top of page
Search

iCERT Files Reply Comments at FCC

PS Docket No. 15-80 - New Part 4 of the Commission's Rules Concerning Disruptions to Communications


August 30, 2021


Re: In the Matter of Amendments to Part 4 of the Commission’s Rules Concerning Disruptions to Communications (PS Docket No. 15-80)


Dear Ms. Dortch:


The Industry Council for Emergency Response Technologies (“iCERT”) respectfully submits [its] Reply Comments in response to the Notice of Proposed Rulemaking (“NPRM”) released by the Federal Communications Commission (“FCC” or “Commission”) on April 23, 2021, in conjunction with the above-referenced docket.[1] iCERT appreciates the opportunity to provide feedback to the Commission.


iCERT is the nation’s only trade association focused exclusively on the commercial emergency response sector. Our member companies represent a broad cross section of companies with a collective interest in advancing innovative solutions that will improve public safety communications and help protect first responders and the public they serve. This includes companies that develop, provide, and support 911 and NG911 systems, services, and equipment that the public safety community and the public rely on every day.

[1] In the Matter of Amendments to Part 4 of the Commission’s Rules Concerning Disruptions to Communications, Third Notice of Proposed Rulemaking, FCC 21-45 (rel. Apr. 23, 2021) (“NPRM”). https://docs.fcc.gov/public/attachments/FCC-21-45A1.pdf



 
 
 

Comments


Let's Connect

  • LinkedIn
  • YouTube

2021 L St. NW

Suite 101-166

Washington, DC 20036

202.805.0096

Commit, Collaborate, Create

- The "Three C's" of iCERT

"iCERT" is a Registered Service Mark of the Industry Council for Emergency Response Technologies, Inc.

Contact: executivedirector@theindustrycouncil.org    Copyright  2022 by iCERT  All Rights Reserved  Any other trade or service marks contained herein are the property of their respective owners.

Privacy PolicyTerms and Conditions

bottom of page