 2013, whichever is later, pursuant to section 553(d)(3) of the Administrative Procedure Act.35 Agencies determining whether there is good cause to make a rule revision take effect less than 30 days after Federal Register publication must balance the necessity for immediate implementation against principles of fundamental fairness that require that all affected persons be afforded a reasonable time to prepare for the effective date of a new rule.36 The rules in the Study Area Boundary Order were duly published in the Federal Register and will take effect on February 27, 2013. The changes adopted in this Order on Reconsideration provide the affected parties with additional options for complying with the requirements in the Study Area Boundary Order. Given the need to collect this information and the lack of any additional burden imposed by this Order on Reconsideration, there is good cause to make these amendments effective immediately upon Federal Register publication or on February 27, 2013, whichever is later. 21. Accordingly, IT IS ORDERED, pursuant to sections 1, 2, 4(i), 201-205, 218-220, 254, 303(r), and 403 of the Communications Act of 1934, as amended, 47 U.S.C. §§ 151, 152, 154(i), 201-205, 218-220, 254, 303(r), and 403, sections 0.91, 0.201(d), 0.291, 1.108, and 1.427 of the Commission’s rules, 47 C.F.R. §§ 0.91, 0.201(d), 0.291, 1.108, 1.427, and the delegations of authority in paragraphs 157, 184, 187, 192, 217 of the USF/ICC Transformation Order, FCC 11-161, that this Order on Reconsideration IS ADOPTED. 22. IT IS FURTHER ORDERED that this Order on Reconsideration SHALL BE EFFECTIVE immediately upon publication in the Federal Register or on February 27, 2013, whichever is later. 23. IT IS FURTHER ORDERED that the Commission’s Consumer and Governmental Affairs Bureau, Reference Information Center, SHALL SEND a copy of this Order on Reconsideration to the Chief Counsel for Advocacy of the Small Business Administration. 34 See 5 U.S.C. § 801(a)(1)(A). The Congressional Review Act is contained in Title II, § 251, of the CWAAA; see Pub. L. No. 104-121, Title II, § 251, 110 Stat. 868. 35 5 U.S.C. § 553(d)(3). 36 Omnipoint Corporation v. FCC, 78 F.3d 620, 630 (D.C. Cir. 1996), citing United States v. Gavrilovic, 551 F.2d 1099, 1105 (8th Cir. 1977). Federal Communications Commission DA 13-282 8 24. IT IS FURTHER ORDERED that the Commission SHALL SEND a copy of this Order on Reconsideration to Congress and the Government Accountability Office pursuant to the Congressional Review Act, see 5 U.S.C. § 801(a)(1)(A). FEDERAL COMMUNICATIONS COMMISSION Julie A. Veach Chief Wireline Competition Bureau Federal Communications Commission DA 13-282 9 APPENDIX Specification for Study Area Boundary Submission I. General Incumbent local exchange carriers (LECs) or state commissions must submit study area boundaries in esri shapefile format.1 Incumbent LECs should submit each study area served in a separate shapefile. Since shapefiles typically consist of 3 to 9 individual files, the shapefile for the study area should be submitted as a single, zipped file containing all of the component files. The shapefile and encapsulating zip file names must contain the company name and the 6-digit study area code. Shapefile templates are available at http://www/fcc/gpv/wcb/iatd/neca.html. State commissions may submit shapefiles comprised of multiple study areas, and may submit zip files that contain multiple study areas. The encapsulating zip file should contain the state name. Study area boundaries for rate-of-return carriers must be submitted at the exchange level, while study areas for price cap carriers can be submitted at the exchange or wire center level. The shapefile must contain one data record for each exchange or wire center within the study area. Each exchange or wire center should be represented as a closed, non-overlapping polygon with the associated feature attributes listed below in the accompanying metadata. In cases where a carrier or state submits price cap study areas at the wire center level, the shapefile must contain both a polygon representing the outer study area boundary as well as polygons representing the internal wire centers. In the attributes associated with the polygon representing the outer study area boundary, fields 4, 5, and 6 (in Section II.B below) can be left blank or null. In addition, the attributes associated with each wire center polygon should include