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House Commerce Democrats Demand Trump Administration Follow the Law and Implement BEAD Program as Congress Intended

We write to express our significant concerns with the National Telecommunications and Information Administration's (NTIA) implementation of the Broadband Equity, Access, and Deployment (BEAD) Program under the Trump Administration. It is evident that NTIA's implementation of the BEAD Program violates the letter of the [Infrastructure Investment and Jobs Act] and ignores the intent of Congress, jeopardizing the bipartisan goal of delivering fast, reliable, and affordable internet to everyone in America. We also remind you that any executive order issued by the President cannot override existing laws passed by Congress. This willful departure from the [Infrastructure Investment and Jobs Act's] requirement to consider each technology’s performance and scalability raises serious concerns for multiple reasons. First, neither NTIA nor any Administration official has the authority to ignore the plain language of the statute, let alone Congressional intent. Second, the Trump BEAD Program now resembles the failed 2020 Trump Rural Digital Opportunity Fund (RDOF) program. Third, neither the law nor a directive from the President through an executive order empowers NTIA to impound tens of billions of dollars that Congress authorized and appropriated in full to achieve specific policy outcomes, including universal connectivity, affordability, scalable infrastructure, and broadband adoption. We request that you respond to the following questions in writing by December 12, 2025:
1. Secretary Lutnick promised speed and efficiency in approving states and territories’ final proposals and promised BEAD program funding would be released by the end of 2025. a. Will all states and territories have access to all of their funding by the end of this year?
2. It has been reported that NTIA is using a cost model to determine cost estimates for buildout within each state.
a. Please explain in detail the date and source of data for these models.
b. What exactly is being modeled by this data? For example, is it modeling cost estimates for greenfield fiber builds?
c. How are these data models being applied to each state and territory’s final proposals? Is there a percentage of total cost against which NTIA is benchmarking a state and territory’s final results? Does the benchmark vary by state? Do the benchmarks take into account variations within each state and, if so, how?
d. Cost models are generally used to make predictions about outcomes when actual cost data does not exist. Why does NTIA believe that these cost models are better indicators of costs than the actual competitive bidding processes already conducted by every state?
3. NTIA has overruled states and territories on a granular level by rejecting individual grant awards, forcing states to rebid projects at unreasonably cheap cost thresholds. Please provide a list of all states and territories from which NTIA has rejected project awards or otherwise forced to rebid locations, and for each state or territory provide:
a. A list of all BEAD projects or awards NTIA required to be rebid and the total number of broadband serviceable locations (BSL) in each such award.
b. Each award winner rejected by NTIA, the technology proposed, and cost per passing for each BSL in the rejected award.
c. Each rebid project award winner, the technology proposed, and cost per passing for each BSL in the rebid award.
4. LEO satellite providers face challenges to deliver high-quality connections envisioned by BEAD due to capacity limits, the need for user-end obstructions to be clear, and the potential for performance degradation as more users join a network. Based on final proposals submitted to NTIA to date, reports suggest that more than 750,000 BEAD awards will fund LEO capacity reservation subgrants.
a. For provisionally selected LEO priority broadband projects, what evidence did you require states and territories to show that LEO service can easily scale speeds over time to meet the evolving connectivity needs of households and businesses and support the deployment of 5G, successor wireless technologies, and other advanced services as required by the statute?
b. What, if any, obligation does a LEO provider receiving BEAD funds have to sign up customers for the BEAD funded service? Is the LEO provider entitled to its full BEAD award, even if no BEAD households subscribe?
c. How will NTIA and the state or territory monitor, measure, and ensure LEO subrecipients’ compliance with the BEAD capacity reservation requirements?
d. BEAD subgrants for terrestrial networks will support infrastructure that will be capable of providing high-speed internet service to households in the project area long after those grants are closed out. How will the BEAD capacity reservation grants to LEO providers ensure that households in LEO project areas receive high-speed internet service after those grants close out?
5. The Bipartisan Infrastructure Law specifically authorizes states and territories, after achieving full deployment, to spend remaining funds on other statutorily authorized priorities.
a. When will NTIA provide guidance on the use of non-deployment funds?
b. Has NTIA authorized any state or territory to conduct workforce activities in connection with deployment projects? Given the expected demand for a skilled workforce, has NTIA authorized the use of non-deployment funds to develop a skilled workforce?
c. Is NTIA considering clawing back non-deployment funding, or otherwise withholding allocated funds from states and territories? d. Under what legal authority is NTIA or the Department of Commerce granted the ability to impound BEAD funds, including non-deployment funds?
6. NTIA generally includes special award conditions in its grants, which can cover specific project requirements, financial management, reporting, and other terms that go beyond the general grant conditions.
a. Is NTIA considering any revisions or additions to the special award conditions attached to the state and territory grants in connection with approving final proposals? If so, what are those revisions?
b. Please provide a copy of the final proposal’s general terms and conditions and special award conditions, highlighting any new or revised conditions.
7. The Federal Communications Commission has disclaimed its authority to regulate broadband service, and Congress made clear that nothing in the Bipartisan Infrastructure Law authorizes NTIA to regulate broadband rates. The courts have specifically held that states can regulate the provision of broadband service absent federal authority to do so. You recently stated that, “any state receiving BEAD funds must exempt BEAD providers throughout their state footprint, from broadband-specific economic regulations, such as price regulation and net neutrality.”
a. What is the source of NTIA’s authority to effectively preempt the application of state laws to a provider’s entire state footprint, including locations that are not a part of the BEAD program?
8. The Bipartisan Infrastructure Law specifically requires states and territories to determine the low-cost broadband service definition. Yet, the Policy Notice specifically prohibits states and territories from setting the low-cost service option and instead requires the state or territory to accept any definition established by the subgrantee.
a. How is the Policy Notice’s requirement for subgrantees to determine the low-cost service option consistent with the Bipartisan Infrastructure Law?
b. The Bipartisan Infrastructure Law requires that, upon final proposal approval, you must publish the state’s low-cost broadband definition. It also requires that you establish a website allowing customers to determine whether they are eligible for the BEAD low-cost offer. Will you be making that information available and, if so, when?
Two Months After President Trump Signs TikTok Executive Order, Senator Markey Demands Answers on Details of the Supposed TikTok Deal

