Services and pricing

Three packages, flat fees.

No hourly billing, no retainers and no contingency fees. We prepare every filing and procedure. An officer of your company reviews, certifies and submits.

Setup

$5,000, one time

Everything a small provider needs to be listed correctly and to stay that way. A $1,000 deposit starts the work. The balance is due when we deliver the package.

We aim to deliver within seven business days of your completed intake.

What you get

  • Role classification. Which roles you play in the call path, and which certification option fits each one.
  • Database certification worksheet and written mitigation plan, built to the elements in 47 CFR 64.6305.
  • Customer and upstream-provider vetting procedures, with the log sheets to prove you follow them.
  • Traceback response procedure for the 24-hour rule.
  • USAC Form 499 registration worksheet and your first Form 499-A worksheet.
  • CPNI compliance manual and your first annual officer certification.
  • STIR/SHAKEN path. The steps to your own token and certificate, or the written basis for relying on the provider that signs your calls.
  • State registration map for the states where you have customers.
  • A 2027 deadline calendar for your team.

Annual program

$2,500 a year

Every recurring deadline, prepared ahead of time and tracked so nothing is late.

Billed each January. It renews yearly until either of us gives 30 days' notice.

What it covers

  • March 1. Robocall Mitigation Database recertification, with a review of your plan against any new FCC rules.
  • March 1. CPNI certification, complaint summary and statement of procedures.
  • April 1. Form 499-A worksheet.
  • Quarterly. Form 499-Q worksheets if you are not de minimis.
  • Any time. An updated database filing prepared inside the 10-business-day window when you tell us something changed.
  • Reminders 30, 14 and 3 days before each deadline.

Reinstatement

$7,500, flat

For providers the FCC has removed from the Robocall Mitigation Database.

A removed company may not re-file without approval from both the Enforcement Bureau and the Wireline Competition Bureau.

The FCC decides. We cannot promise reinstatement, and we will tell you before you pay if we think a request is not worth making.

What we do

  • A first look at your removal order, at no charge.
  • The request for consent to re-file, in the terms the Bureau used in its order.
  • A complete corrected package: certification worksheet, mitigation plan, vetting procedures and traceback procedure.
  • Follow-up on staff questions until the Bureaus answer.

Add-ons

When you need one more piece.

  • State registration worksheet and filing preparation, per state$750
  • Help obtaining an operating company number, an STI-PA token and a certificate authority account$1,500

Plain terms

What is not included.

  • Government and third-party fees: FCC, USAC, the STI Policy Administrator, state agencies, a registered agent, a certificate authority.
  • Legal advice or representation before the FCC. We tell you when a question needs telecommunications counsel.
  • Telecom tax returns, 911 fee remittance and Universal Service Fund payments themselves.
  • Submitting a certification in your name. An officer of your company signs every one.

Fit

Who we turn away.

  • Outbound dialing platforms
  • Lead-generation call centers
  • Any company named in a traceback for illegal traffic
  • Any company that will not name its owners

A compliance filing is only as honest as the business behind it. We will not write a plan a provider does not intend to follow.

Start with a free read of your filing.

Email us your company name and your RMD number. We reply within one business day with a one-page read of your public filing and a straight answer on whether you need us.