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1 Report No. PUBLIC NOTIC FDRAL COMMUNICATIONS COMMISSION th STRT S.W. WASHINGTON D.C News media information Internet: (or ftp.fcc.gov) TTY (202) TL DA No Thursday December 10, 2009 INTRNATIONAL AUTHORIZATIONS GRANTD Section 214 Applications (47 C.F.R ); Section 310(b)(4) Requests The following applications have been granted pursuant to the Commission s streamlined processing procedures set forth in Section of the Commission s rules, 47 C.F.R , other provisions of the Commission s rules, or procedures set forth in an earlier public notice listing applications accepted for filing. Unless otherwise noted, these grants authorize the applicants (1) to become a facilities-based international common carrier subject to 47 C.F.R ; and/or (2) to become a resale-based international common carrier subject to 47 C.F.R ; or (3) to exceed the 25 percent foreign ownership benchmark applicable to common carrier radio licensees under 47 U.S.C. 310(b)(4). THIS PUBLIC NOTIC SRVS AS ACH NWLY AUTHORIZD CARRIR'S SCTION 214 CRTIFICAT. It contains general and specific conditions, which are set forth below. Newly authorized carriers should carefully review the terms and conditions of their authorizations. Failure to comply with general or specific conditions of an authorization, or with other relevant Commission rules and policies, could result in fines and forfeitures. Petitions for reconsideration under Section or applications for review under Section of the Commission's rules in regard to the grant of any of these applications may be filed within thirty days of this public notice (see Section 1.4(b)(2)). An updated version of Sections of the rules, and other related sections, is available at For additional information, please contact the FCC Reference and Information Center, Room CY-A257, th Street SW, Washington, D.C , (202) ITC ZN Prepaid, LLC Service(s): Global or Limited Global Resale Service Date of Action: 12/07/2009 Application for authority to provide resale service in accordance with section 63.18(e)(2) of the Commission s rules, 47 C.F.R (e)(2). ITC nterprise Satellite Solutions LLC Service(s): Global or Limited Global Resale Service Application for authority to provide resale service in accordance with section 63.18(e)(2) of the Commission s rules, 47 C.F.R (e)(2). Page 1 of 13

2 ITC My Tel Co, Inc. Service(s): Global or Limited Global Facilities-Based Service, Global or Limited Global Resale Service Application for authority to provide facilities-based service in accordance with section 63.18(e)(1) of the Commission s rules, and also to provide resale service in accordance with section 63.18(e)(2) of the Commission s rules, 47 C.F.R (e)(1), (2). ITC Total Call Mobile, Inc. Service(s): Global or Limited Global Facilities-Based Service, Global or Limited Global Resale Service Application for authority to provide facilities-based service in accordance with section 63.18(e)(1) of the Commission s rules, and also to provide resale service in accordance with section 63.18(e)(2) of the Commission s rules, 47 C.F.R (e)(1), (2). ITC Zayo Bandwidth, LLC Service(s): Global or Limited Global Facilities-Based Service, Global or Limited Global Resale Service Application for authority to provide facilities-based service in accordance with section 63.18(e)(1) of the Commission s rules, and also to provide resale service in accordance with section 63.18(e)(2) of the Commission s rules, 47 C.F.R (e)(1), (2). ITC TALKSPAN TLCOM INC. Service(s): Global or Limited Global Facilities-Based Service, Global or Limited Global Resale Service Application for authority to provide facilities-based service in accordance with section 63.18(e)(1) of the Commission s rules, and also to provide resale service in accordance with section 63.18(e)(2) of the Commission s rules, 47 C.F.R (e)(1), (2). ITC Iforing, LLC Service(s): Global or Limited Global Facilities-Based Service, Global or Limited Global Resale Service Application for authority to provide facilities-based service in accordance with section 63.18(e)(1) of the Commission s rules, and also to provide resale service in accordance with section 63.18(e)(2) of the Commission s rules, 47 C.F.R (e)(1), (2). ITC Townes Broadband Corporation Service(s): Global or Limited Global Resale Service Application for authority to provide resale service in accordance with section 63.18(e)(2) of the Commission s rules, 47 C.F.R (e)(2). Page 2 of 13

