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Texas Maps and Plans, Starlink and the Ozone, Sony Lawsuit, and Colorado MDU Laws | Episode 97 of the Connect This! Show

Connect This! Show

Join us Friday, June 28th at 2pm ET for the latest episode of the Connect This! Show. Co-hosts Christopher Mitchell and Travis Carter will be joined by regular guests Kim McKinley (UTOPIA Fiber) and Doug Dawson (CCG Consulting) to talk about library speed test maps in Texas and broadband plans in San Antonio, whether Starlink will mess with the ozone layer, music giant Sony trying to bully Cox into disconnecting users who engage in IP infringement, and the recent Colorado law aimed at improving competition in MDUs.

Email us at [email protected] with feedback and ideas for the show.

Subscribe to the show using this feed or find it on the Connect This! page, and watch on LinkedIn, on YouTube Live, on Facebook live, or below.

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Blueprints for BEAD: Use the FCC Map to Spot Trouble Areas for BEAD Challenges

Blueprints for BEAD is a series of short notes and analysis on nuances of BEAD that might otherwise get lost in the volume of material published on this federal funding program. Click the “Blueprints for BEAD” tag at the bottom of this story for other posts.

There are still almost two dozen states that have yet to go through the Broadband Equity, Access, and Deployment (BEAD) program challenge process, which will lock down those locations that will be eligible for federal broadband infrastructure funding. And one refrain we’ve heard over and over from those in states that have already completed theirs is that, despite NTIA’s best efforts, it's complicated and hard. 


States have been given significant leeway in setting the rules for developing a challenge process wherein unserved and underserved locations can be identified. Lacking clear direction from the NTIA for what may seem like insignificant details, the often-hastily developed rules have in many states resulted in opaque processes characterized by a lack of clear communication and outreach. The resulting state guidance on how to request a data license, navigate a challenge portal, and submit challenges has left many local governments, small ISPs, Tribes, and nonprofits feeling defeated about their ability to participate. Without the detailed counsel on strategies for identifying prospective challenges, the scale of impact that this group of eligible entities could have on BEAD outcomes has been significantly narrowed. 


This is particularly troubling because widening the circle of those who can effectively participate is important. Residents, local governments, and nonprofits often have the best sense of exactly where the connectivity gaps in their communities exist. They also know what form the digital divide takes - whether in reliability, or cost, or latency, or available speeds. But so far, the challenge process for BEAD has been dominated by the largest ISPs that have the staff and expertise to interact with large amounts of geographic data in a relatively short period of time.

Blueprints for BEAD: Use the FCC Map to Spot Trouble Areas for BEAD Challenges

Blueprints for BEAD is a series of short notes and analysis on nuances of BEAD that might otherwise get lost in the volume of material published on this federal funding program. Click the “Blueprints for BEAD” tag at the bottom of this story for other posts.

There are still almost two dozen states that have yet to go through the Broadband Equity, Access, and Deployment (BEAD) program challenge process, which will lock down those locations that will be eligible for federal broadband infrastructure funding. And one refrain we’ve heard over and over from those in states that have already completed theirs is that, despite NTIA’s best efforts, it's complicated and hard. 


States have been given significant leeway in setting the rules for developing a challenge process wherein unserved and underserved locations can be identified. Lacking clear direction from the NTIA for what may seem like insignificant details, the often-hastily developed rules have in many states resulted in opaque processes characterized by a lack of clear communication and outreach. The resulting state guidance on how to request a data license, navigate a challenge portal, and submit challenges has left many local governments, small ISPs, Tribes, and nonprofits feeling defeated about their ability to participate. Without the detailed counsel on strategies for identifying prospective challenges, the scale of impact that this group of eligible entities could have on BEAD outcomes has been significantly narrowed. 


This is particularly troubling because widening the circle of those who can effectively participate is important. Residents, local governments, and nonprofits often have the best sense of exactly where the connectivity gaps in their communities exist. They also know what form the digital divide takes - whether in reliability, or cost, or latency, or available speeds. But so far, the challenge process for BEAD has been dominated by the largest ISPs that have the staff and expertise to interact with large amounts of geographic data in a relatively short period of time.

Blueprints for BEAD: Use the FCC Map to Spot Trouble Areas for BEAD Challenges

Blueprints for BEAD is a series of short notes and analysis on nuances of BEAD that might otherwise get lost in the volume of material published on this federal funding program. Click the “Blueprints for BEAD” tag at the bottom of this story for other posts.

There are still almost two dozen states that have yet to go through the Broadband Equity, Access, and Deployment (BEAD) program challenge process, which will lock down those locations that will be eligible for federal broadband infrastructure funding. And one refrain we’ve heard over and over from those in states that have already completed theirs is that, despite NTIA’s best efforts, it's complicated and hard. 


States have been given significant leeway in setting the rules for developing a challenge process wherein unserved and underserved locations can be identified. Lacking clear direction from the NTIA for what may seem like insignificant details, the often-hastily developed rules have in many states resulted in opaque processes characterized by a lack of clear communication and outreach. The resulting state guidance on how to request a data license, navigate a challenge portal, and submit challenges has left many local governments, small ISPs, Tribes, and nonprofits feeling defeated about their ability to participate. Without the detailed counsel on strategies for identifying prospective challenges, the scale of impact that this group of eligible entities could have on BEAD outcomes has been significantly narrowed. 


