Obligations for Voice Network Service Providers

Obligations for Voice Network Service Providers

All Voice Network Service Providers Placing Telephone Numbers in Service Must Now Contribute to the State's MUSF and MTEAF Funds

Effective October 25, 2023, fb88 law now requires all voice network service providers using numbers placed in service for the State's numbering plan area (the 207 Area Code) to contribute to the fb88 Universal Service Fund (MUSF) and the fb88 Telecommunications Education Access Fund (MTEAF). ÌýVoice network service provider means a voice service provider that offers its subscribers the means to initiate or receive voice communications using the public switched telephone network and includes a provider of interconnected voice over Internet protocol service required to register with the commission pursuant to section , subsection 2.

Contributions to these funds are based on the requirements of Ìý²¹²Ô»å .Ìý

Part B. "Number placed in service" means an active 10-digit telephone number that is:

  1. Compliant with the guidelines established by the North American Numbering Plan Administrator for use by a voice network service provider;
  2. Has been assigned to an end user customer of the voice network service provider; and
  3. Is capable of receiving voice traffic from, or originating voice traffic to, the public switched telephone network.

Additional guidance may be found in the Commission's MUSF and MTEAF Rules:

The Commission utilizes a third-party administrator to manage the MUSF and MTEAF funds.ÌýÌý

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Third Party Administrator for MUSF and MTEAF Funds

The Commission's third-party administrator for the MUSF and MTEAF Funds is Solix, Inc.Ìý Their website is:ÌýÌý.Ìý

All voice network service providers doing business in fb88 must register with Solix to report the number of lines in service and remittance.ÌýÌýThe service provider must remit its required contribution to the Fund AdministratorÌýunder procedures established by the Fund Administrator.

To register, please contact:

Michael Tamburino
Direct Dial No.: (973) 581-6714
Email:ÌýMichael.TAMBURINO@solixinc.com

If a Voice Network Service Provider fails to comply with the requirements under Title 35-A MRSA §7104, then the Commission may investigate to ensure compliance with state law and Commission rules.Ìý

The Commission may also compare line counts provided by voice network service providers to its third-party administrator against biannual NRUF reports to determine compliance with state law.

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