3 ITC-ASG tw telecom holdings inc. Current Licensee: FROM: TO: tw telecom inc. tw telecom inc. tw telecom holdings inc. Notification filed November 20, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by tw telecom inc. to its direct, wholly-owned subsidiary, tw telecom holdings inc. (tw holdings), effective November 20, The following wholly-owned subsidiaries of tw holdings provide international service under the international section 214 authorization, ITC , recently assigned to tw holdings: tw telecom of alabama llc, tw telecom of arizona llc, tw telecom of arkansas llc, tw telecom of california l.p., tw telecom of colorado llc, tw telecom of d.c. llc, tw telecom data services llc, tw telecom of florida l.p., tw telecom of georgia l.p., tw telecom of hawaii l.p., tw telecom of idaho llc, tw telecom of illinois llc, tw telecom of indiana l.p., tw telecom of kansas city llc, tw telecom of kentucky llc, tw telecom of louisiana llc, tw telecom of maryland llc, tw telecom of minnesota llc, tw telecom of mississippi llc, tw telecom of nevada llc, tw telecom of new jersey l.p., tw telecom of new mexico llc, tw telecom of new york l.p., tw telecom of north carolina l.p., tw telecom of ohio llc, tw telecom of oklahoma llc, tw telecom of oregon llc, tw telecom of south carolina llc, tw telecom of tennessee llc, tw telecom of texas llc, tw telecom of utah llc, tw telecom of virginia llc, tw telecom of washington llc, and tw telecom of wisconsin l.p. ITC-ASG Cypress Communications Operating Company, LLC Current Licensee: Cypress Communications Operating Company, Inc. FROM: Cypress Communications Operating Company, Inc. TO: Cypress Communications Operating Company, LLC Notification filed November 20, 2009 of the pro forma assignment of international section 214 authorization, ITC , ITC-MOD , held by Cypress Communications Operating Company, Inc. (Cypress Inc.), to Cypress Communications Operating Company, LLC (Cypress, LLC), effective December The company converted from a corporation to a limited liability company. ITC-ASG Taconic Telcom Corp., Debtor-In-Possession Current Licensee: Taconic Telcom Corp FROM: Taconic Telcom Corp TO: Taconic Telcom Corp., Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by Taconic Telcom Corp. (Taconic) to Taconic Telecom Corp., Debtor-in-Possession (Taconic, DIP), effective October 26, Taconic is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including Taconic, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG B Mobile Communications Inc, Debtor-In-Possession Current Licensee: B Mobile Communications Inc. FROM: B Mobile Communications Inc. TO: B Mobile Communications Inc, Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC (Old File No. ITC ), held by B Mobile Communications, Inc. (BMC) to B Mobile Communications Inc., Debtor-in-Possession (BMC DIP), effective October 26, BMC is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including BMC, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. Page 3 of 13

4 ITC-ASG Quality One Technologies, Inc., Debtor-In-Possession Current Licensee: FROM: TO: Quality One Technologies, Inc. Quality One Technologies, Inc. Quality One Technologies, Inc., Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by Quality One Technologies Inc. (QOT) to Quality One Technologies Inc., Debtor-in-Possession (QOT DIP), effective October 26, QOT is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including QOT, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG ST Long Distance, Debtor-In-Possession Current Licensee: FROM: TO: ST Long Distance ST Long Distance ST Long Distance, Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC (Old File No. ITC ), held by ST Long Distance, Inc. (ST LD) to ST Long Distance, Debtor-in-Possession (ST LD DIP), effective October 26, ST LD is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including ST LD, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG Peoples Mutual Long Distance, Debtor-In-Possession Current Licensee: Peoples Mutual Long Distance FROM: Peoples Mutual Long Distance TO: Peoples Mutual Long Distance, Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by People's Mutual Long Distance (People's Mutual LD) to People's Mutual Long Distance, Debtor-in-Possession (People's Mutual LD DIP), effective October 26, People's Mutual is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including People's Mutual, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG nhanced Communications of Northern New ngland Inc., Debtor-In-Possession Current Licensee: nhanced Communications of Northern New ngland Inc. FROM: nhanced Communications of Northern New ngland Inc. TO: nhanced Communications of Northern New ngland Inc., Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by nhanced Communications of Northern New ngland Inc. (CNN) to nhanced Communications of Northern New ngland Inc., Debtor-in-Possession (CNN DIP), effective October 26, CNN is a direct, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including CNN, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. Page 4 of 13

