Provider certification record

DRNS Software Solutions, L.L.C.

Listed
RMD number
RMD0010238
FRN
0032005548
OCN
 

Identity

Legal business name
DRNS Software Solutions, L.L.C.
Doing-business-as
Providerflow
Foreign Voice Service Provider
No
Business address
400 Midland Court, Suite 201, Janesville WI 53546
Filing contact
Cindi Benson
CFO · Compliance Department
regulatory@datadimensions.com
(608) 757-1100
400 Midland Court Suite 201 Janesville WI 53546
United States of America
Principals, Affiliates, Subsidiaries, and Parent Companies
Principal: Cindi Benson – Chief Financial Officer Parent Company: Data Dimensions, LLC Affiliate: WorkCompEDI, LLC

Classification

Provider role(s)
  • Voice service provider
STIR/SHAKEN implementation
RoleImplementation
Voice service providerNone
OverallNone
Exemption rules
The filer is exempt from STIR/SHAKEN implementation obligations pursuant to 47 C.F.R. §§ 64.6300(d) and 64.6304 because it does not originate outbound voice calls and does not control the originating network. The filer provides inbound toll-free call termination and outbound fax services to end users. All outbound voice call origination, STIR/SHAKEN signing, and authentication functions are performed by underlying wholesale carriers. As a result, the filer has no technical ability or obligation to implement STIR/SHAKEN within its own network. Accordingly, the filer is properly classified as a voice service provider without a STIR/SHAKEN implementation obligation and relies on upstream carriers that have certified full compliance.

Prior investigations / actions

Description
The Company was subject to an enforcement action by the Federal Communications Commission’s Enforcement Bureau resulting in removal from the Robocall Mitigation Database pursuant to a Commission removal order issued on August 25, 2025, in which the Company was specifically named. The enforcement action was initiated due to the Company’s failure to timely update its Robocall Mitigation Database certification and mitigation plan with information required by the Commission’s amended rules that became effective February 26, 2024. The Commission found the Company’s RMD certification to be deficient, as described in In the Matter of Robocall Mitigation Database Filers, DA 25-737, para. 7 (Aug. 25, 2025). The enforcement action did not involve any finding that the Company transmitted, encouraged, assisted, or otherwise facilitated illegal robocalls or unlawful caller ID spoofing. The Company does not originate outbound voice calls. Upon becoming aware of the removal, the Company submitted a revised Robocall Mitigation Plan, completed an updated RMD certification, and requested reinstatement in accordance with Commission procedures. The reinstatement request remains under review. No law enforcement agencies other than the FCC were involved. No forfeitures, monetary penalties, or enforcement actions related to illegal robocalling or spoofing have been issued. No final determination regarding reinstatement has been issued.

Robocall mitigation plan

Declaration

By
Cindi Benson
Date
2026-02-16Last Recertified 2026-02-16

Listing history

DateEventDetail / diff
2026-02-16NewInitial certification filed and added to database.