free to raise this issue in other relevant proceedings. 53. Other commenters urge us to expand the proposal so that any commonly-owned affiliates and subsidiaries - including "parent" companies and "sister" subsidiaries - could share a single 93 Id. 94 The "issuing carrier" is the carrier filing the tariff. 47 C.F.R. § 61.3(r). 95 Id. § 61.134. 96 Id. § 61.135. 97 GTE Comments at 5; see also SBC Reply Comments at 17. 23 Federal Communications Commission FCC 99-51 Section 214 authorization.98 Cable & Wireless's proposal would allow a sister subsidiary to obtain a separate authorization by filing a notification letter listing the Commission orders upon which it is relying. Cable & Wireless states that the notification letter would raise no
free to raise this issue in other relevant proceedings. 53. Other commenters urge us to expand the proposal so that any commonly-owned affiliates and subsidiaries - including "parent" companies and "sister" subsidiaries - could share a single 93 Id. 94 The "issuing carrier" is the carrier filing the tariff. 47 C.F.R. § 61.3(r). 95 Id. § 61.134. 96 Id. § 61.135. 97 GTE Comments at 5; see also SBC Reply Comments at 17. 23 Federal Communications Commission FCC 99-51 Section 214 authorization.98 Cable & Wireless's proposal would allow a sister subsidiary to obtain a separate authorization by filing a notification letter listing the Commission orders upon which it is relying. Cable & Wireless states that the notification letter would raise no
free to raise this issue in other relevant proceedings. 53. Other commenters urge us to expand the proposal so that any commonly-owned affiliates and subsidiaries - including "parent" companies and "sister" subsidiaries - could share a single 93 Id. 94 The "issuing carrier" is the carrier filing the tariff. 47 C.F.R. § 61.3(r). 95 Id. § 61.134. 96 Id. § 61.135. 97 GTE Comments at 5; see also SBC Reply Comments at 17. 23 Federal Communications Commission FCC 99-51 Section 214 authorization.98 Cable & Wireless's proposal would allow a sister subsidiary to obtain a separate authorization by filing a notification letter listing the Commission orders upon which it is relying. Cable & Wireless states that the notification letter would raise no
free to raise this issue in other relevant proceedings. 53. Other commenters urge us to expand the proposal so that any commonly-owned affiliates and subsidiaries - including "parent" companies and "sister" subsidiaries - could share a single 93 Id. 94 The "issuing carrier" is the carrier filing the tariff. 47 C.F.R. § 61.3(r). 95 Id. § 61.134. 96 Id. § 61.135. 97 GTE Comments at 5; see also SBC Reply Comments at 17. 23 Federal Communications Commission FCC 99-51 Section 214 authorization.98 Cable & Wireless's proposal would allow a sister subsidiary to obtain a separate authorization by filing a notification letter listing the Commission orders upon which it is relying. Cable & Wireless states that the notification letter would raise no