5 ITC-ASG FairPoint Carrier Services, Inc., Debtor-In-Possession Current Licensee: FairPoint Carrier Services, Inc. FROM: FairPoint Carrier Services, Inc. TO: FairPoint Carrier Services, Inc., Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC (Old File No. ITC ), held by Fairpoint Carrier Services, Inc. (FCS) to Fairpoint Carrier Services, Inc., Debtor-in-Possession (FCS DIP), effective October 26, FCS is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including FCS, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG Comerco, Inc., Debtor-In-Possession Current Licensee: Comerco, Inc. FROM: Comerco, Inc. TO: Comerco, Inc., Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by Comerco, Inc. (Comerco) to Comerco, Inc., Debtor-in-Possession (Comerco DIP), effective October 26, Comerco is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including Comerco, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG Berkshire Cable Corp., Debtor-In-Possession Current Licensee: Berkshire Cable Corp. FROM: Berkshire Cable Corp. TO: Berkshire Cable Corp., Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC (Old File No. ITC ), held by Berkshire Cable Corp. d/b/a Berkshire LD (Berkshire) to Berkshire Cable Corp., Debtor-in-Possession (Berkshire DIP), effective October 26, Berkshire is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including Berkshire, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG Chautauqua & rie Communications, Inc., Debtor-In-Possession Current Licensee: Chautauqua & rie Communications, Inc. FROM: Chautauqua & rie Communications, Inc. TO: Chautauqua & rie Communications, Inc., Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC (Old File No. ITC ), held by Chautauqua & rie Communications, Inc. (C& Communications) to Chautauqua & rie Communications, Inc., Debtor-in-Possession (C& Communications DIP), effective October 26, C& Communications is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including C& Communications, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. Page 5 of 13

6 ITC-ASG Fretel Communications, LLC, Debtor-In-Possession Current Licensee: FROM: TO: Fretel Communications, LLC Fretel Communications, LLC Fretel Communications, LLC, Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by Fretel Communications, LLC (Fretel) to Fretel Communications, LLC., Debtor-in-Possession (Fretel DIP), effective October 26, Fretel is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including Fretel, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG GTC, Inc., Debtor-In-Possession Current Licensee: GTC, Inc. FROM: GTC, Inc. TO: GTC, Inc., Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by GTC, Inc. (GTC) to GTC, Inc., Debtor-in-Possession (GTC DIP), effective October 26, GTC is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including GTC, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG Northern New ngland Telephone Operations LLC, Debtor-In-Possession Current Licensee: Northern New ngland Telephone Operations LLC FROM: Northern New ngland Telephone Operations LLC TO: Northern New ngland Telephone Operations LLC, Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by Northern New ngland Telephone Operations LLC (NNTO) to Northern New ngland Telephone Operations LLC., Debtor-in-Possession (NNTO DIP), effective October 26, NNTO is a direct, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including NNTO, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG Orwell Communications, Inc., Debtor-In-Possession Current Licensee: Orwell Communications, Inc. FROM: Orwell Communications, Inc. TO: Orwell Communications, Inc., Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by Orwell Communications, Inc. (Orwell) to Orwell Communications, Inc., Debtor-in-Possession (Orwell DIP), effective October 26, Orwell is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including Orwell, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. Page 6 of 13

