Universal Service – Schools and Libraries Universal Service Program 3060-0806
FCC Forms 470 and 471 December 2018
This submission is being made pursuant to 44 U.S.C. 3507 of the Paperwork Reduction Act of 1995 to obtain the Office of Management and Budget (OMB) approval to revise the existing collection 3060-0806 (FCC Forms 470 and 471).
A. Justification:
1. Circumstances that make the collection necessary. The Federal Communications Commission (Commission) seeks processing of this information collection under the Paperwork Reduction Act (PRA), 5 CFR § 1320.12.
The Communications Act of 1934, as amended by the Telecommunications Act of 1996 (Act), directed the Commission to take steps necessary to establish support mechanisms to ensure the delivery of affordable telecommunications service for all Americans, including consumers in high cost areas, low-income consumers, rural health care providers, and eligible schools and libraries. Section 254(h) of the Act, as implemented by the Commission in its Universal Service Order (CC Docket No. 96-45, FCC 97-157), established, inter alia, the federal universal service support mechanism for schools and libraries (E-Rate program).
Under the E-Rate program, eligible schools, school districts, libraries, and consortia that include eligible schools and libraries may apply for discounts ranging from 20 percent to 90 percent of the pre-discount price of eligible services. The level of discounts may change depending on the category of eligible services selected and are based on indicators of need.
Eligible school and library applicants can seek funding on an annual basis. They commence the application process by first seeking bids for eligible services and filing the FCC Form 470 with the Universal Service Administrative Company (USAC or Administrator), the current administrator of the E-Rate program. After entering into agreements for services, applicants may seek funding for such services by filing an FCC Form 471 application with the Administrator once the application window opens.
On July 23, 2014, the Commission released an Order and Further Notice of Proposed Rulemaking (FNPRM) (WC Docket No. 13-184, FCC 14-99; 79 FR 49160, August 19, 2014) (2014 First E-Rate Order) modernizing the E-Rate program. Specifically, the 2014 First E-Rate Order adopted new rules and procedures to reorient the E-Rate program to focus support on high-speed broadband for schools and libraries while also taking steps to streamline the program.
On December 19, 2014, the Commission released an Order and Order on Reconsideration (WC Docket No. 13-184, FCC 14-189; 80 FR 5961, February 4, 2015) (2014 Second E-Rate Order), which implemented the next critical steps to modernize the E-Rate program by maximizing options for schools and libraries seeking to purchase high-speed broadband and adjusting the E-Rate program spending cap to $3.9 billion. With these improvements, the Commission sought to close the high-speed connectivity gap between rural schools and libraries and their urban and suburban counterparts and provide sufficient and certain funding for high-speed connectivity to and within all eligible schools and libraries.
The Commission seeks approval to revise the requirements contained in this information collection as explained below.
Collection of the information on FCC Forms 470 and 471 is necessary so that the Commission and USAC have sufficient information to determine if entities are eligible for funding and complying with the Commission’s rules. In addition, the information is necessary for the Commission to evaluate the extent to which the E-Rate program is meeting the statutory objectives specified in section 254(h) of the 1996 Act and the Commission’s performance goals established in the 2014 First and Second E-Rate Orders, and to prevent waste, fraud, and abuse. This information collection, as described in more detail below, is being revised as noted below.
Statutory authority for this collection of information is contained in sections 1, 4(i), 4(j), 201-205, 214, 254, and 403 of the Communications Act of 1934, as amended, 47 U.S.C. § 151-154, 201-205, 218-220, 254, 303(r), 403 and 405.
FCC Form 470 “Description of Services Requested and Certification.”
To begin the application process for E-Rate funding, applicants must comply with the Commission’s competitive bidding rules by completing online an FCC Form 470 describing the services it needs from vendors. Once the information is entered into the online system and certified by the filer, the information is displayed on USAC’s website where it must be posted for at least 28 days before applicants can enter into contracts or agreements for services. See 47 CFR § 54.503(c)(4). The funding year for the E-Rate program starts on July 1 and ends on June 30. Applicants and consultants completing the FCC Form 470 must provide basic information, including contact information and demographic information to assist in the processing of the application. At a minimum, the applicant must include a list of specified services for which the school, library, or consortium requests bids, and sufficient information to enable bidders to reasonably determine the applicant’s needs. See 47 CFR § 54.503(c)(1).
