August 1, 2017
The Enterprise Wireless Alliance (EWA) strongly supports time-limited incumbent priority access to 800 MHz Business/Industrial Land Transportation (B/ILT) Expansion Band channels and cites a waiver request filed by the Arizona Public Service Company...
July 28, 2017
In an ex parte letter, the Enterprise Wireless Alliance (EWA) affirmed its support of rules on license renewal and discontinuance of operations protocols proposed in a draft Federal Communications Commission (FCC) Second Report and Order (Order)....
July 28, 2017
The Enterprise Wireless Alliance (EWA) has filed comments in response to Petitions for Rulemaking seeking changes to rules governing the 3550-3700 MHz Citizens Broadband Radio Service (CBRS) filed by CTIA and T-Mobile USA, Inc. Both propose changes...
July 25, 2017
The Enterprise Wireless Alliance (EWA) has filed comments in response to Petitions for Rulemaking seeking changes to rules governing the 3550-3700 MHz Citizens Broadband Radio Service (CBRS) filed by CTIA and T-Mobile USA, Inc. EWA opposes the T-...
July 25, 2017
In an ex parte letter, the Enterprise Wireless Alliance (EWA) affirmed its support of rules on license renewal and discontinuance of operations proposed in a Second Report and Order (Order). However, it urged the Federal Communications Commission (...
July 18, 2017
EWA filed Reply Comments in response to an FCC Notice of Proposed Rulemaking and Notice of Inquiry, a proceeding proposing new policies intended to accelerate the deployment of wireless broadband facilities. EWA's comments focused on one aspect of...
July 10, 2017
In an ex parte filing late last week with the Federal Communications Commission (FCC), the Enterprise Wireless Alliance (EWA) again stated that neither the Washington County Consolidated Communications Agency (WCCCA) nor the Association of Public-...
July 7, 2017
On July 7, 2017, the Enterprise Wireless Alliance submitted a letter to the FCC in response to reply comments filed in the matter of the Washington County waiver request.
July 5, 2017
On July 3, 2017, the Enterprise Wireless Alliance filed Reply Comments in order to clarify concerns associated with Bristol-Myers Squibb’s use of Airport Terminal Use (ATU) channels at five plant locations in New Jersey and Connecticut. 
June 27, 2017
In an ex parte letter filed with the Federal Communications Commission (FCC), the Enterprise Wireless Alliance responded to the more recent efforts of M2M Spectrum Networks and the Wireless Infrastructure Association (WIA) to persuade the FCC not to...

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