Provider certification record
E-volve Computers
Listed- RMD number
- RMD0041031
- FRN
- 0038756953
- OCN
Identity
- Legal business name
- E-volve Computers
- Doing-business-as
- Foreign Voice Service Provider
- No
- Business address
- 356 Howe Ave, Unit R1, Shelton CT 06484
- Filing contact
- Michael Terenzio
Founder · Sales
mike@evolvecomputer.com
(203) 433-2042
356 Howe Ave Unit R1 Shelton CT 06484
United States of America - Principals, Affiliates, Subsidiaries, and Parent Companies
- Michael E. Terenzio
Classification
- Provider role(s)
- Voice service provider
- STIR/SHAKEN implementation
Role Implementation Voice service provider None Overall None - Exemption rules
- Exempting Rule:47 CFR § 64.6301 and the FCC Second Caller ID Authentication Report and Order, 36 FCC Rcd 1859 (2020).Detailed Explanation:The Filer is a Managed Service Provider (MSP) operating as a non-facilities-based, downstream Voice Service Provider (VSP). The Filer hosts virtualized, software-based PBX instances (3CX) for its retail commercial end-users.The Filer does not own, lease, or operate physical telecommunications switching infrastructure, a PSTN gateway, or any core network switches capable of interacting with the Secure Telephone Identity Policy Administrator (STI-PA). Consequently, the Filer cannot obtain Secure Telephone Identity (STI) cryptographic certificates or execute independent token signing at its network layer.Because the Filer entirely lacks the physical and logical network infrastructure required to technically implement STIR/SHAKEN, the direct implementation obligation does not apply to the Filer's network. Instead, the Filer routes all raw outbound SIP traffic directly to its upstream interconnected VoIP carrier partner, Skyetel.Skyetel owns and operates the underlying network facility layer, maintains direct PSTN connectivity, and bears the direct regulatory obligation to execute STIR/SHAKEN cryptographic authentication on the Filer’s outbound traffic.The Filer complies fully with 47 CFR § 64.6305(a) by implementing a strict internal Robocall Mitigation Plan (RMP). This includes rigid "Know Your Customer" (KYC) onboarding to vet 3CX clients, proactive traffic monitoring, and an absolute commitment to cooperate with and respond to all official traceback requests within 24 hours.
Prior investigations / actions
- Description
Robocall mitigation plan
Declaration
- By
- Michael Terenzio
- Date
- 2026-08-08No Recertification Date
Listing history
| Date | Event | Detail / diff |
|---|---|---|
| 2026-08-08 | New | Initial certification filed and added to database. |