FCC Form 470 “Description of Services Requested and Certification” Instructions.
Directions and other guidance for filers are integrated into the online interface for the FCC Form 470.
FCC Form 471 “Services Ordered and Certification.”
Once a school or library has complied with the Commission’s competitive bidding requirements and entered into an agreement for eligible services, it must file an FCC Form 471 application to notify USAC of the services that have been ordered, the service provider(s) with whom the applicant has entered into an agreement, and an estimate of the funds needed to cover the discounts to be given for eligible services. See 47 CFR § 54.504(a). Applicants also must provide their FCC Registration Number. See 47 CFR §§ 1.8002 and 1.8003. The funding window in which USAC accepts FCC Form 471 applications typically opens in January and closes in March before the applicable funding year begins on July 1. For example, the funding window for the 2018 funding year opened in January 2018 and closed in March 2018. This timing allows USAC to process applications and start committing funds prior to the start of the funding year.
Online Access for Streamlined Filing – Filers access the FCC Form 471 through an online portal. Applicants have the opportunity to pre-file information pertaining to the FCC Form 471 in the online portal prior to the opening of the FCC Form 471 funding year window. Once information is prepopulated into the FCC Form 471, applicants will be able to check and provide corrections and updates to the information displayed. The online portal asks basic information about the applicant such as name, address, email address, and website information, and prepopulates these and other components of information already known about the applicant into the online FCC Form 471. This information comes from the applicant’s FCC Form 470 filing and/or the information for the FCC Form 471 that it has pre-filed and stored in the system. The portal may also ask other questions related to the FCC Form 471 and the certifications that the applicant will make when they file the FCC Form 471. For example, schools with endowments are asked to provide the amount of their endowments to enable USAC to verify the certifications applicants make in the FCC Form 471 that they do not have endowments exceeding $50 million. Access to the portal and pre-filing is expected to expedite the FCC Form 471 filing process when the funding year window opens for applicants to request E-Rate funding for services.
Customized Applications – In general, the FCC Form 471 is customized to the type of applicant and/or the type of selections made during the filing process. For example, if the filer indicates that it will be receiving state matching funds, fields will be available to that filer that will not be available to filers that are not receiving state matching funds.
Integrated Instructions – Guidance for filling out the form is integrated into the system to provide filers a roadmap to complete the FCC Form 471. Wherever applicable and possible, filers will be provided explanatory text regarding the selections they choose during filing, and additional text to remind them where they may have to provide additional information or meet special requirements.
Discount Calculations – Filers are able to input, finalize and pre-certify the information necessary to calculate their discount rates prior to filing their FCC Forms 471. Pre-certifications will auto load into their FCC Form 471. Applicants that have not provided and pre-certified discount calculation inputs will need to provide such information before finalizing and submitting the FCC Form 471. In addition to information previously asked of applicants to compute discount calculations, applicants will need to supply revised or new information to enable USAC and the Commission to better implement the directives of the 2014 First and Second E-Rate Orders, including the physical location of schools and libraries, information about annexes to buildings, and the Institute of Museum and Library Services (IMLS) Locale Codes for libraries.
Requesting Services – In addition to information previously asked of applicants to request funding for services in this collection, applicants will need to supply information to enable USAC and the Commission to better implement the directives of the 2014 First and Second E-Rate Orders. Applicants are asked to provide the contract expiration dates for their current contract term, as well as the date of contract expiration if all extensions were to be exercised.
Installment Payments for Special Construction – The FCC Form 471 allows an applicant to indicate if it has entered into a multi-year installment payment agreement with a service provider for the non-discounted share of special construction costs and seeks information about the installment payment agreement, such as the number of years (1- 4 years) covered by the plan and the amount of monthly payments. Applicants that enter into installment payment plans will need to make a certification about this according to the Commission’s rule:
Applicants that enter into multi-year installment payment agreements must certify that they are able to make all required installment payments. See 47 CFR § 54.504(a)(1)(iii).