Ahead of the two-month anniversary of President Donald Trump signing an executive order on a supposed TikTok deal, Senator Ed Markey (D-MA), a member of the Senate Commerce, Science, and Transportation Committee, wrote a letter to President Trump, requesting a briefing on the status of the TikTok deal and answers to questions on the terms of the deal. Sen Markey writes, "Although your Administration has repeatedly declared that it reached a TikTok deal with China and financial investors, you have released few details on any agreement. In fact, it’s unclear whether China has even agreed to any TikTok deal. In late October, Treasury Secretary Scott Bessent declared that China had just approved the TikTok deal—even though you said in September that Chinese President Xi Jinping had approved the agreement. Throughout this process, Beijing has never confirmed that it has agreed to a TikTok deal; in fact, after Xi’s meeting with you a few weeks ago, the Chinese government would say only that ‘the Chinese side will work with the U.S. side to properly address issues related to TikTok.’ Given the number of times your Administration has falsely announced a TikTok deal, Americans would be forgiven for thinking that they stumbled into the movie Groundhog Day.”

A new X feature revealed that several pro-Trump accounts with large followings are not US-based, despite content and some bios suggesting otherwise. On X account profiles, clicking on an account’s date of creation reveals the country or region where the account is based. Users can toggle a privacy button to just show a region instead of a specific country. The revelation not only underscores how many foreign actors use social media to try to shape American society, it also shows how those kinds of influence attempts could grow in the future—especially with strong financial incentives for accounts to try to rack up user engagement.

Even if you don’t have an AI friend yourself, you probably know someone who does. A recent study found that one of the top uses of generative AI is companionship: On platforms like Character.AI, Replika, or Meta AI, people can create personalized chatbots to pose as the ideal friend, romantic partner, parent, therapist, or any other persona they can dream up. It’s wild how easily people say these relationships can develop. And multiple studies have found that the more conversational and human-like an AI chatbot is, the more likely it is that we’ll trust it and be influenced by it. This can be dangerous, and the chatbots have been accused of pushing some people toward harmful behaviors. Some state governments are taking notice and starting to regulate companion AI. New York requires AI companion companies to create safeguards and report expressions of suicidal ideation, and California recently passed a more detailed bill requiring AI companion companies to protect children and other vulnerable groups. But tellingly, one area the laws fail to address is user privacy.
Chairmen Guthrie and Bilirakis Announce Legislative Hearing on Protections for Children and Teens Online

House Commerce Committee Chairman Brett Guthrie (KY-02) and Subcommittee Chairman Gus Bilirakis (R-FL-12) announced a Dec 3 hearing titled Legislative Solutions to Protect Children and Teens Online. The hearing will focus on the following bills:
- H.R. 6291, Children and Teens’ Online Privacy Protection Act (Reps. Walberg and Lee)
- H.R. ____, Kids Online Safety Act (Rep. Bilirakis)
- H.R. ____, Reducing Exploitative Social Media Exposure for Teens (RESET) Act (Rep. Houchin)
- H.R. 2657, Sammy’s Law (Reps. Wasserman Schultz and Carter-GA)
- H.R. 3149, App Store Accountability Act (Rep. James)
- H.R. 1623, Shielding Children's Retinas from Egregious Exposure on the Net (SCREEN) Act (Rep. Miller-IL)
- H.R. 6290, Safe Social Media Act (Reps. Bentz and Schrier)
- H.R. 6253, Algorithmic Choice and Transparency Act (Rep. Cammack)
- H.R. 6259, No Fentanyl on Social Media Act (Reps. Evans and Dingell)
- H.R. 6289, Promoting a Safe Internet for Minors Act (Reps. Lee and Soto)
- H.R. ____, Safeguarding Adolescents From Exploitative (SAFE) Bots Act (Reps. Houchin and Auchincloss)
- H.R. ____, Kids Internet Safety Partnership Act (Rep. Fry)
- H.R. 5360, AI Warnings And Resources for Education (AWARE) Act (Reps. Houchin and Auchincloss)
- H.R. 6265, Safer Guarding of Adolescents from Malicious Interactions on Network Games (GAMING) Act (Rep. Kean)
- H.R. ____, Assessing Safety Tools for Parents and Minors Act (Reps. Fulcher and Landsman)
- H.R. 6273, Stop Profiling Youth and (SPY) Kids Act (Rep. Miller-Meeks)
- H.R. 6257, Safe Messaging for Kids Act (Rep. Dunn)
- H.R. 6292, Don’t Sell Kids’ Data Act of 2025 (Rep. Pallone)
- H.R. ____, Parents Over Platforms Act (Reps. Auchincloss and Houchin)