This is particularly troubling because widening the circle of those who can effectively participate is important. Residents, local governments, and nonprofits often have the best sense of exactly where the connectivity gaps in their communities exist. They also know what form the digital divide takes - whether in reliability, or cost, or latency, or available speeds. But so far, the challenge process for BEAD has been dominated by the largest ISPs that have the staff and expertise to interact with large amounts of geographic data in a relatively short period of time.

Blueprints for BEAD: Use the FCC Map to Spot Trouble Areas for BEAD Challenges

Blueprints for BEAD is a series of short notes and analysis on nuances of BEAD that might otherwise get lost in the volume of material published on this federal funding program. Click the “Blueprints for BEAD” tag at the bottom of this story for other posts.

There are still almost two dozen states that have yet to go through the Broadband Equity, Access, and Deployment (BEAD) program challenge process, which will lock down those locations that will be eligible for federal broadband infrastructure funding. And one refrain we’ve heard over and over from those in states that have already completed theirs is that, despite NTIA’s best efforts, it's complicated and hard. 


States have been given significant leeway in setting the rules for developing a challenge process wherein unserved and underserved locations can be identified. Lacking clear direction from the NTIA for what may seem like insignificant details, the often-hastily developed rules have in many states resulted in opaque processes characterized by a lack of clear communication and outreach. The resulting state guidance on how to request a data license, navigate a challenge portal, and submit challenges has left many local governments, small ISPs, Tribes, and nonprofits feeling defeated about their ability to participate. Without the detailed counsel on strategies for identifying prospective challenges, the scale of impact that this group of eligible entities could have on BEAD outcomes has been significantly narrowed. 


This is particularly troubling because widening the circle of those who can effectively participate is important. Residents, local governments, and nonprofits often have the best sense of exactly where the connectivity gaps in their communities exist. They also know what form the digital divide takes - whether in reliability, or cost, or latency, or available speeds. But so far, the challenge process for BEAD has been dominated by the largest ISPs that have the staff and expertise to interact with large amounts of geographic data in a relatively short period of time.

Blueprints for BEAD: Use the FCC Map to Spot Trouble Areas for BEAD Challenges

Blueprints for BEAD is a series of short notes and analysis on nuances of BEAD that might otherwise get lost in the volume of material published on this federal funding program. Click the “Blueprints for BEAD” tag at the bottom of this story for other posts.

There are still almost two dozen states that have yet to go through the Broadband Equity, Access, and Deployment (BEAD) program challenge process, which will lock down those locations that will be eligible for federal broadband infrastructure funding. And one refrain we’ve heard over and over from those in states that have already completed theirs is that, despite NTIA’s best efforts, it's complicated and hard. 


States have been given significant leeway in setting the rules for developing a challenge process wherein unserved and underserved locations can be identified. Lacking clear direction from the NTIA for what may seem like insignificant details, the often-hastily developed rules have in many states resulted in opaque processes characterized by a lack of clear communication and outreach. The resulting state guidance on how to request a data license, navigate a challenge portal, and submit challenges has left many local governments, small ISPs, Tribes, and nonprofits feeling defeated about their ability to participate. Without the detailed counsel on strategies for identifying prospective challenges, the scale of impact that this group of eligible entities could have on BEAD outcomes has been significantly narrowed. 


This is particularly troubling because widening the circle of those who can effectively participate is important. Residents, local governments, and nonprofits often have the best sense of exactly where the connectivity gaps in their communities exist. They also know what form the digital divide takes - whether in reliability, or cost, or latency, or available speeds. But so far, the challenge process for BEAD has been dominated by the largest ISPs that have the staff and expertise to interact with large amounts of geographic data in a relatively short period of time.

Blueprints for BEAD: Use the FCC Map to Spot Trouble Areas for BEAD Challenges

Blueprints for BEAD is a series of short notes and analysis on nuances of BEAD that might otherwise get lost in the volume of material published on this federal funding program. Click the “Blueprints for BEAD” tag at the bottom of this story for other posts.

There are still almost two dozen states that have yet to go through the Broadband Equity, Access, and Deployment (BEAD) program challenge process, which will lock down those locations that will be eligible for federal broadband infrastructure funding. And one refrain we’ve heard over and over from those in states that have already completed theirs is that, despite NTIA’s best efforts, it's complicated and hard. 


States have been given significant leeway in setting the rules for developing a challenge process wherein unserved and underserved locations can be identified. Lacking clear direction from the NTIA for what may seem like insignificant details, the often-hastily developed rules have in many states resulted in opaque processes characterized by a lack of clear communication and outreach. The resulting state guidance on how to request a data license, navigate a challenge portal, and submit challenges has left many local governments, small ISPs, Tribes, and nonprofits feeling defeated about their ability to participate. Without the detailed counsel on strategies for identifying prospective challenges, the scale of impact that this group of eligible entities could have on BEAD outcomes has been significantly narrowed. 