State Matching Funds – Filers will indicate if they are receiving state or tribal government matching funds for special construction charges. Once filers indicate that they are receiving matching funds, the FCC Form 471 collects identifying information about the match such as the source and dollar amount of the match, expected speed of the connection, and the entities that are being connected by the special construction subject to the match. The system will adjust the discount calculation based on the amount of the matching funds up to ten percent above an applicant’s discount rate.
Streamlined Communications – Once an FCC Form 471 has been filed, filers receive a notice through the user portal to confirm receipt.
FCC Form 471 “Description of Services Requested and Certification” Instructions. Directions and guidance for filers are integrated into the online FCC Form 471 experience.
Section
54.504(a)(1)(iii) of the Commission’s rules relates to the
certification that applicants make on the FCC Form 471 that they
have the necessary resources to make effective use of the services
they are purchasing. Those applicants that enter into installment
payment plans must certify that
they are able to make all required installment payments.
Revisions to Current Collection.
While
the Commission is unable to make all of the changes recommended by
commenters at this time, see comment responses below, we now seek to
revise the FCC Form 471 to implement one of the suggested changes.
Specifically, the Schools, Health & Libraries Broadband
Coalition (SHLB) and State E-Rate Coordinators Alliance (SECA)
recommend removing the connectivity questions module from the FCC
Form 471 on the basis that this requirement is redundant and
unnecessary. The Commission agrees with this recommendation and
seeks approval from OMB to revise the collection to remove these
questions. This requested change is noted in the attached
screenshots. We expect this change to result in a slight decrease
in the estimated filing burden.
The Commission also seeks to add a wireless menu option on the screen for special construction requests. Adding this option ensures that applicants can accurately describe the services sought without having to use the narrative section of the funding request to explain the services actually being procured. We expect this change to result in a slight decrease in the estimated filing burden.
The Commission also seeks to make other, minor, cosmetic changes to the FCC Forms 470 and 471. For example, we seek to add options for license, transceiver, and module in the FCC Form 471 Category two drop-down menu, so that applicants have the option of selecting these entries from a drop-down menu rather than typing them out in the “Other” field; adding clarifying pop-up messages to the portal to prevent inadvertent rule violations; and incorporating the ability to select state match funding for non-fiber networks that require special construction to prevent service misclassifications. Where possible, these changes are noted in the attached screenshots. These changes will not affect the estimated filing burden, nor will they affect the applicant’s ability to comply with E-Rate rules.
This information collection does not affect individuals or households; thus, there are no impacts under the Privacy Act.
2. Use of information. The requirements contained herein are necessary to implement the congressional mandate for universal service. The information collected herein provides the Commission and USAC with the necessary information to administer the E-Rate program, determine the amount of support entities seeking funding are eligible to receive, to determine if entities are complying with the Commission’s rules, and to prevent waste, fraud, and abuse. The information will also allow the Commission to evaluate the extent to which the E-Rate program is meeting the statutory objectives specified in section 254 of the 1996 Act and the Commission’s performance goals set forth in the 2014 First E-Rate Order, and to evaluate the need for and feasibility of any future revisions to program rules.
3. Use of automated, electronic, mechanical, or other technological collection techniques or other forms of information technology. Applicants must submit information through an online interface on the USAC website. As required by the Commission in the 2014 First E-rate Order, USAC does not accept paper filings. The online FCC Forms 470 and 471 do not, in non-material respects, exactly resemble the representation or template of the form charts included with this submission. We are providing screenshots of the FCC Forms 470, 471, and the entity profile on the online interface and, where possible, have annotated proposed changes to those forms. The online interface will permit applicants to input data in required fields and auto-populates data where applicable. To reduce applicant confusion, the electronic filing process uses progressive disclosure where possible, so that an applicant will be asked to provide only information relevant to their application (e.g., school applicants will not be asked to provide, or see questions intended for, library applicants). The online interface stores application information and related materials for school and library entities, and can potentially help applicants comply with recordkeeping requirements and possible audits. Furthermore, where possible, information already provided by applicants is carried forward to filings in later funding years (i.e., pre-populated data) to further reduce the filing burden.
