On January 21, State E-rate Coordinators' Alliance (SECA) filed a Petition for Reconsideration of the requirement to cost allocate shared Category 2 equipment and services for non-instructional facilities. SECA states that “… the Commission erred when it concluded it was a relatively simple task to subtract the cost of the NIF’s use of shared network equipment and that it would be unlikely to significantly burden either applicants or USAC. We also believe that the Commission overlooked the burden and negative impact on service providers during the E-rate invoicing process.”
The SECA petition can be found here