RMD Explorer Organization View

FCC 499 DB: 835626 CORES fcc.gov: 32953606
Address: 1309 Coffeen Avenue | Ste 1200 | Sheridan, WY 82801 Phone: (786) 373-1786 Filing Date: 2024-04-01 Provider Type: Interconnected Voip
Titles: Eastridge Networks LLC

Intermediate Provider - No RMP/Scoring
Name OCN Location Stir/Shaken PDF Score  Created On     Updated On     
Eastridge Networks LLC
{"ct_name":"Hamza Ali Khan","ct_title":"CEO","ct_dept":"Operations","ct_address":"1309 Coffeen Avenue STE 1200 | Sheridan WY 82801","ct_tel":"7863731786","ct_email":"hamza@eastridgenetworks.com","bz_address":"1309 Coffeen Avenue STE 1200 | Sheridan WY 82801","country":"United States of America","declare":"2024-04-18","last_seen":"2024-05-03","sys_id":"5ef1dc5b97a1861039deff2ad053af25","is_new":0,"gw_prov":"false","gw_prov_choice":"No","combined_gw":"false","ipr_imported":"false","voice_choice":"No","intermed_choice":"Yes","investigated":"No","intermed_exempt_rule":"Since it lacks direct control over infrastructure, the Company has refrained from integrating a STIR\/SHAKEN call authentication framework. As detailed earlier in this document, operating as an MVNO limits the Company's authority over the necessary facilities and network infrastructure for STIR\/SHAKEN implementation. Without ownership or jurisdiction over its network, the Company falls outside the FCC's mandate for STIR\/SHAKEN implementation, as outlined in paragraph 40 of the FCC's First Call Authentication Report and Order. As a genuine MVNO, the Company relies entirely on its underlying carriers, who possess and manage their distinct network infrastructure, to enact and employ STIR\/SHAKEN authentication protocols.","gw_exempt_rule":"","voice_exempt_rule":"","investigate_descript":""}
 Sheridan WYNo S/SRMPNYS2024-04-18  
Eastridge Networks LLC
{"ct_name":"Hamza Ali Khan","ct_title":"CEO","ct_dept":"Operations","ct_address":"","ct_tel":"7863731786","ct_email":"hamza@eastridgenetworks.com","bz_address":"1309 Coffeen Avenue STE 1200 | Sheridan WY 82801","country":"United States of America","declare":"2024-04-18","last_seen":"2024-04-24","sys_id":"5ef1dc5b97a1861039deff2ad053af25","is_new":-10,"gw_prov":"false","gw_prov_choice":"No","combined_gw":"false","ipr_imported":"false","voice_choice":"No","intermed_choice":"Yes","investigated":"No","intermed_exempt_rule":"Since it lacks direct control over infrastructure, the Company has refrained from integrating a STIR\/SHAKEN call authentication framework. As detailed earlier in this document, operating as an MVNO limits the Company's authority over the necessary facilities and network infrastructure for STIR\/SHAKEN implementation. Without ownership or jurisdiction over its network, the Company falls outside the FCC's mandate for STIR\/SHAKEN implementation, as outlined in paragraph 40 of the FCC's First Call Authentication Report and Order. As a genuine MVNO, the Company relies entirely on its underlying carriers, who possess and manage their distinct network infrastructure, to enact and employ STIR\/SHAKEN authentication protocols.","gw_exempt_rule":"","voice_exempt_rule":"","investigate_descript":""}
 Sheridan WYNo S/SY2024-04-18