4. Efforts to identify duplication. There will be no duplication of information. The information sought is unique to each applicant and similar information is not already available. The Commission does not otherwise collect information from schools and libraries. The data collected by the Commission regarding school and library use of telecommunications, information and broadband services is, to the best of the Commission’s knowledge, not available from other sources. To the extent data can be cross-walked based on unique identifiers, this information will be obtained and automatically pre-populated into the forms. The online system “pre-populates” information, so that applicants do not have to manually re-enter information that has not changed from previous filings.
5. Impact on small entities. Entities directly subject to the requirements in the forms are primarily schools, libraries, school districts, and consortia comprised of schools and libraries. This information collection is designed to impose the least possible burden on the respondents while ensuring that the Administrator and the Commission have information necessary to administer and improve the E-Rate program.
6. Consequences if information not collected. Failing to collect the information, or collecting it less frequently, would prevent the Commission from implementing section 254 (h) of the 1996 Act, and prevent eligible schools and libraries from seeking E-Rate discounts for eligible services.
7. Special circumstances. We do not foresee any special circumstances associated with this information collection.
8. Federal Register notice; efforts to consult with persons outside the Commission. A 60-day notice was published in the Federal Register pursuant to 5 CFR § 1320.8(d) on May 22, 2018. See 83 FR 23677. Ohio Information Technology Centers (Ohio ITC) submitted a comment, and SHLB and SECA submitted a joint comment. A 30-day notice was published in the Federal Register pursuant to 5 CFR § 1320.10(b) on October 3, 2018. See 83 FR 49926. Ohio ITC and SHLB each submitted a comment to the 30-day notice. Below we provide a summary of and address each of the comments.
Ohio ITC Comments
In comments responding to the Commission’s 60-day notice, Ohio ITC stated that it opposes the Commission’s request to extend the FCC Forms 470 and 471 (Forms) because: (1) the Commission is not properly seeking an extension of previously authorized forms; (2) the changes made by USAC to the Forms were not properly authorized; and (3) the FCC has not properly justified the changes made to the Forms. Moreover, Ohio ITC asserted that the FCC is required by the Communications Act and the FCC’s procedures to take control of the Forms, their instructions, and their user interfaces.
In response to the Commission’s 30-day notice, Ohio ITC reiterated arguments made in its comments in response to the Commission’s 60-day notice. Ohio ITC stated that it opposes the Commission’s request to extend the Forms because: (1) the changes made by USAC were not properly characterized as “nonsubstantive” change requests or changes that could have been made without prior notice and comment; (2) the revisions the Commission has proposed are mischaracterized as minor, cosmetic changes and will cause significant confusion for applicants and may result in funding denials, and (3) the screenshots submitted by the Commission do not satisfy PRA requirements because they do not use “plain, coherent and unambiguous terminology.”
From its comments, it appears that Ohio ITC is specifically concerned about drop-down menus used on the FCC Form 470. USAC’s online portal houses the FCC Form 470. The FCC Form 470 initiates the competitive bidding process and lists the various E-Rate eligible services that applicants wish to seek bids on using drop-down menus. In August 2017, USAC issued guidance in a news brief and in the online form on how to properly use the FCC Form 470 drop-down menus to request services over fiber and/or non-fiber networks and the streamlined the FCC Form 470 drop-down menu. USAC’s streamlined drop-down menu options: (1) ensured that applicants seeking services over fiber networks did not inadvertently violate the fiber-specific competitive bidding rules adopted in the 2014 First and Second E-Rate Orders; (2) responded to and mitigated service provider concerns that they were unable to properly locate and bid on fiber requests; and (3) ensured that both applicants and service providers could seek and submit bids for services consistent with the Commission’s competitive bidding rules.
Ohio ITC argues that the Commission’s request is “not properly seeking an extension of prior authorized forms” because its previous OMB-approved PRA request did not provide enough information about the Forms. Despite Ohio ITC’s claims to the contrary, the Commission intends to continue to collect the information submitted in the 2015 representative sample; the Commission has not added or removed any information collection to the Forms, except pursuant to a non-substantive change request.1 Further, in the 2015 submission, the Commission explained that the charts included in the representative sample contained descriptions of the information that it intended to collect via an online portal and were not intended to be an exact replica of what each applicant would see when using the online portal. Also, the instructions to the Forms continue to be implemented inside the online portal.