7 ITC-ASG Marianna Telephone, Inc., Debtor-In-Possession Current Licensee: Marianna Tel., Inc. FROM: Marianna Tel., Inc. TO: Marianna Telephone, Inc., Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by Marianna Tel., Inc. (Marianna) to Marianna Telephone, Inc., Debtor-in-Possession (Marianna DIP), effective October 26, Marianna is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including Marianna, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG lltel Long Distance Corp., Debtor-In-Possession Current Licensee: lltel Long Distance Corp. FROM: lltel Long Distance Corp. TO: lltel Long Distance Corp., Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by lltel Long Distance Corp. (lltel LD) to lltel Long Distance Corp., Debtor-in-Possession (lltel LD DIP), effective October 26, lltel LD is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including lltel LD, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG C-R Long Distance, Inc., Debtor-In-Possession Current Licensee: C-R Long Distance, Inc. FROM: C-R Long Distance, Inc. TO: C-R Long Distance, Inc., Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by C-R Long Distance Inc. (C-R LD) to C-R Long Distance Inc., Debtor-in-Possession (C-R LD DIP), effective October 26, C-R LD is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including C-R LD, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG l Paso Long Distance Company, Debtor-In-Possession Current Licensee: l Paso Long Distance Company FROM: l Paso Long Distance Company TO: l Paso Long Distance Company, Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC (Old File No. ITC ), held by l Paso Long Distance Company (l Paso LD) to l Paso Long Distance Company, Debtor-in-Possession (l Paso LD DIP), effective October 26, l Paso LD is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including l Paso LD, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. Page 7 of 13

8 ITC-ASG Germantown Long Distance Company, Debtor-In-Possession Current Licensee: Germantown Long Distance Company FROM: Germantown Long Distance Company TO: Germantown Long Distance Company, Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by Germantown Long Distance Company (Germantown LD) to Germantown Long Distance Company, Debtor-in-Possession (Germantown LD, DIP), effective October 26, Germantown LD is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including Germantown LD, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG P St. Joe Communications, Inc., Debtor-In-Possession Current Licensee: St. Joe Communications, Inc. FROM: St. Joe Communications, Inc. TO: St. Joe Communications, Inc., Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by St. Joe Communications, Inc. (St. Joe) to St. Joe Communications, Inc., Debtor-in-Possession (St. Joe DIP), effective October 26, St. Joe is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including St. Joe, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. ITC-ASG P UI Long Distance, Inc., Debtor-In-Possession Current Licensee: UI Long Distance, Inc. FROM: UI Long Distance, Inc. TO: UI Long Distance, Inc., Debtor-In-Possession Notification filed November 24, 2009, of the pro forma assignment of international section 214 authorization, ITC , held by UI Long Distance, Inc. (UI LD) to UI Long Distance, Inc., Debtor-in-Possession (UL LD DIP), effective October 26, UI LD is an indirect, wholly-owned subsidiary of Fairpoint Communications, Inc. (Fairpoint). On October 26, 2009, Fairpoint and its subsidiaries, including UI LD, filed petitions for relief under Chapter 11 of the U.S. Bankruptcy Code in the U.S. Bankruptcy Court for the Southern District of New York (see In re. Fairpoint Communications, Inc., Case No ) and entered into debtor-in-possession status. Page 8 of 13

9 ITC-T/C Symphony Telecommunications, LLC Current Licensee: Symphony Telecommunications, LLC FROM: Symphony Holdings, Inc. TO: Phonetime Application for consent to transfer control of international section 214 authorization, ITC , held by Symphony Telecommunications, LLC (Symphony), from its 100% direct parent, Symphony Holdings, Inc. (SHI), to Phonetime, Inc. (Phonetime). The underlying sale of shares transaction between SHI and Phonetime occurred on December 18, 2007, without prior Commission approval. After closing, Phonetime became the 100% owner of SHI. Creslin Limited, a Gibraltar company, holds 37.4% equity and voting interests in Phonetime. Creslin is wholly owned by a Gibraltar Trust created by the family, and for the benefit, of ngin and mil Yesil, all Turkish citizens. Robert Guest and Christopher Pitaluga, both British citizens, are the directors of Creslin, and Abacus Trustees (Gibraltar) Limited is the trustee for the Yesil Family Trust. No other individual or entity holds a 10 percent or greater direct or indirect equity or voting interest in Phonetime. We grant the petition to adopt conditions to Authorization and Licenses (Petition) filed in this proceeding on November 19, 2009 by the Department of Homeland