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The View from Here: July 2026 Reflections

Happy Summer! I hope all are enjoying this special time in New England, albeit with some weather-related challenges! Boating and family visits have been the highlight of my summer so far! Now we can look forward to a gorgeous Fall in New England!

Changes are in the wind for the Federal Communications Commission (FCC) Rural Health Care (RHC) Healthcare Connect Fund (HCF) and its administration by the Universal Service Administrative Company (USAC). On July 16th, the FCC issued two Notices of Proposed Rule Making (NPRM).

The first NPRM continues the FCC’s effort to promote RHC efficiency and effectiveness. This NPRM is seeking comments on several program improvements. Some of the proposed changes are:

NETC is participating with colleagues across the country in an Ad Hoc Broadband for Rural Health Group. The Ad Hoc Group has been working over the last several months to craft and promote improvements to HCF and USAC. As such, NETC and the Group are very supportive of the HCF and USAC reform process and will be offering comments on the proposed rules. Specifically, we will comment on the use of lower-cost backup services noting that lower-cost backup services may be inadequate since, generally speaking, backup services by definition have to mirror primary service capabilities and capacity. We certainly support an eligible services list to provide clarity and transparency. We also support performance metrics which can provide benchmarks to measure efficiency and timeliness. And we also support eliminating the HCF annual report which is a boiler plate report offering no real data.

The second NPRM seeks to strengthen the FCC’s management and administration of the Universal Service Fund (USF), the source of funding for the RHC HCF. With this NPRM, the FCC is seeking comments on:

Again, the Ad Hoc Group and NETC support the reform process and look forward to providing relevant comments. The proposed changes to the audit process are a concern. We do not agree that there needs to be any changes made to the audit process and will comment in opposition to that rule change. In short, NETC and the Ad Hoc Group welcome many of the proposed changes which should significantly improve the transparency and accountability of USAC and its operations. These are changes that are long overdue. With our experience in the past few years where Funding Commitment Letters (FCL) often are issued by USAC in the last quarter of the fiscal year for which funding was being requested (i.e., FY 2025 began on July 1, 2025; FCLs were still being received in June 2026 and a sizable $4.138 million FCL was not received until 7/9/2026, and significantly, 3 requests still remain outstanding!). Receiving an FCL for funding that began 11 months ago is counterproductive and creates unnecessary administrative expense. NETC welcomes the opportunity to support these much-needed USAC reforms.

In other news, NETC processed 221 funding requests for FY 2026 (July 1, 2026 to June 30, 2027) funding. Total funding requested is $31,358,472.31. Our thanks to the staff at our managing agent, ProInfoNet, for their expertise and diligence in preparing and submitting these funding requests. Great work!

Thank you for taking time out of your busy schedule to read my remarks. I hope in some small way you find them helpful. My thanks to all of you who are a part of the NETC community. With your continued support, we look forward to continued success supporting health care in New England!

Connecting Healthcare, One Site at a Time

NETC helps healthcare providers stay connected with reliable, cost-effective network solutions. From Healthcare Connect Fund subsidy support to network management, we handle the details so you can focus on patient care.