Cinnamon Mueller Client Updates

 

Filing Notice

FCC Issues CPNI Enforcement Advisory for CPNI Officer’s Certification

Due On or Before March 1, 2013

 

On January 16, 2013, the FCC released an Enforcement Advisory reminding telecommunications carriers and interconnected VoIP providers that their annual reports certifying compliance with the FCC’s Customer Proprietary Network Information (“CPNI”) rules are due on or before March 1, 2013. Failure to submit a timely and complete certification may lead to FCC enforcement action.  In past years, the FCC has issued Notices of Apparent Liability proposing fines of up to $20,000 against companies that failed to comply with the certification requirement, filed their certifications late, or filed their certifications incorrectly.

FCC rules require an annual compliance certificate, signed by a corporate officer, stating with personal knowledge that the provider has established and followed operating procedures adequate to ensure compliance with the FCC’s CPNI rules.  The filing must include a statement explaining how the operating procedures ensure compliance with the FCC’s CPNI rules.

The provider must also include, if applicable, an explanation of any actions taken against data brokers and a summary of all customer complaints concerning any unauthorized release of CPNI received in the past year.  The FCC Enforcement Advisory contains a suggested template for filing intended to help companies ensure that their certifications contain all of the required information.  The certificate, as well as the information noted above, must be filed in EB Docket No. 06-36, or through the FCC’s CPNI Certification Template (http://apps.fcc.gov/eb/CPNI/).

If you have any questions regarding CPNI or the filing of the officer’s certificate, please contact please contact Bruce Beard at (636) 778-0646 or bbeard@cm-chi.com.