Security and the Department of Justice. Accordingly, we condition grant of this application on Phonetime, Inc., Symphony Holdings, Inc., and Symphony Telecommunication, LLC abiding by the commitments and undertakings set forth in the November 10, 2009 Letter to the Assistant Secretary for Policy Development, U.S. Department of Homeland Security, and the Assistant Attorney General, National Security Division, U.S. Department of Justice (November Letter). A copy of the Petition and the November are publicly available and may be viewed on the FCC website through the International Bureau Filing System (IBFS) by searching for ITC-T/C and accessing "Other Filings related to this application" from the Document Viewing area. Grant of this applications is without prejudice to any enforcement action by the Commission for non-compliance with the Communications Act of 1934, as amended, or the Commission's rules. ITC-T/C NobelTel, LLC Current Licensee: NobelTel, LLC FROM: Nobel, Inc. TO: Richard L Mahfouz Application filed for consent to the transfer of control of international section 214 authorization, ITC , held by NobelTel, LLC (NobelTel), from Michael Knobel and Thomas Knobel to Richard Mahfouz. NobelTel is a wholly-owned subsidiary of Nobel, Inc. Pursuant to the terms of a Stock Purchase Agreement dated October 26, 2009, Nobel Holding Inc. will purchase 100% of the shares of Nobel Inc. Mr. Mahfouz is the sole owner of Nobel Holding Inc., and thus will have 100% indirect ownership of Nobel Inc. and NobelTel. This authorization is without prejudice to the Commission's action in any other related pending proceedings. ITC-T/C WBS Connect, LLC Current Licensee: WBS Connect, LLC FROM: WBS Connect, LLC TO: Global Telecom & Technology, Inc. Application filed for consent to the transfer of control of international section 214 authorization, ITC , held by WBS Connect, LLC (WBS), to Global Telecom & Technology, Inc. (GTT), f/k/a Mercatur Partners Acquisition Corp. Pursuant to the terms of a proposed purchase agreement, Global Telecom & Technology Americas, Inc. (GTT Americas), a direct wholly-owned subsidiary of GTT, will purchase all of the membership interests in WBS in exchange for cash and securities. Upon closing, GTT will become the new ultimate parent company of WBS. The following individuals and entities, all U.S. citizens, hold 10 percent or greater ownership interests in GTT: H. Brian Thompson (30%); Universal Telecommunications, Inc. (Universal) (27%); J. Carlo Cannell (22%). Mr. Thompson holds his interests in GTT through his ownership of the majority of the stock of Universal and additional shares of GTT which he holds directly. J. Carlo Cannell holds his interests in GTT as the sole managing member of Cannell Capital LLC which possesses the sole power to vote the disposition of all securities of GTT held by Anegada Master Fund Limited, Tonga Partners, L.P., and Tonga Partners QP, L.P. (collectively, 22%). No other individual or entity holds a 10 percent or greater direct or indirect equity or voting interest in GTT. This authorization is without prejudice to the Commission's action in any other related pending proceedings. Page 9 of 13

10 ITC-T/C Vanco US, LLC Current Licensee: Vanco US, LLC FROM: AAA Communications Private Limited TO: AAA Communications Private Limited Notification filed November 9, 2009 of the pro forma transfer of control of the international section authorization, ITC , held by Vanco US LLC, effective October 10, 2009, and October 31, Reliance Communications Limited (RCOM) is the indirect controlling parent of Vanco US. As a result of a series of transactions that took place on October 10, 2009, and October 31, 2009, AAA Communications Private Limited (AAACPL) reduced its interest in RCOM such that AAACPL's interest in RCOM decreased from 54.16% to approximately 39.15%. As a result, AAACPL has a less than 50% direct interest in RCOM, but it still has de facto control of RCOM and through RCOM has control of Vanco US. AAACPL, RCOM, and Vanco US remain under the ultimate control of Anil Ambani (67%) and Kokilaben Ambani (33%), both citizens of India. ITC-T/C Reliance Communications, Inc. Current Licensee: Reliance Communications, Inc. FROM: AAA Communications Private Limited TO: AAA Communications Private Limited Notification filed November 9, 2009 of the pro forma transfer of control of the international section authorization, ITC , held by Reliance Communications, Inc. (RCI), effective October 10, 2009, and October 31, Reliance Communications Limited (RCOM) is the indirect controlling parent of RCI. As a result of a series of transactions