The Commission, however, proposes to revise the current requirements to remove some of the filing burden on applicants and to provide an easier means for applicants and service providers to use the Forms. Additionally, the Commission is submitting screenshots of the Forms to OMB with this Supporting Statement. We note that applicants will not necessarily see every screenshot submitted as information is generated dynamically in relation to the user’s choices in the online interface. Additionally, as the system pre-populates information from the user’s entity profile to reduce the burden on applicants, applicants will not necessarily see the same information presented on the screenshots as they see when using the online interface.
The SHLB and SECA Joint Comments (SHLB/SECA Comments) in response to the Commission’s 60-day notice recommend: (1) renewing the current information collection until June 30, 2019 and then seeking comments on modified Forms and newly prepared instructions for Funding Year (FY) 2020; (2) providing visual depictions and detailed instructions of the Forms in advance of FY2020; (3) revising the FCC Form 470 drop-down menu options, instructions for uploading competitive bidding documents, and the 28-day competitive bidding requirement; and (4) revising the FCC Form 471 instructions, presentation of building budgets, how applicants retrieve copies of this form, and related online interface enhancements.
While the Commission is unable to make all of the changes recommended by SHLB/SECA, we are now seeking to revise the forms to implement one of the suggested changes. SHLB/SECA recommended removing the connectivity questions module on the basis that this requirement is redundant and unnecessary. The Commission agrees with this recommendation and seeks approval from OMB to revise the collection to remove these questions.
SHLB/SECA also argue that OMB should revisit the estimated time burden for completing the FCC Form 471. Given recent process improvements, including those proposed in this information collection revision and the use of information pre-populated from applicants’ previous applications, we believe the estimated time burden cited in this revision is appropriate.
SHLB independently filed comments responding to the Commission’s 30-day notice. In these comments, SHLB stated that it supports the Commission’s decision to eliminate the connectivity questions from the FCC Form 471. SHLB also reiterates its request to modify the FCC Form 470 drop-down menu by July 1, 2019 and restates its concern that the current drop-down menu is confusing to applicants and service providers.
USAC and the Commission have taken several steps to reduce potential confusion regarding the FCC Form 470 drop-down menu. Specifically, on May 1, 2018, the Commission issued a public letter to USAC directing it “not to deny an FY 2018 application solely because the applicant chose the ‘Internet Access and Transport Bundled’ or ‘Transport Only - No ISP Service’ option on its FCC Form 470 and subsequently selected a fiber service on its FCC Form 471” for FY 2018.2 It additionally directed USAC to specify in the wording of the drop-down menu options whether the option included non-fiber or fiber services and directed USAC to provide stakeholders with clear guidance on the FY 2019 FCC Form 470 drop-down menu options and “to take whatever measures necessary to ensure that applicants fully understand those options.”3
Pursuant to that letter, USAC undertook an outreach campaign to fully explain the drop-down menus and how applicants should use them. Among other things, USAC: (1) provided applicants with an online reference chart explaining each drop-down choice on its website;4 (2) added notations to the drop-down menu choices so that applicants are clearly apprised of which drop-down choices are to be used for non-fiber services and which are to be used for fiber services (see attached FCC Form 471 screenshots); (3) issued a news brief on June 29, 2018 providing specific examples of how applicants may use each drop-down menu choice;5 and (4) added a section during its annual, in-person trainings that specifically discussed the proper use of the FCC Form 470 drop-downs.6
The Commission continues to believe that the FCC Form 470 drop-down menu is the best way to ensure that applicants comply with the Commission’s competitive bidding rules and to ensure that service providers can properly locate and bid on service requests. The Commission will continue to work with the applicant and service provider communities to alleviate any lingering confusion about these drop-down menus.
9. Payments or gifts to respondents. There will be no payments or gifts to respondents.
Assurances of confidentiality. There is no assurance of confidentiality provided to respondents concerning this information collection. However, respondents may request materials or information submitted to the Commission or to the Administrator be withheld from public inspection under 47 CFR § 0.459 of the FCC’s rules.
Questions of a sensitive nature. The request does not address any private matters of a sensitive nature.
12. Estimates of the hour burden of the collection to respondents. The following represents the hour burden on the collection of information:
Submission of FCC Form 470 “Description of Service Requested and Certification.”
