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Material Change Update Procedures Guide
Implementation Handbook for Voice Service Providers
Prepared by Performance West Inc. Effective Date: 2026
1. What Is the Material Change Requirement?
Under the FCC's 2025 RMD Report & Order (effective February 5, 2026), all providers with an RMD filing must update their certification within 10 business days of any material change to their operations, ownership, or filing information.
Failure to update within 10 business days can result in a $1,000 per day forfeiture.
Regulatory basis: 47 CFR § 64.6305, 2025 RMD Report & Order (FCC 25-6)
2. What Counts as a Material Change?
| Category | Examples |
|---|---|
| Ownership | Change in controlling interest, merger, acquisition, new parent company |
| Corporate identity | Legal name change, DBA change, new EIN |
| Contact information | New robocall mitigation contact person, email, phone, address |
| STIR/SHAKEN status | Change from partial to full implementation, switch to a different STI-CA, loss of SPC token |
| Provider classification | Adding gateway operations, ceasing to be a VSP, becoming an intermediate provider |
| Upstream provider | Changing the upstream carrier that provides STIR/SHAKEN signing |
| Robocall mitigation program | Significant changes to KYC procedures, analytics vendors, blocking policies |
| Trade names / DBAs | Adding or removing names under which you operate |
3. Implementation Steps
Step 1: Designate a Compliance Officer
Assign one person (and a backup) as the RMD Compliance Officer responsible for:
- Monitoring for material changes
- Initiating the update process within 10 business days
- Maintaining an audit trail of updates
Recommended: The same person who is listed as the RMD contact on your filing.
Step 2: Create a Material Change Checklist
Post this checklist where operations, legal, and management teams can see it:
When ANY of the following occur, notify the RMD Compliance Officer immediately:
- Company name or DBA changed
- Ownership or controlling interest changed
- New parent company, merger, or acquisition
- RMD contact person changed (name, email, phone)
- Principal office address changed
- STIR/SHAKEN certificate authority changed
- SPC token renewed, revoked, or transferred
- Upstream provider changed
- Provider type changed (added/removed VSP/gateway/intermediate)
- Robocall mitigation program materially revised
- New analytics vendor deployed or existing vendor discontinued
- Trade names added or removed
Step 3: Establish an Internal Notification Process
Create a simple workflow:
Change occurs (e.g., new upstream provider signed)
↓
Department head notifies RMD Compliance Officer (email/ticket)
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Compliance Officer logs the change in the tracking spreadsheet
↓
Within 5 business days: prepare updated RMD filing content
↓
Within 10 business days: submit update to FCC RMD portal
↓
Confirm update accepted, save confirmation screenshot
Step 4: Update the RMD Portal
To submit an update:
- Log in to the FCC RMD portal at https://apps.fcc.gov/rmd/ (MFA required since Feb 5, 2026)
- Navigate to your existing certification
- Click "Update" or "Edit"
- Modify the relevant fields
- Re-upload your certification letter/Exhibit A if the mitigation plan changed
- Submit and save the confirmation page
Or: Contact Performance West — we can submit the update on your behalf as your authorized filing agent.
Step 5: Maintain an Audit Trail
Keep a log of all material changes and RMD updates:
| Date | Change Description | Notified By | Updated in RMD | Confirmation # |
|---|---|---|---|---|
| 2026-03-15 | New upstream provider (ABC Telecom) | VP Engineering | 2026-03-18 | RMD-UPD-12345 |
| 2026-04-01 | Contact email changed to new@company.com | HR | 2026-04-03 | RMD-UPD-12346 |
4. Documenting Material Change Procedures in Your RMD Filing
Your RMD certification should include:
"[Company Name] updates its RMD certification and CORES registration within 10 business days of any material change, including but not limited to changes in ownership, contacts, STIR/SHAKEN posture, upstream provider, or trade names, per 47 CFR § 64.6305. A designated compliance officer monitors for material changes and maintains an audit trail of all updates."
5. Penalties for Non-Compliance
| Violation | Penalty |
|---|---|
| Failure to update within 10 business days | $1,000/day forfeiture |
| False or inaccurate information in filing | $10,000 base forfeiture |
| Failure to maintain compliant certification | Removal from RMD (downstream carriers must block your traffic within 30 days) |
6. Common Mistakes to Avoid
| Mistake | Consequence |
|---|---|
| No material change language in RMD filing | Filing flagged as deficient |
| Updating only annually during recertification | Misses the 10-day requirement for mid-year changes |
| No internal notification process | Changes happen without anyone updating the RMD |
| Updating the filing but not the Exhibit A | Inconsistency between certification and plan |
| No audit trail | Cannot demonstrate timely compliance if audited |
This guide is provided for informational purposes as part of your RMD filing service. It is not legal advice.
Performance West Inc. — performancewest.net — 1-888-411-0383