Telecommunications Access Disability Compliance under FCC Section 255 including VOIP
The FCC has rules requiring telecommunications equipment manufacturers and service providers to make their products and services accessible to people with disabilities, if such access is readily achievable. These rules implement Section 255 of the Communications Act. Where access is not readily achievable, Section 255 requires manufacturers and service providers to make their devices and services compatible with peripheral devices and specialized customer premises equipment that are commonly used by people with disabilities, if such compatibility is readily achievable.
The FCC has determined that interconnected Voice over Internet Protocol (VoIP) providers must comply with Section 255.
Products and Services Covered Under Section 255
The FCC's rules cover all hardware and software telephone network equipment and customer premises equipment (CPE). CPE is telecommunications equipment used in the home or office (or other premises) to originate, route or terminate telecommunications.
Examples of CPE are telephones, wireless handsets, fax machines, answering machines and pagers. CPE that provides both telecommunications and non-telecommunications functions is covered under Section 255 only to the extent it provides telecommunications functions.
The FCC's rules cover basic and special telecommunications services, including regular telephone calls, call waiting, speed dialing, call forwarding, computer-provided directory assistance, call monitoring, caller identification, call tracing and repeat dialing. In addition, the rules cover interactive voice response (IVR) systems and voice mail. IVR systems are phone systems that provide callers with menus of choices.
Accessible: A product or service is deemed accessible if it provides accessible input, control and mechanical functions, as well as accessible output, display and control functions. For example, a pager that has both audio and visual controls for inputting information, as well as both audio and visual methods for retrieving messages, would be accessible to a person who is blind or deaf.
Usable: For a product or service to be usable, people with disabilities must be able to learn about and operate the product's or service's features effectively. This requirement includes providing access to information and documentation for the product or service, including instructions and user guides. In addition, companies must provide functionally equivalent access to support services, such as technical support hotlines and databases, call centers, service centers, repair services and billing services.
Compatible: The FCC requires that, where accessibility is not readily achievable, a product or service must be made compatible with peripheral devices or specialized customer premises equipment (SCPE), if compatibility is readily achievable. Peripheral devices are devices that help make telecommunications products and services accessible to individuals with disabilities.
Examples are teletypewriters (TTYs), visual signaling devices and amplifiers. SCPE includes equipment, commonly used at the premises of a person with a disability, to achieve access in the origination, routing or termination of calls and other telecommunications contacts. Direct-connect TTYs (TTYs that connect directly to the telephone network) are considered to be SCPE. Assistive technology devices, such as hearing aids or eyeglasses, that have a broad application outside the telecommunications context, are not themselves peripheral equipment or SCPE, even if they are used in conjunction with peripheral equipment or SCPE. To achieve compatibility, the FCC rules require:
external electronic access to all information and control mechanisms;
a connection point for external audio processing devices;
the ability to connect with TTYs; and
the ability to use TTY signals.
Identifying Access Needs
Companies should engage in a number of activities to identify barriers to accessibility and usability.
When conducting market research, product design, testing, pilot demonstrations and product trials, companies should include individuals with disabilities in target groups for such activities;
Companies should work cooperatively with disability-related organizations; and
Companies should undertake reasonable efforts to test access solutions with people with disabilities.
When Must Manufacturers and Service Providers
Evaluate Access Needs?
Manufacturers and service providers must evaluate the accessibility, usability and compatibility of their equipment and services as early and consistently as possible throughout their design, development and manufacture. In addition, companies must review their products for accessibility at every "natural opportunity," including when they re-design products, upgrade services, or significantly change the way they group together product and service packages.
Cosmetic changes that do not change the product's actual design, such as changes in the color, make, model name or designation of a product, may not trigger the need to reevaluate access.
Do Companies Need to Review All of Their Products and Services for Accessibility and Usability?
Yes. Accessibility and usability must be assessed for individual products and services. Accessibility features that can be incorporated into the design of products or services with very little or no difficulty or expense must be put in each and every product or service. When it is not readily achievable to incorporate accessibility features into every product or service, companies may distribute access features across product or service lines, so long as the companies implement all features that are readily achievable.
How Will the FCC Determine Which Actions Are Readily Achievable?
The "readily achievable" standard requires companies to incorporate access features that are easily accomplishable without much difficulty or expense. In determining what is readily achievable, companies must balance the costs and nature of the access required with their available resources. Companies that have great resources will need to do more to achieve access than companies with smaller budgets.
The FCC will make readily achievable determinations on a case-by-case basis. A company may not need to provide access when the access feature would so fundamentally alter the product that it would substantially reduce the functionality of the product, make some features unusable, substantially impede or deter use of the product by other individuals, or substantially and materially alter the shape, size or weight of the product. Similarly, a company is not obligated to incorporate an access feature that is not technically possible. Companies wishing to use these defenses, however, must provide evidence to back up their positions.
