TIA Reply Comments on FCC Covered List FNPRM

This filing contains TIA’s reply comments on the FCC’s Third Further Notice of Proposed Rulemaking (FNPRM) for the Covered List. TIA argues that Covered List implementation should be guided by established processes and that existing flexibility in the equipment authorization process is critical to innovation and U.S. competitiveness. The filing also addresses concerns regarding proposed SBOM and HBOM requirements, noting the substantial costs, complexities, and operational challenges associated with such mandates.