This is particularly troubling because widening the circle of those who can effectively participate is important. Residents, local governments, and nonprofits often have the best sense of exactly where the connectivity gaps in their communities exist. They also know what form the digital divide takes - whether in reliability, or cost, or latency, or available speeds. But so far, the challenge process for BEAD has been dominated by the largest ISPs that have the staff and expertise to interact with large amounts of geographic data in a relatively short period of time.

Blueprints for BEAD: Use the FCC Map to Spot Trouble Areas for BEAD Challenges

Blueprints for BEAD is a series of short notes and analysis on nuances of BEAD that might otherwise get lost in the volume of material published on this federal funding program. Click the “Blueprints for BEAD” tag at the bottom of this story for other posts.

There are still almost two dozen states that have yet to go through the Broadband Equity, Access, and Deployment (BEAD) program challenge process, which will lock down those locations that will be eligible for federal broadband infrastructure funding. And one refrain we’ve heard over and over from those in states that have already completed theirs is that, despite NTIA’s best efforts, it's complicated and hard. 


States have been given significant leeway in setting the rules for developing a challenge process wherein unserved and underserved locations can be identified. Lacking clear direction from the NTIA for what may seem like insignificant details, the often-hastily developed rules have in many states resulted in opaque processes characterized by a lack of clear communication and outreach. The resulting state guidance on how to request a data license, navigate a challenge portal, and submit challenges has left many local governments, small ISPs, Tribes, and nonprofits feeling defeated about their ability to participate. Without the detailed counsel on strategies for identifying prospective challenges, the scale of impact that this group of eligible entities could have on BEAD outcomes has been significantly narrowed. 


This is particularly troubling because widening the circle of those who can effectively participate is important. Residents, local governments, and nonprofits often have the best sense of exactly where the connectivity gaps in their communities exist. They also know what form the digital divide takes - whether in reliability, or cost, or latency, or available speeds. But so far, the challenge process for BEAD has been dominated by the largest ISPs that have the staff and expertise to interact with large amounts of geographic data in a relatively short period of time.

Blueprints for BEAD: Stakeholders May Use Rebuttal Power to Prevent New Errors in BEAD Maps

Blueprints for BEAD is a series of short notes and analysis on nuances of BEAD that might otherwise get lost in the volume of material published on this federal funding program. Click the “Blueprints for BEAD” tag at the bottom of this story for other posts.
 

By mid June, we will have blown past the halfway mark in the BEAD challenge process - with more than thirty states having completed their “challenge windows” and another handful set to close imminently. But the “challenge window” is only part of the overall challenge process, and there are reasons for communities to stay engaged with the process even after that window closes. Communities - don’t sleep on the rebuttal window!

Where We Sit Today

Each state must conduct a challenge process prior to opening up BEAD grants to verify that the data on the National Broadband Map is accurate. That process will have three stages: the challenge window, the rebuttal window, and the determination window. During the challenge window, eligible challengers (local and Tribal governments, nonprofits, and ISPs) can present evidence that locations are incorrectly categorized as served, underserved, or served. According to the NTIA’s Challenge Process Policy Notice, those same eligible entities can participate in the rebuttal window, where they supply evidence refuting a challenge that was made by someone else. After both of these periods are over, the state weighs all of the evidence and makes a final determination (determination window). 

Why might this rebuttal period be important for communities? In short, not all challenges are created equally. While we might primarily think of challenges that make the map more accurate, some challenges could, in fact, make the map less accurate. Some ISPs might make questionable challenges about the level of service they can or will provide.

Blueprints for BEAD: Stakeholders May Use Rebuttal Power to Prevent New Errors in BEAD Maps

Blueprints for BEAD is a series of short notes and analysis on nuances of BEAD that might otherwise get lost in the volume of material published on this federal funding program. Click the “Blueprints for BEAD” tag at the bottom of this story for other posts.
 

By mid June, we will have blown past the halfway mark in the BEAD challenge process - with more than thirty states having completed their “challenge windows” and another handful set to close imminently. But the “challenge window” is only part of the overall challenge process, and there are reasons for communities to stay engaged with the process even after that window closes. Communities - don’t sleep on the rebuttal window!

Where We Sit Today

Each state must conduct a challenge process prior to opening up BEAD grants to verify that the data on the National Broadband Map is accurate. That process will have three stages: the challenge window, the rebuttal window, and the determination window. During the challenge window, eligible challengers (local and Tribal governments, nonprofits, and ISPs) can present evidence that locations are incorrectly categorized as served, underserved, or served. According to the NTIA’s Challenge Process Policy Notice, those same eligible entities can participate in the rebuttal window, where they supply evidence refuting a challenge that was made by someone else. After both of these periods are over, the state weighs all of the evidence and makes a final determination (determination window). 

Why might this rebuttal period be important for communities? In short, not all challenges are created equally. While we might primarily think of challenges that make the map more accurate, some challenges could, in fact, make the map less accurate. Some ISPs might make questionable challenges about the level of service they can or will provide.