COMPLIANCE STATEMENT AND DISCLOSURES FOR FCC “TRANSPARENCY RULE”
Valstar, Inc. dba GTel (the “Company”) provides this information in its good faith effort to comply with the disclosures required by the Federal Communications Commission (“FCC”) revised “transparency” rule effective on June 11, 2018. In this regard, we endeavor through these disclosures to provide consumers with information necessary for them to make informed choices about the purchase and use of the Company’s broadband Internet access service (the “Company’s Service”).
To place our compliance efforts in context, the FCC transparency rule states as follows:
(a) Any person providing broadband Internet access service shall publicly disclose accurate information regarding the network management practices, performance characteristics, and commercial terms of its broadband Internet access services sufficient to enable consumers to make informed choices regarding the purchase and use of such services and entrepreneurs and other small businesses to develop, market, and maintain Internet offerings. Such disclosure shall be made via a publicly available, easily accessible website or through transmittal to the Commission.
(b) Broadband internet access service is a mass-market retail service by wire or radio that provides the capability to transmit data to and receive data from all or substantially all Internet endpoints, including any capabilities that are incidental to and enable the operation of the communications service, but excluding dial-up Internet access service. This term also encompasses any service that the Commission finds to be providing a functional equivalent of the service described in the previous sentence or that is used to evade the protections set forth in this part. 83 Fed. Reg. 7852, 7922 (Feb. 22, 2018) to be codified at 47 C.F.R. §8.1(b).
(c) A network management practice is reasonable if it is appropriate and tailored to achieving a legitimate network management purpose, taking into account the particular network architecture and technology of the broadband Internet access service. 83 Fed. Reg. 7852, 7922 (Feb. 22, 2018) to be codified at 47 C.F.R. §8.1(c).
The Company reserves the right to update and modify these disclosures and the underlying policies, in a manner consistent with the FCC’s directives, including by way of example the Company’s terms and conditions, network management practices and performance characteristics. To the extent such changes are made they will be reflected in the links provided below.
The rates, terms and conditions associated with the Company’s Service, including by way of example only, early termination and/or additional network service fees, can be accessed via the following link:
- Copper Rates: https://www2.gtel.net/internet/dsl/
- Fiber Rates: https://www2.gtel.net/fiber/
- Terms of Service: https://www2.gtel.net/wp-content/uploads/2017/03/GTelTermsofServiceAgreement.pdf
- Copyright Infringement Policy: https://www2.gtel.net/internet/copyrightinfringement/
When changes are made to the rates, terms and conditions of the Company’s Service, we will post them on our website using the links referenced above. The Company also includes messages regarding changes to rates, terms and conditions, on our end user bills, when applicable.
The Company’s “Privacy Policies” can be accessed via the following link: https://www2.gtel.net/about-us/privacy/
If you believe that the Company’s Service is not meeting the rates, terms and conditions applicable to what you have ordered, please feel free to contact us so that we can address your concern:
Via Telephone – (518) 537-4835
Monday, Tuesday, Thursday and Friday 8:00am – 4:30pm
Wednesday 9:00am – 4:30pm
After hours support (866) 380-8324
Via Email — firstname.lastname@example.org
Via Mail — Jason Shelton, General Manager GTel PO Box 188 Germantown, NY 12526
We strongly encourage you to contact us in order to discuss your concerns. If based on those discussions there is some remedial action necessary, we can work together to implement it.
NETWORK MANAGEMENT PRACTICES
In offering the Company’s Service, the Company recognizes that, at times, network issues will arise and, during those times, the Company will undertake actions that are appropriate and tailored to achieving a legitimate network management purpose. The Company notes specifically, the following network management practices. Please note that each of the statements below are subject to the Company’s “permitted use” policy (https://www2.gtel.net/wp-content/uploads/2017/03/GTelTermsofServiceAgreement.pdf).
1. Blocking. The Company does not block or otherwise prevent end user customer access to lawful content, applications, service, or non-harmful devices.
2. Throttling. Except where network congestion may occur, the Company strives to avoid any degradation or impairment of access to lawful Internet traffic on the basis of content, application, service, user, or use of a non-harmful device. Where service congestion occurs, the Company Service’s speed may be temporarily reduced.
3. Affiliated Prioritization. The Company does not engage in any practice that directly or indirectly favors any of its affiliates’ traffic over other traffic.
4. Paid Prioritization. The Company does not engage in any practice that directly or indirectly favors some traffic over other traffic in exchange for consideration, monetary or otherwise.
5. Congestion Management. The Company uses standard Transmission Control Protocol and User Datagram Protocol for congestion management .
6. Application-Specific Behavior. The Company does not (i) block or rate-control specific protocols or protocol ports; (ii) modify protocol fields in ways not prescribed by the protocol standard; or (iii) otherwise inhibit or favor certain applications or classes of applications.
7. Device Attachment Rules. Provided that an attachment does not cause network harm, including by way of example, interference with the Company’s network security measures, the Company does not restrict the types of devices that its end user customers may use and attach to the Company’s network nor does it have any approval procedures for devices to connect to the Company’s network.
8. Security. In conjunction with its , Valstar, Inc. dba GTel monitors the operability and security of its network. End customers are encouraged and responsible to protect their own home and business networks, including but not limited, to firewall, virus protection and securing internal wifi connections. If an end-user is unlawfully compromising the integrity of the Company’s network, they may be disconnected and notified. INOC and Valstar, Inc. will work with end-users on legitimate special applications that otherwise change normal security measures taken in the provisioning of the network for normal end users.
1. Service Description. Descriptions of the Company’s Service, including (1) the service technology; (2) expected and actual access speed and latency; and (3) the suitability of the service for real-time applications, can be accessed via the following link:
Copper Internet: https://www2.gtel.net/internet/dsl/
Fiber Internet: https://www2.gtel.net/fiber/
The Company currently provides Internet service over a mixed network. The Company offers speeds from 25mg/5mg up to 1Gb/1Gb over fiber. The Company offers speeds from 6mg/1mg up to 25mg/5mg over copper.
2, Impact of Non-Broadband Internet Access Service Data Services. The Company’s Service does not currently include any non-broadband Internt access service data services.