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Goldfield

Telephone Company

P.O. Box 67

536 North Main

Goldfield, 1A,50542

GOLDFIELD TELEPHONE 515-825-3766Tel


COMPANY
515-825-3801 FAX

February I,20Il

Marlene H. Dortch, Secretary


Federal Communications Commission
Office of the Secretary
445 l2th Street, SW
Washington, DC 20554

IN RE: CC Docket 96-115 & WC Docket no 04-36

Enclosed please find the original and four copies of the annual CPNI certification for
Goldfield Telephone Company, Goldfield Access Network, Goldfield Communications
Services Co.p., & North Central Wireless.

Sincerely,

Goldfield Telephone Co.


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47 C.F.R. rtification

Annual 64,2009(e) CPNI Certification for 2010

Date filed: 2lIl201I

Name of company covered by this certification: North Ce

Form 499 Filer ID: 826539

Name of signatory: Troy Seaba

Title of signatory: Seuetary

I, Troy Seaba, cartify that I am an officer of the com ny named above, and acting as an agent of
the company,that I have personal knowledge that the com has established operating procedures that
are adequate to ensure compliance with the Commission's C I rules. See 47 C.F.R, S 64.2001 et seq,

Attached to this certification is an accompanying nt explaining how the company's


procedures ensure that the company is in compliance with t requirements set forth in section 64.2001 et
seq. of the Commission's rules,

The company has not taken any actions (proceedings i tuted or petitions filed by a company at
either state commissions, the court system, or at the Commi on against data brokers) against data
brokers in the past year. Companies must report on any info ion that they have with respect to the
processes pretexters are using to attempt to access CPNI , an what steps companies are taking to protect
CPNI.

The company has not received any customer complaints in t past year concerning the unauthorized
release of CPNI (number of customer complaints a company received related to unauthorized access
to CPNI, or unauthorized disclosure of CPNI, broken down b category or complaint, e.9., instances of
improper access by employees, instances of improper discl re to individuals not authorized to receive
the information, or instances of improper access to online infl ation by individuals not authorizedlo
view the information).

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