that took place on October 10, 2009, and October 31, 2009, AAA Communications Private Limited (AAACPL) reduced its interest in RCOM such that AAACPL's interest in RCOM decreased from 54.16% to approximately 39.15%. As a result, AAACPL has a less than 50% direct interest in RCOM, but it still has de facto control of RCOM and through RCOM has control of RCI. AAACPL, RCOM, and RCI remain under the ultimate control of Anil Ambani (67%) and Kokilaben Ambani (33%), both citizens of India. ITC-T/C Vanco Solutions, Inc. Current Licensee: Vanco Solutions, Inc. FROM: AAA Communications Private Limited TO: AAA Communications Private Limited Notification filed November 9, 2009 of the pro forma transfer of control of the international section authorization, ITC , held by Vanco Solutions, Inc., effective October 10, 2009, and October 31, Reliance Communications Limited (RCOM) is the indirect controlling parent of Vanco Solutions. As a result of a series of transactions that took place on October 10, 2009, and October 31, 2009, AAA Communications Private Limited (AAACPL) reduced its interest in RCOM such that AAACPL's interest in RCOM decreased from 54.16% to approximately 39.15%. As a result, AAACPL has a less than 50% direct interest in RCOM, but it still has de facto control of RCOM and through RCOM has control of Vanco Solutions. AAACPL, RCOM, and Vanco Solutions remain under the ultimate control of Anil Ambani (67%) and Kokilaben Ambani (33%), both citizens of India. ITC-T/C Reliance Globalcom Services, Inc. f/k/a Yipes nterprise Services, Inc. Current Licensee: Reliance Globalcom Services, Inc. f/k/a Yipes nterprise Services, Inc. FROM: AAA Communications Private Limited TO: AAA Communications Private Limited Notification filed November 9, 2009 of the pro forma transfer of control of the international section authorization, ITC , held by Reliance Globalcom Services, Inc. f/k/a Yipes nterprises Services, Inc. (Reliance Globalcom), effective October 10, 2009, and October 31, Reliance Communications Limited (RCOM) is the indirect controlling parent of Reliance Globalcom. As a result of a series of transactions that took place on October 10, 2009, and October 31, 2009, AAA Communications Private Limited (AAACPL) reduced its interest in RCOM such that AAACPL's interest in RCOM decreased from 54.16% to approximately 39.15%. As a result, AAACPL has a less than 50% direct interest in RCOM, but it still has de facto control of RCOM and through RCOM has control of Reliance Globalcom. AAACPL, RCOM, and Reliance Globalcom remain under the ultimate control of Anil Ambani (67%) and Kokilaben Ambani (33%), both citizens of India. Page 10 of 13

11 ITC-T/C OnStar, LLC Current Licensee: FROM: TO: General Motors LLC OnStar, LLC General Motors Holdings LLC Notification filed November 24, 2009 of the pro forma transfer of control of the international section 214 authorization, ITC , held by OnStar, LLC (OnStar) from its direct parent General Motors, LLC (GM LLC) to General Motors Holdings LLC (GM Holdings), effective November 2, GM LLC and GM Holdings are indirect and direct wholly-owned subsidiaries, respectively, of General Motors Company (GM). Pursuant to an internal corporate reorganization, GM LLC transferred its equity interests in OnStar to GM Holdings. Also as part of the transaction General Motors Holding Company, the ultimate parent, changed its name to General Motors Company. ITC-T/C CABLVISION LIGHTPATH INC Current Licensee: FROM: TO: CSC HOLDINGS, INC. CSC Holdings LLC CABLVISION LIGHTPATH INC Notification filed December 3, 2009, of the pro forma transfer of control of international section 214 authorization, ITC , (Old File No. ITC ), held by Cablevision Lightpath, Inc. (CLI) from CSC Holdings, Inc. to CSC Holdings LLC, effective November 10, CLI is a wholly-owned subsidiary of CSC Holdings, which is in turn a wholly-owned subsidiary of Cablevision Systems Corporation. On November 10, 2009, CSC Holdings was converted from a corporation to a limited liability company. SURRNDR ITC NW GLOBAL TLCOM INC By letter filed December 1, 2009, Applicant notified the Commission of the Surrender of its international section 214 authorization, effective December 1, ITC NW GLOBAL TLCOM INC By letter filed December 1, 2009, Applicant notified the Commission of the Surrender of its international section 214 authorization, effective December 1, ITC Xspedius Communications, LLC By letter filed November 20, 2009, Applicant notified the Commission of the Surrender of its international section 214 authorization, effective November 20, Page 11 of 13

