RMD number
RMD0005602
FRN
0020589032
OCN
 

Identity

Legal business name
UT&T LLC
Doing-business-as
50TEL Unlimited Telephone and Technology (UT&T)
Foreign Voice Service Provider
No
Business address
PO BOX 254, SPRING ARBOR MI 49283
Filing contact
Ross Deveraux
CEO · Compliance
ross@50tel.com
(517) 544-0799
PO BOX 254 SPRING ARBOR MI 49283
United States of America
Principals, Affiliates, Subsidiaries, and Parent Companies
Dave Jones (President), Ross Deveraux (CEO), Kevin Smyth (CTO), Caron Deveraux (Owner); UT&T LLC does not have any affiliated voice service providers, subsidiaries, or parent companies involved in the provision of telecommunications services. All robocall mitigation obligations are managed internally by UT&T LLC as an independent entity.

Classification

Provider role(s)
  • Voice service provider
STIR/SHAKEN implementation
RoleImplementation
Voice service providerNone
OverallNone
Exemption rules
Exemption under 47 CFR § 64.6304(d) UT&T LLC qualifies for an exemption from direct STIR/SHAKEN implementation under 47 CFR § 64.6304(d), which provides relief for voice service providers that do not have control over the transmission of SIP calls and instead rely on an upstream provider to perform STIR/SHAKEN authentication. UT&T LLC uses the Viirtue hosted PBX platform in a Bring Your Own Carrier (BYOC) model. We do not have direct access to or control over the SIP infrastructure or interconnection to the PSTN. Instead, we use VoIP Innovations as our upstream telecommunications carrier. VoIP Innovations performs STIR/SHAKEN signing on our behalf using their own certificate and attestation engine. As such, STIR/SHAKEN is implemented for the calls we originate, but not directly by us, which places us in the category of partial implementation as contemplated by FCC rules and guidance. This exemption and delegation model is described in FCC Order 21-122 and remains applicable to our operating structure.

Prior investigations / actions

Description
UT&T LLC (FRN: 0020589032) was the subject of an action by the FCC Enforcement Bureau, which issued Order DA 25-737 on August 25, 2025, directing the removal of our Robocall Mitigation Database (RMD) certification due to a finding that our prior certification was deficient. This enforcement action was not related to allegations of transmitting or facilitating illegal robocalls or spoofing, but rather to the technical and descriptive insufficiency of our original Robocall Mitigation Plan. As of 08/28/2025, UT&T LLC has corrected the deficiencies identified by the Bureau by submitting a fully updated and compliant Robocall Mitigation Plan, prepared in accordance with 47 CFR § 64.6305. The updated plan clarifies our operational role as a Voice Service Provider, describes our use of a compliant upstream carrier for STIR/SHAKEN authentication, and outlines our mitigation practices, traceback cooperation, and customer vetting procedures. We are submitting this filing in good faith and respectfully request acceptance and reinstatement into the Robocall Mitigation Database. To date, there have been no allegations or findings of illegal robocall activity, spoofing, or consumer harm associated with our service, and no other law enforcement or regulatory agency actions are known or pending. This enforcement action has been concluded with no further pending investigation. UT&T LLC has not been the subject of any other enforcement, legal, or regulatory actions related to robocalling or spoofing within the past two years.

Robocall mitigation plan

PDF 04012026_RMD.pdfFiled 2026-04-01 · 258 KB

Declaration

By
Ross Devereaux
Date
2026-04-01No Recertification Date

Listing history

DateEventDetail / diff
2026-04-01NewInitial certification filed and added to database.