The FCC recently adopted a contribution rate of 0.01219 (1.219%) for the Interstate Telecommunications Relay Service (“TRS”). This contribution factor is a decrease from last year’s TRS contribution factor of 0.01484 (1.484%). The new TRS contribution factor will go into effect July 1st and remain in effect until June 30th of next year.
Annual TRS Fund support payments must be paid by all interstate wireline telecommunications carriers and interconnected VoIP service providers. NECA, the TRS fund administrator, will apply the proposed contribution factor against all contributors’ interstate and international telecommunications revenue, as reported in the recent FCC Form 499-A. There is no de minimis exemption for TRS contribution. NECA will issue invoices for carrier contributions to the TRS Fund by late July.
Details and Important Reminders
- Duty to Pay
A regulated carrier’s obligation to pay TRS support contributions exists by virtue of having provided interstate or international telecommunications services or interconnected VoIP services during the past year, regardless of whether you receive an invoice from NECA.
- Minimum Payment
The minimum annual contribution to the TRS Fund continues at $25. The minimum contribution is owed by all carriers holding Filer IDs during the past year, even if the carrier reported no revenue in its annual Form 499-A.
- Terms of Payment
Carriers with annual TRS funding obligations exceeding $1,200 may opt to pay in twelve equal monthly installments, but must immediately contact NECA upon receipt of their annual NECA TRS invoice to initiate monthly billing. Thereafter, invoices will be issued to monthly contributors with payments due the 26th of each month.
- Late Filing Penalty
NECA will assess a late filing penalty of $100 to any carrier filing FCC Form 499-A after the April 1st deadline.
Consequences of Non-Payment/Delinquency
Any carrier who owes money to the interstate TRS Fund will be considered delinquent and in “red light status” if payment is not made by the due date reflected on the NECA TRS invoice. Late payment charges will be applied to delinquent accounts not paid by the annual or monthly due dates. Furthermore, clients are reminded that if an annual contributor has not made its payment, including any late payment assessments, within 90 days of the NECA TRS invoice due date, the delinquent amount will be transferred to the FCC pursuant to the Debt Collection Improvement Act of 1996. A monthly contributor whose payment is 90 days past due will also have its delinquent balance transferred to the FCC.