The FCC is seeking comment on a Section 214 application filed by Cable One, Inc., Stephens Wisper, LLC, Wisper ISP, LLC, and Nathan T. Stooke, requesting consent to transfer a controlling interest in Wisper ISP to Mr. Stooke.
All tagged Wisper ISP
The FCC is seeking comment on a Section 214 application filed by Cable One, Inc., Stephens Wisper, LLC, Wisper ISP, LLC, and Nathan T. Stooke, requesting consent to transfer a controlling interest in Wisper ISP to Mr. Stooke.
Cable One, Inc. has disclosed details on equity investments it made in fixed wireless Internet service providers NextLink and Wisper ISP.
In a recent ex parte filed with the FCC, Conexon, LLC has continued its opposition to a petition filed by Wisper ISP, Inc. for waiver of the FCC’s 180-day deadline for CAF II auction winners to obtain ETC designation. The letter provides new information that Conexon believes should cause the FCC to investigate Wisper’s petition for ETC designation in the state of Kansas.
Conexon, LLC filed a written ex parte that supports its opposition to the petition filed by Wisper ISP, Inc. for waiver of the FCC’s 180-day deadline for CAF II auction winners to obtain ETC designation. Wisper’s application for designation as an ETC in the state of Oklahoma is still pending, which is why it filed the waiver. Conexon’s recent FCC ex parte letter contains new information derived from transcripts of Wisper’s hearing before the Oklahoma Corporation Commission that Conexon believes should be used to evaluate the merits of Wisper’s FCC waiver petition.
Wisper ISP, Inc. has responded to Conexon, LLC’s opposition to Wisper’s petition for waiver of the deadline for certifying its designation as an ETC in Oklahoma. Wisper’s reply also addresses Conexon’s request to declare Wisper in default of its CAF Phase II compliance obligations in Kansas because Wisper was granted ETC status based on incorrect broadband speed obligations. In its reply, Wisper maintains that the FCC lacks any authority to declare Wisper in default of its state obligations in Kansas.
Conexon, LLC has asked the FCC to declare that Wisper ISP, Inc. is in default of its CAF Phase II broadband speed obligations in the state of Kansas. When Wisper applied for ETC designation in Kansas, Wisper stated its CAF II broadband speed obligation is 25/3 Mbps, when in fact it is actually 100/20 Mbps. Wisper’s Kansas ETC petition was granted four months ago.