Provider certification record

Technology Group, LLC

Listed
RMD number
RMD0041715
FRN
0038908414
OCN
 

Identity

Legal business name
Technology Group, LLC
Doing-business-as
 
Foreign Voice Service Provider
No
Business address
6701 Corporate Dr., STE N, Johnston IA 50131
Filing contact
Jim Chowbey
CEO · Legal
legal@technologygroup.online
(833) 330-6202
6701 Corporate Dr. STE N Johnston IA 50131
United States of America
Principals, Affiliates, Subsidiaries, and Parent Companies
CEO: Jim Chowbey

Classification

Provider role(s)
  • Voice service provider
STIR/SHAKEN implementation
RoleImplementation
Voice service providerPartial
OverallPartial
Exemption rules
### Ready-to-paste RMD response Technology Group, LLC asserts that it is exempt from the STIR/SHAKEN implementation requirement because it does not own or control the network infrastructure necessary to implement caller-ID authentication. This position is based on the “lack of control over the network infrastructure necessary to implement STIR/SHAKEN” basis recognized in 47 C.F.R. § 64.6305(d)(2)(i). Technology Group, LLC operates as a non-facilities-based telecommunications reseller. It obtains wholesale voice services and network capacity from underlying facilities-based carriers and does not control the upstream SIP-signing platform, Service Provider Code (SPC) token, or network elements used to originate and authenticate calls. The applicable underlying carriers are responsible for implementing STIR/SHAKEN on the portions of the network they control and for applying the appropriate attestation to calls originated through their facilities. Technology Group, LLC does not independently originate calls from network facilities under its control and therefore cannot technically apply STIR/SHAKEN signatures to those calls. This exemption applies only to the STIR/SHAKEN implementation obligation. Technology Group, LLC remains committed to complying with all applicable FCC robocall-mitigation requirements, including maintaining a written robocall mitigation program, conducting customer and upstream-provider due diligence, preventing illegal robocall traffic, maintaining appropriate call-monitoring procedures, and responding fully and promptly to traceback requests. Technology Group, LLC will also require its upstream carriers and customers to maintain applicable FCC compliance, use authorized calling-party information, and cooperate with investigations involving suspected illegal robocalls or spoofing. The FCC requires providers relying on this basis to explain that they lack control over the infrastructure necessary to implement STIR/SHAKEN; however, all providers must still file in the RMD and maintain an appropriate robocall mitigation program. [FCC Call Authentication Trust Anchor Order](https://www.federalregister.gov/documents/2023/06/21/2023-12142/call-authentication-trust-anchor) Only use this statement if Technology Group, LLC genuinely does not control the network infrastructure used to originate its calls. If it operates its own originating switch or signing platform, the exemption should be revised.

Prior investigations / actions

Description
 

Robocall mitigation plan

Declaration

By
Jim Chowbey
Date
2026-09-19No Recertification Date

Listing history

DateEventDetail / diff
2026-09-19NewInitial certification filed and added to database.