On behalf of the National Association of Surety Bond Producers (NASBP)1 and The Surety & Fidelity Association of America (SFAA)2 , we offer comments regarding the proposed rulemaking concerning Section B, paragraph 22, Rural Digital Opportunity Fund (RDOF), Letter of Credit (LOC) Reduction and Section C, paragraph 25, Connect America Fund Phase II (CAF II), Letter of Credit Waiver.

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Topic
Advocacy, Prequalification
Publish Date
July 25, 2024
Region
Federal
Audience
Contractors, Owners
Resource Type
Comment Letter, Resource Map