RMD number
RMD0006144
FRN
0024417248
OCN
 

Identity

Legal business name
NETVOIX INC
Doing-business-as
 
Foreign Voice Service Provider
No
Business address
2700 Glades Cir, Suite 151, Weston FL 33327
Filing contact
Jesus Crespo
Managing Director · Management
jcrespo@netvoix.com
(305) 574-1586
2700 Glades Circle, Suite 151 Weston FL 33327
United States of America
Principals, Affiliates, Subsidiaries, and Parent Companies
NETVOIX INC

Classification

Provider role(s)
  • Voice service provider
STIR/SHAKEN implementation
RoleImplementation
Voice service providerPartial
OverallPartial
Exemption rules
Rule Citation 47 C.F.R. § 64.6304(a)(2)(i) – This rule provides an extension/exemption from the immediate STIR/SHAKEN implementation mandate for “voice service providers that cannot obtain the necessary certificate because they do not obtain direct access to telephone numbers or do not have control over the network infrastructure necessary to implement STIR/SHAKEN.” This was established in FCC Order 20-136 (Second Caller ID Authentication Report & Order, FCC 20-136, para. 36-37), where the Commission recognized that resellers lack the technical ability to implement STIR/SHAKEN directly and therefore must instead file a Robocall Mitigation Plan. Why the Exemption Applies to Us • Our company qualifies as a voice service provider under 47 C.F.R. § 64.6300 because we provide voice service to end users using NANP numbers. • However, we are a reseller: we do not operate network facilities, switching equipment, or SIP interconnections that would enable us to implement STIR/SHAKEN independently. • Instead, we rely entirely on our upstream wholesale providers to originate, route, and terminate calls, and those upstream providers are the entities that actually implement STIR/SHAKEN on their networks. • Because we do not control the technical infrastructure needed to insert or validate STIR/SHAKEN authentication tokens, we fall under the exemption in § 64.6304(a)(2)(i). • Consistent with FCC Order 20-136, we will therefore: o Certify in the Robocall Mitigation Database that we are a voice service provider relying on upstream providers for STIR/SHAKEN; and o Provide a robocall mitigation plan outlining the steps we take to prevent illegal robocalls.

Prior investigations / actions

Description
 

Robocall mitigation plan

Declaration

By
Jesus Crespo
Date
2025-08-26No Recertification Date

Listing history

DateEventDetail / diff
2025-09-02NewInitial certification filed and added to database.