Provider certification record

Telernet LLC

Listed
RMD number
RMD0011759
FRN
0029609302
OCN
403L

Identity

Legal business name
Telernet LLC
Doing-business-as
 
Foreign Voice Service Provider
No
Business address
1822 51st street, Brooklyn NY 11204
Filing contact
Leiby Rubin
Leiby Rubin · Tech
lrubin@telernet.com
(718) 569-2594
1822 51st street Brooklyn NY 11204
United States of America
Principals, Affiliates, Subsidiaries, and Parent Companies
Leiby Rubin - Chief Executive Officer

Classification

Provider role(s)
  • Voice service provider
STIR/SHAKEN implementation
RoleImplementation
Voice service providerComplete
OverallComplete
Exemption rules
We are in the process obtaining our spc from iconnective and will complete the process once completed in the RDM for full Implementation.

Prior investigations / actions

Description
Telernet was removed from the Robocall Mitigation Database on August 25, 2025, In the Matter of Robocall Mitigation Database Filers, Order at 4, para. 7, for failure to correct filing deficiencies of inadequate or insufficiently detailed KYC policy and failure to provide current contact information including contact email address. We attempted to correct the deficiencies and were granted Provisional Re-Instatement to the RMD. On November 19, 2025, the Enforcement Bureau notified us that our actions were not sufficiently detailed. We again attempted to correct the deficiencies both in the RMD and our RMP and remained Provisionally Instated. On January 14, 2026, the Enforcement Bureau again notified us that the action or investigation we were subject to that precipitated our removal from the RMD on August 25, 2025, was not sufficiently detailed. We appreciate the FCC’s guidance and have provided a further updated description to ensure the action is sufficiently described. The description is currently pending review and approval by the FCC Enforcement Bureau: On August 25, 2025, In the Matter of Robocall Mitigation Database Filers, Order at 4, para. 7, Telernet was removed from the RMD by the FCC Enforcement Bureau for deficiencies in our description of our KYC policies and for failure to update our contact email information. Prior notices to the previous email address were not received because the address was incorrect. We corrected the email address and provided additional KYC policy information in our RMP and follow the NANC Call Authentication Trust Anchor Working Group’s recommended best practices. We have been Provisionally reinstated to the RMD and are pending final reinstatement.

Robocall mitigation plan

PDF Telernet Mitigation Pan.pdfFiled 2026-01-14 · 169 KB

Declaration

By
Leiby Rubin
Date
2026-01-14No Recertification Date

Listing history

DateEventDetail / diff
2026-01-14NewInitial certification filed and added to database.