the exchange name(s) associated with the wire center. If there are multiple exchanges, list them all in the field separated by a comma. After submitting the study area boundaries, an officer of the LEC, or an individual authorized by the state commission, must certify that the information provided is accurate and correct to the best of his/her knowledge, information, and belief, based the individual’s or company’s reasonable, good faith efforts.2 II. Shapefile A shapefile template is available at http://www.fcc.gov/wcb/iatd/neca.html. Submitted shapefiles must: A. contain one closed, non-overlapping polygon for each exchange or wire center in the study area. The polygon should represent the area served from that exchange or wire center. B. have associated with each exchange or wire center polygon the following identifying feature attributes (or fields): 1 The Commission will be using these data as a general map base for universal service and other analyses for which these data are useful. For the purposes of this collection, boundary does not refer to an architectural or engineering drawing, meets and bounds descriptions, or other surveyed body of work. Boundary does refer to the general extent of the incumbent LEC’s exchange or wire center which can be identified on a base map scale of 1:24,000. If appropriate, the boundary should be consistent with or snapped to existing political, geographic, or physical features (e.g., county, road, river, etc.) at or below 1:24,000. 1:24K national mapping standards are available at http://egsc.usgs.gov/isb/pubs/factsheets/fs17199.html. 2 See supra para. 15 for a discussion of the certification requirement. Federal Communications Commission DA 13-282 10 1. OCN – NECA-assigned operating company number as in the LERG 2. Company Name 3. Boundary Type – Exchange, Wire Center, or Outer Study Area 4. Exchange Name3 5. Wire Center Name (leave blank if submitting exchange-level data) 6. Was the Exchange acquired subject to section 54.305 of the Commission’s rules?4 7. Study Area Code (6-digit) 8. State C. have an assigned projection w/accompanying .prj file D. use unprojected (geographic) WGS84 geographic coordinate system E. conforming to 1:24K national mapping standards or have a minimum horizontal accuracy of +/- 40 feet or less F. be submitted as a WinZip archive with a name containing the company name and study area code (e.g., CompanyName_123456.zip). III. CLLI Codes In conjunction with the shapefile attributes listed above, incumbent LECs or state entities should submit, within the zip file, a .csv file listing all of the 11-digit CLLI codes (for switches) associated with each exchange or wire center boundary. Because multiple CLLI codes can be associated with an exchange, it is easiest to capture these data in a separate table rather than include them in the shapefile attributes listed above. The .csv file should contain the three fields listed below, and each CLLI code should be listed in a separate row. This is a .csv file only; the locations of the switches associated with the CLLI codes do not need to be mapped. 1. Boundary Type – Exchange, Wire Center, or Outer Study Area 2. Exchange or Wire Center Name 3. CLLI Code (11-digit) IV. Cover Page Information In addition to the shapefile data described above, we also will collect electronically the following information: A. Company Name B. FRN (please use the FRN used for the 477 filing in the state) C. Contact person name D. Contact person address E. Contact person phone number F. Contact person email address G. Date created/revised H. Methodology – process steps to create the data 3 If a price cap carrier or state commission is submitting wire center-level data, it should provide the name of the exchange associated with the wire center boundary. 4 See 47 C.F.R. § 54.305; see also Connect America Fund; High-Cost Universal Service Support; WC Docket Nos. 10-90, 05-337, Order, 27 FCC Rcd 4235, 4255, App. A n.2. (Wireline Comp. Bur. 2012). Rural incumbent LECs that incorporate acquired exchanges into an existing study area provide NECA with separate cost data for the acquired portions of the study area. Submitted shapefiles must include separate polygons for portions of exchanges subject to section 54.305. Federal Communications Commission DA 13-282 11 I. Certifying official name J. Certifying official address K. Certifying official phone number L. Certifying official email address