Alternative operator services company definition

Alternative operator services company means a nongovernmental company which receives more than half of its Iowa intrastate telecommunications services revenues from calls placed by end-user customers from telephones other than ordinary residence or business telephones. The definition is further limited to include only companies which provide operator assistance, either through live or automated intervention, on calls placed from other than ordinary residence or business telephones, and does not include services provided under contract to rate-regulated local exchange utilities.
Alternative operator services company or “AOS company” means a nongovernmental company which receives more than half of its Iowa intrastate telecommunications services revenues from calls placed by end-user customers from telephones other than ordinary residence or business telephones. This definition is further limited to include only companies which provide operator assistance, either through live or automated intervention, on calls placed from other than ordinary residence or business telephones, and does not include services provided under contract to rate-regulated local exchange telecommunications service providers. Alternative operator services companies as defined are telecommunications service providers subject to the rules in this chapter.
Alternative operator services company means a nongovernmental company which receives more than half of its Iowa intrastate telecommunications services revenues from calls placed by end-user customers from telephones other than ordinary residence or business telephones. The definition is further limited to include only companies which provide operator assistance, either through live or automated intervention, on calls placed

More Definitions of Alternative operator services company

Alternative operator services company means a nongovernmental company which receives more than half of its Iowa intrastate telecommunications services revenues from calls placed by end-user customers from telephones other than ordinary residence or business telephones. The definition is further limited to include only companies which provide operator assistance, either through live or automated intervention, on calls placed from other than ordinary residence or business telephones, and does not include services provided under contract to rate-regulated local exchange utilities. There appears to be no dispute regarding the application of this definition to Securus’ intrastate inmate calling services prior to Securus’ conversion to Internet protocols. Securus’ October 2016 registration with the Board placed an “X” before the blank “ALTERNATIVE OPERATOR SERVICES ONLY.” OCA Ex. Kruger Reply, Sched. B. In its order dated May 3, 2017, the Board stated: “Securus is an alternative operator services company (AOS) subject to the Board’s jurisdiction under Iowa Code § 476.91 (2017).” At hearing, Mr. Lozich acknowledged that Securus was an AOS provider in prior years. Tr. 42, lines 2-7; Tr. 43, lines 5-8.Specifically, Securus met each of the statutory criteria: • Mr. Lozich acknowledged that Securus is a nongovernmental company. Tr. 42, lines 8-12. Securus identifies itself as a private corporation. OCA Reply Ex. STI- 1; Lozich Pre-Filed Direct at 6, lines 1-2. As explained in its application to the FCC earlier this year for transfer of ownership of the stock of its corporate parent, Securus is a Delaware corporation. By virtue of the transfer, it became athirteenth tier subsidiary of ultimate parent Gores Trust, the direct owner of Platinum Equity, a global investment firm. OCA Ex. Kruger Reply, Sched. A.17• Mr. Lozich acknowledged that, in prior years, Securus received more than half of its Iowa revenues from calls placed by end-user customers from telephones other than ordinary residence or business telephones. Tr. 42, line 13, to 43, line 8. He acknowledged that Securus generates substantially all of its Iowa intrastate revenues by providing inmate calling services within correctional facilities. Lozich Pre-Filed Direct at 10, lines 8-9; see OCA Reply Exs. STI-3 and STI-6. He acknowledged that all of the revenues reported in Securus’ annual filing, “but for the definitional difference,” are revenues from intrastate telecommunications services. Tr. at 46, lines 4-13; see OCA Ex. Kruger Reply, Sched. C....

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