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AnonDOG

@kaballero.com

CALEA

CALEA already requires the carrier to be able to provide CII when requested by the FED.

Carriers who provided brodband or VoIP service have until tomorrow to file forms 445 and 447 stating their level of compliance *AND* until May 12 to actually *BE* compliant.

How all that impacts the unsecured access point eludes me.
They are everywhere.

Mike_27
Premium
join:2004-05-15
Gardiner, MT

1 edit

said by AnonDOG :

Carriers who provided brodband or VoIP service have until tomorrow to file forms 445 and 447 stating their level of compliance *AND* until May 12 to actually *BE* compliant.
isn't it form 477? due on 3/1 and 7/1 of each year?
»www.fcc.gov/broadband/data.html

said by AnonDOG :

How all that impacts the unsecured access point eludes me. They are everywhere.
since people operating open access points are actually a facilities based telecommunicaton carrier, in theory they are required to submit these forms and become CALEA compliant by the deadline.

I imagine the first warrant issued against an unsecured access point will be the test ....

Mike


AnonDOG

@kaballero.com

Aye Mike, sorry. 477 is due twice a year. 445 is due tomorrow.

Indeed the first warrant issued against an unsecured AP will be the test. I think though that what will happen in such cases is the home owner will receive a search warrant instead.

When the FED finds nothing (after tossing the home) the end user will figure out that they should secure their AP.


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