*Pages 1--1 from C:\Pdf2Text\Ready4Text_in\pdf\51633.pdf* August 31,2005 Office of the Secretary ATf: OCBO Federal Communications Commission 445 12d1 Street. S. W. Washington, DC 20554 RE: Request for comment regarding possible revision or elimination of rules under the Regulatory Flexibility Act DA- OS- 1524 My name is Cyndi Streid. and I am a Collections Manager at State Fann Bank. located in lllinois. We are a business that has boon substantially banned as a resuh of the Federal Communications Commission's regulatory decision under the Telephone Consumer Protection Act (" TCP A ") that businesses, such as ours, cannot use predictive dialers to call wireless numbers when atten1pting to recover delinquent payments for goods or services received by consumers. I am aware that ACA International (.. ACA ") has filed a written comment with the Commission regarding this issue in response to the Commission's request for comments on the possible revision or elimination of rules under the Regulatory Flexibility Act, 5 V. S. C. § 610 (.~ A"), in proceeding DA- O5- 1524. See FCC Seeks Comment Regarding Possible Revision or Elimination of Rules Under the Regulatory Flexibility Act, DA- O5- 1524 (May 31, 2005). I fully suPJK} rt ACA's comment and the relief the Association seeks, including ACA's characterization of the hann visited upon small businesses as a resuh of the Commission's rule. To the extent that my company uses predictive dialers, we do so to complete transactions for which consumers have obtained a benefit without payment. We do not telemarket. The Commission should not permit its regulations to be used as a shidd to encourage the non-payment of debts. Doing so banns businesses, the economy, as well as consumers. As it stands today, our company faces serious financial hardship due to the Commission's regulatory reversal that creditors and debt collectors cannot use predictive dialers to call a wireless number to attempt to recover outstanding payment obligations. The Commission's rule requires companies, at great ~ to fundamentally alter our business models to reduce or remove our reliance on predictive dialers. It also needlessly subj~ us to federal enforcement and private litigation risk, even though Congress never intended such an outcome. For these reasons, I encourage the Commission to promptly clarify that autodialer calls to wireless numbers to attempt to recover payment obligations are not covered by the TCP A regulations for the reasons expressed by ACA. SincerJ>} y, .~;~~~:~~~:: t(: t,~: 1 Manager -Bank Collections Center State Farm Bank (309) 735- 9995 (E) ,au"""",,, LENDER MEMBER FDIC P. O. Box 2328 BLOOMINGTON, IWNOIS 61702- 2328 1