12 CONDITIONS APPLICABL TO INTRNATIONAL SCTION 214 AUTHORIZATIONS (1) These authorizations are subject to the xclusion List for International Section 214 Authorizations, which identifies restrictions on providing service to particular countries or using particular facilities. The most recent xclusion List is attached to this Public Notice. The list applies to all U.S. international carriers, including those that have previously received global or limited global Section 214 authority, whether by Public Notice or specific written order. Carriers are advised that the attached xclusion List is subject to amendment at any time pursuant to the procedures set forth in Streamlining the International Section 214 Authorization Process and Tariff Requirements, IB Docket No , 11 FCC Rcd (1996), para. 18. A copy of the current xclusion List will be maintained in the FCC Reference and Information Center and will be available at It also will be attached to each Public Notice that grants international Section 214 authority. (2) The export of telecommunications services and related payments to countries that are subject to economic sanctions may be restricted. For information concerning current restrictions, call the Office of Foreign Assets Control, U.S. Department of the Treasury, (202) (3) Carriers shall comply with the requirements of Section of the Commission's rules, which requires notification by, and in certain circumstances prior notification by, U.S. carriers acquiring an affiliation with foreign carriers. A carrier that acquires an affiliation with a foreign carrier will be subject to possible reclassification as a dominant carrier on an affiliated route pursuant to the provisions of Section of the rules. (4) Carriers shall comply with the Commission's International Settlements Policy and associated filing requirements contained in Sections 43.51, and of the Commission's Rules, 47 C.F.R , , The Commission modified these requirements most recently in International Settlements Policy Reform: International Settlement Rates, First Report and Order, FCC 04-53, 19 FCC Rcd 5709 (2004). In addition, any carrier interconnecting private lines to the U.S. public switched network at its switch, including any switch in which the carrier obtains capacity either through lease or otherwise, shall file annually with the Chief, International Bureau, a certified statement containing, on a country-specific basis, the number and type (e.g., 64 kbps circuits) of private lines interconnected in such manner. The Commission will treat the country of origin information as confidential. Carriers need not file their contracts for interconnection unless the Commission specifically requests. Carriers shall file their annual report on February 1 (covering international private lines interconnected during the preceding January 1 to December 31 period) of each year. International private lines to countries which the Commission has exempted from the International Settlements Policy at any time during a particular reporting period are exempt from this requirement. See 47 C.F.R (d). The Commission's list of U.S. international routes that are exempt from the International Settlements Policy may be viewed at (5) Carriers authorized to provide private line service either on a facilities or resale basis are limited to the provision of such private line service only between the United States and those foreign points covered by their referenced applications for Section 214 authority. A carrier may provide switched services over its authorized resold private lines in the circumstances specified in Section 63.23(d) of the rules, 47 C.F. R (d). (6) A carrier may engage in "switched hubbing" to countries that do not appear on the Commission's list of U.S. international routes that are exempt from the International Settlements Policy, set forth in Section , 47 C.F.R , provided the carrier complies with the requirements of Section 63.17(b) of the rules, 47 C.F.R (b). The Commission's list of U.S. international routes that are exempt from the International Settlements Policy may be viewed at (7) Carriers shall comply with the "No Special Concessions" rule, Section 63.14, 47 C.F.R (8) Carriers regulated as dominant for the provision of a particular communications service on a particular route for any reason other than a foreign carrier affiliation under Section of the rules shall file tariffs pursuant to Section 203 of the Communications Act, as amended, 47 U.S.C. 203, and Part 61 of the Commission's Rules, 47 C.F.R. Part 61. Carriers shall not otherwise file tariffs except as permitted by Section of the rules, 47 C.F.R xcept as specified in Section with respect to commercial mobile radio service providers, carriers regulated as non-dominant, as defined in Section 61.3, and providing detariffed international services pursuant to Section 61.19, must comply with all applicable public disclosure and maintenance of information requirements in Sections and (9) Carriers shall file the annual reports of overseas telecommunications traffic required by Section 43.61(a). Carriers shall also file the quarterly reports required by Section in the circumstances specified in paragraphs (b) and (c) of h S i Page 12 of 13

