PSHSB Seeks to Refresh Non-Emergency 911 Calls from NSI Handset Record
Federal Communications Commission
445 12th Street, S.W.
Fax-On-Demand 202 / 418-2830
Washington, D.C. 20554TTY 202 / 418-2555
Released: March 14, 2013
PUBLIC SAFETY AND HOMELAND SECURITY BUREAU SEEKS TO REFRESH THE
RECORD REGARDING OPTIONS FOR ADDRESSING NON-EMERGENCY CALLS TO 911
FROM NON-SERVICE INITIALIZED HANDSETS
PS Docket No. 08-51
Comment Date: [45 Days after Publication in the Federal Register]
Reply Comment Date: [60 Days after Publication in the Federal Register]
the Commission’s 911 rules to forward all wireless 911 calls, including those originated from “non-
service-initialized” (NSI) handsets, to Public Safety Answering Points (PSAPs).1 In 2008, nine public
safety organizations and a software development firm (Petitioners) filed a petition for notice of inquiry to
address the problem of fraudulent non-emergency 911 calls2 placed to PSAPs from NSI handsets.3 The
Commission granted this petition and issued a Notice of Inquiry in April 2008 to enhance its
understanding of the extent of the problem and to explore potential solutions.4 Specifically, the
Commission requested comment in three areas: (1) the nature and extent of fraudulent 911 calls made
from NSI devices; (2) concerns with blocking NSI devices used to make fraudulent 911 calls, and
suggestions for making this a more viable option for carriers; and (3) other possible solutions to the
problem of fraudulent 911 calls from NSI devices.5
1 See 47 C.F.R. § 20.18(b) (identifying the CMRS providers that are subject to the relevant 911 rules). A NSI
handset is a mobile handset for which there is no valid service contract with a CMRS provider. See id.,
2 Fraudulent non-emergency 911 calls may include hang ups, false reports of emergencies, and harassing calls to
3 See Petition for Notice of Inquiry Regarding 911 Call-Forwarding Requirements and Carriers’ Blocking Options
for Non-Initialized Phones, CC Docket No. 94-102 (filed Feb. 14, 2008) (Petition). The Petitioners are the
Tennessee Emergency Communications Board, the National Association of State 9-1-1 Administrators (NASNA),
the Michigan State 9-1-1 Office, the New Jersey State 9-1-1 Commission, the Snohomish County Enhanced 9-1-1
Office, the National Emergency Number Association (NENA), the Association of Public-Safety Communications
Officials International (APCO), the State of Montana 911 Program, the Washington State E911 Program, and
Openwave Systems, Inc. (collectively, Petitioners).
4 Petition for Notice of Inquiry Regarding 911 Call-Forwarding Requirements and Carriers’ Blocking Options for
Non-Initialized Phones, PS Docket No.08-51, Notice of Inquiry, 23 FCC Rcd 6097 (2008) (Notice of Inquiry).
5 Id. at 6101 ¶ 10.
In light of the concerns raised by Petitioners regarding fraudulent non-emergency 911 calls, one
of the options on which the Notice of Inquiry sought comment was whether the Commission should
eliminate the 911 call-forwarding requirement for NSI devices.6 In response, a number of public safety
commenters advocated for the Commission to eliminate the requirement.7 However, other commenters,
including Petitioners, other public safety entities, and commercial carriers, took the opposite view,
arguing that the public had come to rely on the fact that NSI devices are 911-capable and that eliminating
the call-forwarding requirement could lead to tragic results given this public reliance.8
In a recently filed ex parte, however, NENA: The 9-1-1 Association (NENA), one of the original
Petitioners, has revised its earlier-stated position on this issue. NENA states that based on its “members’
experience since 2008 … we now can support the reversal of the ‘all calls’ rule.”9 According to NENA,
“PSAPs face an ever-growing onslaught of non-emergency calls to 9-1-1 from NSI devices.”10 Moreover,
in recently filed comments in another docket, NENA states that there is now a “consensus view that the
promotion of NSI devices does more harm than good.”11 NENA further asserts that “most charities and
domestic violence advocates [have] abandoned the practice of distributing NSI devices.”12 NENA states
that “NSI phone donation programs have since been supplanted by outright donations of devices and
service by CMRS providers, and by state and federal programs (such as the Universal Service Fund-
supported Lifeline program) that provide free or reduced-cost mobile service to low-income or at-risk
