Provider certification record
Stanton Telecom, Inc.
Listed- RMD number
- RMD0001778
- FRN
- 0005017439
- OCN
- 1592
Identity
- Legal business name
- Stanton Telecom, Inc.
- Doing-business-as
- Stanton Telecom Inc.
- Foreign Voice Service Provider
- No
- Business address
- P. O. BOX 716, Stanton NE 68779
- Filing contact
- Nick Paden
Vice President/General Manager
npaden@stanton.net
(402) 439-2264
P. O. BOX 716 Stanton NE 68779
United States of America - Principals, Affiliates, Subsidiaries, and Parent Companies
- Town and Country Technologies Company Management/Officers: Robert Paden, President Nicholas Paden, Vice President/General Manager Colleen Paden, Secretary/Treasurer Board of Directors: Richard Paden Robert Paden Nicholas Paden Individual with 50% or greater ownership share: Leona Paden
Classification
- Provider role(s)
- Voice service provider
- STIR/SHAKEN implementation
Role Implementation Voice service provider Partial Overall Partial - Exemption rules
- The Provider has implemented the STIR/SHAKEN authentication framework on a portion of its network and calls it originates on that portion of its network are compliant with 47 CFR § 64.6301(a)(1) and (2). In addition, the Provider has established the policies and procedures set forth in this Robocall Mitigation Plan which are intended to stop anyone from using the Provider’s service to originate illegal robocalls. Presently, the Provider relies on the continuing extension from STIR-SHAKEN implementation provided under 47 CFR § 64.6304 (d) which exempts from STIR-SHAKEN Caller ID Authentication those portions of a voice service provider network that rely on technology which is unable to initiate, maintain, carry, process, and terminate interconnected VoIP calls. More specifically, although all of the Provider’s network facilities are at this time IP capable and able to originate and deliver VoIP calls, certain of the Provider’s upstream provider(s) which are receiving originated local or interexchange voice traffic are currently only offering non-IP connectivity for such traffic – no IP connectivity is available from the upstream provider(s) enabling the continued transmission of Provider’s VoIP traffic in Session Internet Protocol (SIP), with a continued transfer of STIR-SHAKEN attestation data.
Prior investigations / actions
- Description
- Stanton received notice via email from RMD-Compliance on September 26, 2024. In the notice, it explained that Pursuant to paragraph 46 of the Sixth Caller ID Authentication Report and Order (FCC 23-18), new and existing filers are required to provide information regarding their principals, affiliates, subsidiaries, and parent companies. You failed to provide this information, including information regarding any principal(s) that exercise management or control of the filing entity. On October 3, 2024, the Company responded to RMD compliance that it had updated its Robocall Mitigation Plan and RMD submission form to comply with the requirements set forth in the email dated September 26, 2024.
Robocall mitigation plan
Declaration
- By
- Nick Paden
- Date
- 2026-02-16Last Recertified 2026-02-16
Listing history
| Date | Event | Detail / diff |
|---|---|---|
| 2026-02-17 | New | Initial certification filed and added to database. |