WTA Files Comments on Broadband Mapping
Today, WTA filed comments in response to the Third Further Notice of Proposed Rulemaking in the FCC’s proceeding to create the Digital Opportunity Data Collection. In its comments, WTA discussed the difficultly of defining locations for the purposes of the CAF verification compared to broadband availability mapping. WTA also supported requiring engineering certifications for biannual filings of both fixed and mobile providers and limiting the challenge process solely to questions regarding service availability.