Provider certification record
BestText, LLC
Listed- RMD number
- RMD0008874
- FRN
- 0031486020
- OCN
Identity
- Legal business name
- BestText, LLC
- Doing-business-as
- MobileDollars, LLC
- Foreign Voice Service Provider
- No
- Business address
- 425 Holiday Drive, Hallandale FL 33009
- Filing contact
- Yaniv Mindell
Manager · Support
Yaniv@besttext.com
(954) 592-9121
425 Holiday Drive Hallandale FL 33009
United States of America - Principals, Affiliates, Subsidiaries, and Parent Companies
- BestText, LLC (Yaniv Mindell - President) MobileDollars, LLC (Yaniv Mindell - President)
Classification
- Provider role(s)
- Voice service provider
- STIR/SHAKEN implementation
Role Implementation Voice service provider None Overall None - Exemption rules
- BestText, LLC is a reseller of VOIP services and therefore lacks the control over the network infrastructure necessary to implement STIR/SHAKEN.
Prior investigations / actions
- Description
- Description of the Action or Investigation: On August 25, 2025, the FCC’s Enforcement Bureau (“Bureau”) issued an order that removed BestText, LLC (“BestText”), along with over 1,200 providers (collectively, “Companies”) from the FCC’s Robocall Mitigation Database (“RMD”). See Robocall Mitigation Database Filers, EB-ECD-25-00038590, Order, DA-25-737 (E.B. rel. Aug. 25, 2025) (“Removal Order”). The Removal Order was effective upon its release and stated that BestText’s (among the other Companies the Removal Order was direct at) RMD certification was “deficient because: (a) a [R]obocall [M]itigation [P]lan [(“RMP”)] was not provided or the plan lacks information required to be submitted by February 26, 2024; and (b) the certification lacks information required by that same date.” Removal Order, at para. 1. Prior to the Removal Order, on December 10, 2024, the Bureau issued an order affording BestText (along with the over 2,400 companies that this order was directed at) “a final opportunity to cure the deficiencies in their RMD certifications and notify the Bureau that the deficiencies have been cured; or to file a response with sufficient explanation for why the Bureau should not remove the Company’s certification from the RMD.” Id. See also 2,411 Robocall Mitigation Database Filers, EB-TCD-24-00036891, Order, DA 24-1235 (E.B. rel. Dec. 10, 2024) (“Show Cause Order”). The Removal Order held that “[t]he Companies failed to do either,” which prompted the Removal Order and its final determination. Removal Order at paras. 1, and 7. The Removal Order stated that “[r]emoval of a Company’s certification from the RMD requires all intermediate providers and voice service providers to cease accepting all calls directly from the Company and that Companies identified in Appendix A [which included BestText] shall not re-file an RMD certification without the prior approval of the FCC’s Wireline Competition Bureau (WCB) and the Bureau.” Id. at paras. 1, 8 and 11. For a copy of the Removal Order, see https://docs.fcc.gov/public/attachments/DA-25-737A1.pdf. For a copy of the Show Cause Order, see https://docs.fcc.gov/public/attachments/DA-24- 1235A1.pdf. Promptly after the Removal Order was released, BestText addressed the issues that caused it to be included in the Removal Order (and the December 10, 2024 Show Cause Order) and sought approval of the WCB and Bureau to re-file this cured RMD certification and attached RMP. Further details for this information request are provided below: o All law enforcement or regulatory agencies involved: It was only the FCC’s Enforcement Bureau. No other regulatory or law enforcement agencies were involved. o The date that any action or investigation was commenced: The action was commenced on December 10, 2024, which was the date the Show Cause Order was released. Because the RMP was not cured as required by the Show Cause Order, the Bureau released its Removal Order on August 25, 2025. o The current status of the action or investigation: The Removal Order was the latest formal action taken against BestText. o A summary of the findings of wrongdoing made in connection with the action or investigation: The Removal Order held that BestText (along with 1,200 other Companies, as noted above) filing in the RMD was deficient because: (a) an RMD was not provided or the plan lacks information required to be submitted by February 26, 2024; and (b) the certification lacks information required by that same date. Removal Order, at para. 1. o Whether any final determinations have been issued: The Removal Order was a final determination; however, promptly after the Removal Order was released, BestText addressed the issues that caused it to be included in the Removal Order (and the December 10, 2024 Show Cause Order) and sought approval of the WCB and Bureau to re-file its cured RMD certification and attached RMP. Bureau Staff provisionally reinstated and relisted BestText in the RMD on September 5, 2025.
Robocall mitigation plan
Declaration
- By
- Yaniv Mindell
- Date
- 2026-02-10Last Recertified 2026-02-10
Listing history
| Date | Event | Detail / diff |
|---|---|---|
| 2026-02-10 | New | Initial certification filed and added to database. |