qwerty123
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Purple interperter are subcontractor uncertified? not quality interperter cant monitor quality like subcontract to India people!!!
http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-09-675A1.pdf
GoAmerica describes providers offering “white label” services as “the process where entities that are not certified relay providers offer Internet-based relay (generally VRS), and bill for the service through certified providers.” Id. at 2. In other words, the certified entity is a non-facilities based provider; it does not actually relay calls, but does that through a subcontractor.
On January 23, 2009, GoAmerica, Inc. (GoAmerica) filed a petition for rulemaking to amend Section 64.606(a)(2) of the Federal Communications Commission’s (Commission’s) rules pertaining to the certification of Internet-based telecommunications relay service (TRS) providers.1 GoAmerica requests the Commission amend its rules (1) to prohibit the practice of providing “white label” services by uncertified entities receiving compensation from the Interstate TRS Fund through certified providers, and (2) to require applicants for Internet-based TRS certification to demonstrate sufficient resources and capabilities to provide an Internet-based TRS service.2 GoAmerica contends that amending the rule is necessary to preserve the integrity of the TRS program and to maintain the quality of Internet-based TRS service.3
http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-09-675A1.pdf
GoAmerica describes providers offering “white label” services as “the process where entities that are not certified relay providers offer Internet-based relay (generally VRS), and bill for the service through certified providers.” Id. at 2. In other words, the certified entity is a non-facilities based provider; it does not actually relay calls, but does that through a subcontractor.
On January 23, 2009, GoAmerica, Inc. (GoAmerica) filed a petition for rulemaking to amend Section 64.606(a)(2) of the Federal Communications Commission’s (Commission’s) rules pertaining to the certification of Internet-based telecommunications relay service (TRS) providers.1 GoAmerica requests the Commission amend its rules (1) to prohibit the practice of providing “white label” services by uncertified entities receiving compensation from the Interstate TRS Fund through certified providers, and (2) to require applicants for Internet-based TRS certification to demonstrate sufficient resources and capabilities to provide an Internet-based TRS service.2 GoAmerica contends that amending the rule is necessary to preserve the integrity of the TRS program and to maintain the quality of Internet-based TRS service.3