Number of respondents: Of the approximately 20,000 public school districts, private schools, public library systems, and consortia respondents,
Approximately 16,000 respondents are in the government/public sector; and
Approximately 4,000 respondents are in the non-profit/private sector.
Frequency of response: Annually and on occasion. To start the competitive bidding process, each applicant (may be a school district, multiple school districts, public library systems, or combination thereof) must submit the FCC Form 470, describing the services desired to the Administrator before entering into an agreement for E-Rate-supported services.
Annual burden per response: 3 hours to fill out the form to comply with the reporting requirement; and 0.5 hours for the ten-year recordkeeping requirement. The total annual hour burden is: 98,000 hours.
Total estimate of in-house cost to respondents for the hour burdens for collection of information: $4,801,020.
Explanation of calculation: We estimate that:
It will take approximately 3 hours to fill out 1.4 Form 470 for the reporting requirement:
16,000 government/public sector respondents x 3 hours x 1.4 form = 67,200 hours
4,000 non-profit/private sector respondents x 3 hours x 1.4 form = 16,800 hours
It will take approximately 0.5 hours for the ten-year recordkeeping requirement:
16,000 government/public sector respondents x 0.5 hours x 1.4 form = 11,200 hours
4,000 non-profit/private sector respondents x 0.5 hours x 1.4 form = 2,800 hours
These 20,000 (government/public sector and non-profit/private sector) respondents will require approximately 3.5 hours to comply with requirements: preparing 1.4 Form 470, including time for reading instructions, and complying with the ten-year recordkeeping requirements at a cost of $48.99 per hour (including administrative staff time): 28,000 responses x 3.5 hours x $48.99 per hour = $4,801,020.
Summary of Estimated Total Annual Burden Hours for FCC Form 470:
Total Number of Respondents: 20,000 respondents: 16,000 government/public sector and 4,000 non-profit/private sector
Total Number of Responses: 28,000 responses: 16,000 government/public sector and 4,000 non-profit/private sector x 1.4 response
Total Annual Hourly Burden: 98,000 hours
84,000 hours for reporting requirements
14,000 hours for recordkeeping requirements
Submission of FCC Form 471 “Services Ordered and Certification.”
Number of respondents: Of the approximately 23,000 public school districts, private schools, public library systems, and consortia respondents,
(a) Approximately 18,400 respondents are in the government/public sector; and
(b) Approximately 4,600 respondents are in the non-profit/private sector.
Frequency of response: Annually and on occasion. To seek funding for competitively bid and ordered services, each school and library must submit FCC Form 471, describing the services desired, to the Administrator.
Annual burden per response: 4 hours to fill out the form to comply with the reporting requirement; and 0.5 hours for the ten-year recordkeeping requirement. The total annual hour burden is: 175,950 hours.
Total estimate of in-house cost to respondent for the hour burdens for collection of information: $8,619,791.
Explanation of calculation: We estimate that:
(a) It will take approximately 4 hours to fill out 1.7 Form 471 for the reporting requirement:
18,400 government/public sector respondents x 4 hours x 1.7 form = 125,120 hours
4,600 non-profit/private sector respondents x 4 hours x 1.7 form = 31,280 hours
(b) It will take approximately 0.5 hours for the ten-year recordkeeping requirement:
18,400 government/public sector respondents x 0.5 hours x 1.7 form = 15,640 hours
4,600 non-profit/private sector respondents x 0.5 hours x 1.7 form = 3,910 hours
These 23,000 (government/public sector and non-profit/private sector) respondents will require approximately 4.5 hours to comply with requirements: preparing 1.7 Form 471, including time for reading instructions, and complying with the ten-year recordkeeping requirements at a cost of $48.99 per hour (including administrative staff time):
39,100 responses x 4.5 hours x $48.99 per hour = $8,619,791.