6 Id. at 6104-05 ¶¶ 19-20.
7 See Comments of Clinton County Emergency Telephone Systems Board, PS Docket No. 08-51 (filed June 29,
2008), at 3; Comments of Connecticut Enhanced 9-1-1 Commission, PS Docket No. 08-51 (filed June 27, 2008),
at 2; Comments of King County E911 Program, PS Docket No. 08-51 (filed June 30, 2008), at 1; Comments of
Livingston County Sheriff, PS Docket No. 08-51 (filed April 29, 2008), at 3; Comments of Michael Mahn, PS
Docket No. 08-51 (filed May 16, 2008),at 1; Comments of Washington State E911 Administrator (Washington
State), PS Docket No. 08-51 (filed June 30, 2008), at 1; Washington State Reply Comments, PS Docket No. 08-51
(filed July 29, 2008) at 3.
8 Comments of American Roaming Network (ARN), PS Docket No. 08-51 (filed June 30, 2008), at 6-7;
Comments of AT&T, PS Docket No. 08-51 (filed June 30, 2008),at 4; Comments of California 9-1-1 Emergency
Communications Office, PS Docket No. 08-51 (filed June 27, 2008), at 2; Comments of CTIA, PS Docket No. 08-
51 (filed June 30, 2008), at 1, 4, 7; CTIA Reply Comments, PS Docket No. 08-51 (filed July 29, 2008), at 1;
Comments of Hamilton County, Department of Communications, PS Docket No. 08-51 (filed June 27, 2008),at 2;;
Comments of the National Association of Telecommunications Officers and Advisors, PS Docket No. 08-51 (filed
June 2, 2008),at 2; Comments of T-Mobile USA, Inc., PS Docket No. 08-51 (filed June 30, 2008),at 6-7;
Comments of StephenWeinstein, PS Docket No. 08-51 (filed April 14, 2008),at 1; ARN Reply Comments, PS
Docket No. 08-51 (filed July, 28, 2008), at 2; Petitioners Reply Comments, PS Docket No. 08-51 (filed July 29,
2008), at 3; Reply Comments of Verizon Wireless, PS Docket No. 08-51 (filed July 29, 2008),at 2.
9 See Letter, Telford Forgety, III, NENA Director of Governmental Affairs & Regulatory Counsel, to Marlene
Dortch, Secretary, Federal Communications Commission, PS Docket No. 08-51 (Feb. 11, 2013) (NENA Ex Parte)
(emphasis in original). See also Comments of National Emergency Number Association in PS Docket Nos. 10-
255, 11-153, 12-333 (filed Dec. 13, 2012) at 20 ( “The Commission should eliminate the rules requiring Non-
Service Initialized phones to be capable of completing a call to 9-1-1.”). NENA notes that it cannot speak for its
co-Petitioners. NENA Ex Parte at 1.
10 NENA Ex Parte at 1.
11 See Comments of the National Emergency Number Association in PS Docket Nos. 10-255, 11-153, 12-333
(filed Dec. 13, 2012) at 21.
individuals.”13 However, NENA does not support “overnight” elimination of the 911 call-forwarding
requirement, proposing instead that the Commission should phase out the requirement “for devices and
networks that no longer support legacy circuit-switched calling.”14 NENA clams that this would
“minimize stranded investments by carriers and consumers as carriers transition to fully IP-based
architectures such as LTE and consumers transition to IP-only devices that no longer support circuit-
switched voice services.”15
In light of NENA’s revised view on the 911 call-forwarding requirement, as well as the passage
of time since the filing of comments in response to the Notice of Inquiry, we seek to refresh the record in
this proceeding. In particular, we seek comment on whether other interested parties agree or disagree
with NENA’s view that the Commission should consider phasing out the call-forwarding requirement as
it applies to NSI devices. More generally, we seek comment on relevant changes in industry, technology,
regulation, public practice, or otherwise that may have occurred since the earlier filing of comments. We
also ask commenters to point out any earlier-submitted facts or analyses in the record that they now
regard as outdated, and to provide any new information that they consider relevant.