Federal Communications Commission Chairman Brendan Carr announced that the items below are tentatively on the agenda for the December Open Commission Meeting scheduled for Thursday, December 18, 2025:
- Updating Rules to Curb Robocallers' Access to Phone Numbers: The FCC will consider a Third Report and Order and Third Further Notice of Proposed Rulemaking to strengthen and modernize the requirements that all providers of Voice over Internet Protocol service must meet to maintain direct access to telephone numbers and protect consumers from illegal robocalling.
- Advancement of the Low Power Television, TV Translator and Class A Television Service: The Commission will consider a Report and Order amending its rules to provide regulatory certainty and clarity to LPTV broadcasters and reflect changes in the broadcast industry since the establishment of the LPTV service.
- Delete, Delete, Delete: The FCC will consider a Direct Final Rule that would continue the Commission’s efforts to modernize its regulatory framework by eliminating approximately 35 obsolete, outdated, and unnecessary rules from Parts 2, 15, and 18, totaling 11,970 words or approximately 25 pages of the Code of Federal Regulations.

Analysts at the Broadband Nation Expo delved into the biggest trends and issues they expect will shape the telecommunications landscape in 2026. Here's what they said:
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The use of complementary technologies for connectivity has been a key trend that shows no signs of stopping. “We are seeing a lot more complementarity nowadays,” said Brattle Group Principal Paroma Sanyal. This includes large and small operators doubling down on fixed wireless access and the rise of direct-to-device with satellite.
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Berge Ayvazian, senior analyst and consultant at Wireless 20/20, said he focus isn’t the last mile but the “first mile,” the piece of the puzzle from the street to the home. Typically, “the common denominator is Wi-Fi.”
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Access to spectrum—namely the 6 GHz band—will be key for operators looking to deploy Wi-Fi 7, Ayvazian added. He thinks 6 GHz is poised to not only give operators “a huge amount” of bandwidth but also offer them a new way to tap into unlicensed spectrum and extend wireless connectivity.

The telecommunications industry is anticipating a fiber shortage beginning in 2026 and lingering for a couple of years. Those companies planning major fiber-to-the-home deployments should consider their options when it comes to network topologies because the choice can make a difference in the amount of fiber needed. Traditional fiber networks have been deployed in a centralized topology that mimics the same pattern as legacy copper networks. With this architecture, feeder fibers originate at the optical line terminal in a central office and are sent out to a fiber distribution hub. At the FDH, each feeder fiber is split either 32 or 64 times to serve 32 or 64 homes. But there are three other types of fiber network topologies that have been created in the decades since copper networks were designed. These topologies include distributed, cascaded, and optical tap. Fierce spoke to executives from GFIber and Brightspeed about why they chose a particular fiber broadband topology.

With more than 150 satellites in orbit and initial network testing underway, Amazon Leo (formerly Project Kuiper) is sharing new details on its enterprise-focused hardware, services, and capabilities, and launching a new preview program for select enterprise customers to begin testing Amazon Leo services ahead of a wider commercial rollout in 2026. Amazon Leo is designed to extend reliable, high-speed internet to those beyond the reach of existing networks, including the millions of businesses, government entities, and organizations operating in places without reliable connectivity. Amazon Leo has signed agreements with customers and partners across a wide range of industries, including JetBlue, Vanu Inc., Hunt Energy Network, Connected Farms, and Crane Worldwide Logistics. To support this early adoption, Amazon Leo is launching an enterprise preview that allows select business customers to begin testing the network using production hardware and software. It also gives Amazon Leo teams an opportunity to collect more customer feedback and tailor solutions for specific industries ahead of a broader rollout.
Benton (www.benton.org) provides the only free, reliable, and non-partisan daily digest that curates and distributes news related to universal broadband, while connecting communications, democracy, and public interest issues. Posted Monday through Friday, this service provides updates on important industry developments, policy issues, and other related news events. While the summaries are factually accurate, their sometimes informal tone may not always represent the tone of the original articles. Headlines are compiled by Kevin Taglang (headlines AT benton DOT org), Grace Tepper (grace AT benton DOT org), and Zoe Walker (zwalker AT benton DOT org) — we welcome your comments.
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