Is Network Architecture Covered by the FCC's Section 255 Rules?
In addition to covering equipment and services, the FCC's rules require network architecture to be designed in a way that does not hinder access by people with disabilities. Network architecture covers the public switched telephone network, and includes hardware or software databases associated with routing telecommunications services.
How Can I Contact Manufacturers and Service Providers About Access Concerns?
Although not required to do so, you may want to contact a manufacturer or service provider before filing a complaint with the FCC. Telecommunications service providers and equipment manufacturers must provide the FCC with the name and contact information of the person (or persons) in their companies who are authorized to resolve accessibility complaints. The FCC makes this information available to consumers who want to contact the company's customer care representative directly about accessibility questions, concerns, or complaints. You can find this contact information on the FCC's website, by sending an email to email@example.com, or by calling 202-418-2517 (voice) or 202-418-2922 (TTY).
Filing a Complaint with the FCC
To implement the Twenty-First Century Communications and Video Accessibility Act of 2010 (CVAA), the FCC changed the way it handles complaints about access to telecommunications services and equipment.
Before an informal complaint can be filed, consumers with disabilities (or their representatives) must request assistance from the FCC Disability Rights Office. The Disability Rights Office will work with the consumer and the company for at least 30 days to try to resolve the accessibility problem. There is no charge for this assistance.
The best way to provide the information that the Disability Rights Office needs to assist you, is to complete the Request for Dispute Assistance (RDA Form) online. You may also download or print the RDA Form. If you use the latter method, complete and submit your downloaded/printed request and any supporting documentation to the Disability Rights Office by email to firstname.lastname@example.org, by fax to 202-418-0037, or by mail to:
Federal Communications Commission
Consumer and Governmental Affairs Bureau
Disability Rights Office
445 12th Street, SW
Washington, D.C. 20554
If you are unable to obtain or use an RDA Form, your request for assistance should include the following:
your contact information
your name, address, telephone number, and email address
if communication by telephone or email is not accessible to you, your preferred method of communication
information about your accessibility problem
the name of the manufacturer or service provider
the type of device, model number, and any software involved
when you purchased, acquired, or used (or tried to purchase, acquire, or use) the service or equipment
when you became aware of the accessibility problem
the way the service or equipment is not accessible to or usable by you
if you contacted the company about your accessibility problem, how the company responded
what you want the company to do to resolve your accessibility problem
any other information or documentation you think may help describe or resolve your accessibility problem
Your Request for Dispute Assistance will be assigned a case number. If your accessibility problem is not resolved in 30 days, you have two choices:
You may request an additional 30 days for assistance to try to resolve your accessibility problem; or you may file an informal complaint about the accessibility problem with the FCC Enforcement Bureau.
To request an additional 30 days or file an informal complaint, contact the Disability Rights Office at 202-418-2517 (voice) or 202-418-2922 (TTY), by email to email@example.com, by fax to 202-418-0037, or by mail to the address above. You will need to provide your last name, zip code, and your Request for Dispute Assistance case number.
If you take no action for 60 days after the 30-day time period ends, your case will be closed.
For More Information
For more information about FCC programs to promote telecommunications services for people with disabilities, visit the FCC's Disability Rights Office website. For information about other telecommunications issues, visit the FCC's Consumer website, or contact the FCC's Consumer Center by calling 1-888-CALL-FCC (1-888-225-5322) voice or 1-888-TELL-FCC (1-888-835-5322) TTY; faxing 1-866-418-0232; or writing to:
Federal Communications Commission
Consumer and Governmental Affairs Bureau
Consumer Inquiries and Complaints Division
445 12th Street, SW
Washington, D.C. 20554
For this or any other consumer publication in an accessible format (electronic ASCII text, Braille, large print or audio), please write or call us at the address or phone number above, or send an email to FCC504@fcc.gov.
This document is for consumer education purposes only and is not intended to affect any proceedings or cases involving this subject matter or related issues.
Telecommunications Access for People with Disabilities Guide (pdf)
Updated: October 30, 2013
Connect America Fund Provides Over $32 M for Broadband in...
Commission Adopts NPRM to Revitalize AM Broadcast Radio...
Acting FCC Chairwoman Clyburn On Resumption of Commission...
FCC Considers Elimination of the UHF Discount
FCC Proposes the Elimination of the UHF Discount
Related Guides & Help
Cable System Encryption
How to Report a Lost or Stolen Mobile Device
What Companies and Bankruptcy Professionals Must Do to...
Steps For Consumers When Their Phone Company May End Service
Online Public Inspection File Access and Information
Share this page