This proceeding has been designated as a “permit-but-disclose” proceeding in accordance with
the Commission’s ex parte rules.16 Persons making ex parte presentations must file a copy of any written
presentation or a memorandum summarizing any oral presentation within two business days after the
presentation (unless a different deadline applicable to the Sunshine period applies). Persons making oral
ex parte presentations are reminded that memoranda summarizing the presentation must (1) list all
persons attending or otherwise participating in the meeting at which the ex parte presentation was made,
and (2) summarize all data presented and arguments made during the presentation. If the presentation
consisted in whole or in part of the presentation of data or arguments already reflected in the presenter’s
written comments, memoranda or other filings in the proceeding, the presenter may provide citations to
such data or arguments in his or her prior comments, memoranda, or other filings (specifying the relevant
page and/or paragraph numbers where such data or arguments can be found) in lieu of summarizing them
in the memorandum. Documents shown or given to Commission staff during ex parte meetings are
deemed to be written ex parte presentations and must be filed consistent with rule 1.1206(b). In
proceedings governed by rule 1.49(f) or for which the Commission has made available a method of
electronic filing, written ex parte presentations and memoranda summarizing oral ex parte presentations,
and all attachments thereto, must be filed through the electronic comment filing system available for that
proceeding, and must be filed in their native format (e.g., .doc, .xml, .ppt, searchable .pdf). Participants in
this proceeding should familiarize themselves with the Commission’s ex parte rules.
Parties may file comments on the Petition on or before the dates indicated on the first page of this
document. Please place the docket number
PS DOCKET NO. 08-51on all filings. Comments may be
filed using the Commission’s Electronic Comment Filing System (ECFS).17
13 NENA Ex Parte at 2 (emphasis in original).
16 47 C.F.R. §§ 1.1200 et seq.
17 See Electronic Filing of Documents in Rulemaking Proceedings, 63 FR 24121 (1998).
Electronic Filers: Comments may be filed electronically using the Internet by accessing the
Paper Filers: Parties who choose to file by paper must file an original and one copy of each
filing. If more than one docket or rulemaking number appears in the caption of this proceeding,
filers must submit two additional copies for each additional docket or rulemaking number.
Filings can be sent by hand or messenger delivery, by commercial overnight courier, or by first-
class or overnight U.S. Postal Service mail. All filings must be addressed to the Commission’s
Secretary, Office of the Secretary, Federal Communications Commission.
All hand-delivered or messenger-delivered paper filings for the Commission’s Secretary
must be delivered to FCC Headquarters at 445 12th St., SW, Room TW-A325,
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U.S. Postal Service first-class, Express, and Priority mail must be addressed to 445 12th
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People with Disabilities: To request materials in accessible formats for people with disabilities
(braille, large print, electronic files, audio format), send an e-mail to email@example.com or call the
Consumer and Governmental Affairs Bureau at (202) 418-0530 (voice) or (202) 418-0432 (tty).
Copies of the Petition and any subsequently filed documents in this matter are also available for
inspection in the Commission’s Reference Information Center:
445 12th Street SW, CY-Level
Washington, DC 20554
For further information, contact: Eric Ehrenreich, Policy and Licensing Division, Public Safety
and Homeland Security Bureau, at (202) 418-1726 or Eric.Ehrenreich@fcc.gov.
Action by the Chief, Public Safety and Homeland Security Bureau.
– FCC –
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