Summary of Estimated Total Annual Burden Hours for FCC Form 471:
Total Number of Respondents: 23,000 respondents: 18,400 government/public sector and 4,600 non-profit/private sector
Total Number of Responses: 39,100 responses: 18,400 government/public sector and 4,600 non-profit/private sector/1.7 form
Total Annual Hourly Burden: 175,950
156,400 hours for reporting requirements
19,550 hours for recordkeeping requirements
Summary of Estimated Total Annual Burden Hours:
Total Number of Respondents: 43,000 respondents: 34,400 government/public sector and 8,600 non-profit/private sector
Total Number of Responses: 67,100 responses: 53,680 government/public sector and 13,420 non-profit/private sector
Total Annual Hourly Burden: 273,950 hours
240,400 hours for reporting requirements
33,550 hours for recordkeeping requirements
13. Total Annual Costs to Respondents:
(1) Total annualized capital/start-up costs: $0.00.
The collections will not require the purchase of additional equipment.
(2) Total operation and maintenance and purchase of service component (O&M) costs: $0.00.
The collections will not result in additional operation or maintenance expenses.
(3) Total annualized cost requested: $0.00.
14. Estimates of the cost burden to the Commission. There will be few, if any, additional costs to the Commission because notice, enforcement, and policy analysis associated with the Universal Service Fund are already part of the Commission’s duties. Moreover, there will be minimal cost to the federal government because a third party (USAC) administers the E-Rate program.
15. Program changes or adjustments. There are adjustments/decreases to this information collection. Based on current USAC data on the FCC Forms 470 and 471, the Commission has determined that there will be a decrease in the number of respondents and annual responses resulting in a decrease in the burden hours for this information collection. Since funding year 2016 there has been a drop in the number of unique filers, which has resulted in a decrease in the overall burden hours associated with this information collection.
16. Collections of information whose results will be published. Non-proprietary information will likely be made publicly available for the benefit of all interested parties (e.g., annual summary data for USAC’s quarterly Universal Service Fund demand estimates). The FCC Form 471 requires detailed price and service information that will be made publicly available unless a special showing can be made that there is a specific statute, rule, or other restriction barring publication of this information. The 2014 First and Second E-Rate Orders state that increased price transparency will improve cost-effectiveness within the program.
17. Display of expiration date for OMB approval of information collection. The Commission seeks continued approval to not display the expiration date for OMB approval of this information collection. The Commission will use an edition date in lieu of the OMB expiration date. This will prevent the Commission from having to repeatedly update the expiration date on the forms each time this collection is submitted to OMB for review and approval. The Commission publishes a list of all OMB-approved information collections in 47 CFR § 0.408 of the Commission’s rules.
Exceptions to certification statement for Paperwork Reduction Act Submissions. When the Commission published the 60-day Notice in the Federal Register on May 22, 2018 (83 FR 23677), we reported the total number of respondents as 27,000, total annual responses as 42,150 and total annual burden hours as 172,175. These estimates have been updated in the 30-day notice and are reflected in this submission to OMB.
There are no other exceptions to the Certification Statement.
B. Collections of Information Employing Statistical Methods:
The Commission does not anticipate that the collection of information will employ statistical methods.
1 See Universal Service – Schools and Libraries Universal Service Program, FCC Forms 470 and 471, Notice of Office and Management Budget Action, 3060-0806 (Dec. 28, 2015), Universal Service – Schools and Libraries Universal Service Program, FCC Forms 470 and 471, Notice of Office and Management Budget Action, 3060-0806 (April 3, 2018).
2 Letter from Kris A. Monteith, Chief, FCC Wireline Competition Bureau, and Mark Stephens, Director, FCC Office of Managing Director, to Radha Sekar, Chief Executive Officer, USAC at 2-3 (May 1, 2018).
3 Id. at 3.
4 USAC, FCC form 470 Category One Services Drop-down Menu Reference Table (updated July 2018), https://www.usac.org/_res/documents/sl/pdf/handouts/FCC-Form-470-C1-Dropdown-Table.pdf.
5 USAC, Schools and Libraries Program New Brief (June 29, 2018), https://www.usac.org/sl/tools/news-briefs/preview.aspx?id=839.
6 See USAC, Eligible Services PowerPoint, https://www.usac.org/sl/about/outreach/2018-training.aspx (last visited Dec. 11, 2018).
File Type | application/vnd.openxmlformats-officedocument.wordprocessingml.document |
File Title | 3060-0806 |
Author | SHAIR |
File Modified | 0000-00-00 |
File Created | 2021-03-24 |