13 that Section. (10) Carriers shall file annual reports of circuit status and/or circuit additions in accordance with the requirements set forth in Rules for Filing of International Circuit Status Reports, CC Docket No , Report and Order, 10 FCC Rcd 8605 (1995). See 47 C.F.R See also 63.22(e), 63.23(e). These requirements apply to facilities-based carriers and private line resellers, respectively. See also (11) Carriers should consult Section of the rules when contemplating a discontinuance, reduction or impairment of service. Further, the grant of these applications shall not be construed to include authorization for the transmission of money in connection with the services the applicants have been given authority to provide. The transmission of money is not considered to be a common carrier service. (12) If any carrier is reselling service obtained pursuant to a contract with another carrier, the services obtained by contract shall be made generally available by the underlying carrier to similarly situated customers at the same terms, conditions and rates. 47 U.S.C (13) To the extent the applicant is, or is affiliated with, an incumbent independent local exchange carrier, as those terms are defined in Section of the rules, it shall provide the authorized services in compliance with the requirements of Section (14) xcept as otherwise ordered by the Commission, a carrier authorized here to provide facilities-based service that (i) is classified as dominant under Section of the rules for the provision of such service on a particular route and (ii) is affiliated with a carrier that collects settlement payments for terminating U.S. international switched traffic at the foreign end of that route may not provide facilities-based switched service on that route unless the current rates the affiliate charges U.S. international carriers to terminate traffic are at or below the Commission's relevant benchmark adopted in International Settlement Rates, IB Docket No , Report and Order, 12 FCC Rcd (1997). See also Report and Order on Reconsideration and Order Lifting Stay in IB Docket No , FCC (rel. June 11, 1999). For the purposes of this rule, "affiliated" and "foreign carrier" are defined in Section xclusion List for International Section 214 Authorizations -- Last Modified December 22, The following is a list of countries and facilities not covered by grant of global Section 214 authority under Section 63.18(e)(1) of the Commission's Rules, 47 C.F.R (e)(1). In addition, the facilities listed shall not be used by U.S. carriers authorized under Section of the Commission's Rules unless the carrier's Section 214 authorization specifically lists the facility. Carriers desiring to serve countries or use facilities listed as excluded hereon shall file a separate Section 214 application pursuant to Section 63.18(e)(3) of the Commission's Rules. See generally 47 C.F.R Countries: Cuba (Applications for service to Cuba shall comply with the separate filing requirements of the Commission's Public Notice Report No. I-6831, dated July 27, 1993, "FCC to Accept Applications for Service to Cuba.") Facilities: All non-u.s.-licensed satellite systems that are not on the Permitted Space Station List, maintained at See International Bureau Public Notice, DA (rel. Dec. 17, 1999). This list is subject to change by the Commission when the public interest requires. Before amending the list, the Commission will first issue a public notice giving affected parties the opportunity for comment and hearing on the proposed changes. The Commission may then release an order amending the exclusion list. This list also is subject to change upon issuance of an xecutive Order. See Streamlining the Section 214 Authorization Process and Tariff Requirements, IB Docket No , FCC 96-79, 11 FCC Rcd 12,884, released March 13, 1996 (61 Fed. Reg. 15,724, April 9, 1996). A current version of this list is maintained at For additional information, contact the International Bureau's Policy Division, (202) Page 13 of 13

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