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entitled 'Telecommunications: Challenges to Assessing and Improving 
Telecommunications For Native Americans on Tribal Lands' which was 
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Report to Congressional Requesters: 

January 2006: 

Telecommunications: 

Challenges to Assessing and Improving Telecommunications For Native 
Americans on Tribal Lands: 

GAO-06-189: 

GAO Highlights: 

Highlights of GAO-06-189, a report to congressional requesters: 

Why GAO Did This Study: 

An important goal of the Communications Act of 1934, as amended, is to 
ensure access to telecommunications services for all Americans. The 
Federal Communications Commission has made efforts to improve the 
historically low subscribership rates of Native Americans on tribal 
lands. In addition, Congress is considering legislation to establish a 
grant program to help tribes improve telecommunications services on 
their lands. This report discusses 1) the status of telecommunications 
subscribership for Native Americans living on tribal lands; 2) federal 
programs available for improving telecommunications on these lands; 3) 
barriers to improvements; and 4) how some tribes are addressing these 
barriers. 

What GAO Found: 

Based on the 2000 decennial census, the telephone subscribership rate 
for Native American households on tribal lands was substantially below 
the national level of about 98 percent. Specifically, about 69 percent 
of Native American households on tribal lands in the lower 48 states 
and about 87 percent in Alaska Native villages had telephone service. 
While this data indicates some progress since 1990, changes since 2000 
are not known. The U.S. Census Bureau is implementing a new survey that 
will provide annual telephone subscribership rates, though the results 
for all tribal lands will not be available until 2010. The status of 
Internet subscribership on tribal lands is unknown because no one 
collects this data at the tribal level. Without current subscribership 
data, it is difficult to assess progress or the impact of federal 
programs to improve telecommunications on tribal lands. 

The Rural Utilities Service and the FCC have several general programs 
to improve telecommunications in rural areas and make service 
affordable for low-income groups, which would include tribal lands. In 
addition, FCC created some programs targeted to tribal lands, including 
programs to provide discounts on the cost of telephone service to 
residents of tribal lands and financial incentives to encourage 
wireless providers to serve tribal lands. However, one of FCC’s 
universal service fund programs that supports telecommunications 
services at libraries has legislatively based eligibility rules that 
preclude tribal libraries in at least two states from being eligible 
for this funding. FCC officials told GAO that it is unable to modify 
these eligibility rules because they are contained in statute and thus 
modifications would require legislative action by Congress. 

The barriers to improving telecommunications on tribal lands most often 
cited by tribal officials, service providers, and others GAO spoke with 
were the rural, rugged terrain of tribal lands and tribes’ limited 
financial resources. These barriers increase the costs of deploying 
infrastructure and limit the ability of service providers to recover 
their costs, which can reduce providers’ interest in investing in 
providing or improving service. Other barriers include the shortage of 
technically trained tribal members and providers’ difficulty in 
obtaining rights of way to deploy their infrastructure on tribal lands. 

GAO found that to address the barriers of rural, rugged terrain and 
limited financial resources that can reduce providers’ interest in 
investing on tribal lands, several tribes are moving toward owning or 
developing their own telecommunications systems, using federal grants, 
loans, or other assistance, and private-sector partnerships. Some are 
also focusing on wireless technologies, which can be less expensive to 
deploy over rural, rugged terrain. Two tribes are bringing in wireless 
carriers to compete with the wireline carrier on price and service. In 
addition, some tribes have developed ways to address the need for 
technical training, and one has worked to expedite the tribal decision-
making process regarding rights-of-way approvals. 

What GAO Recommends: 

In a draft of this report provided for agency comment, GAO recommended 
that FCC determine what data is needed to assess progress toward the 
goal of providing access to telecommunications services to Native 
Americans living on tribal lands and how this data should be collected, 
and report to Congress on its findings. FCC agreed more data is needed 
but maintained that it is not the organization best positioned to 
determine what that data should be. Given FCC’s response, Congress 
should consider directing FCC to carry out our recommended action. In 
addition, Congress should consider amending the Communications Act to 
facilitate and clarify tribal libraries’ eligibility for universal 
service funds. 

www.gao.gov/cgi-bin/getrpt?GAO-06-189. 

To view the full product, including the scope and methodology, click on 
the link above. For more information, contact Mark L. Goldstein at 
(202) 512-2834 or goldsteinm@gao.gov. 

[End of section] 

Contents: 

Letter: 

Results in Brief: 

Background: 

Tribal Telephone Subscribership Rate Is Substantially Below the 
National Level and Internet Subscribership Rate Is Unknown: 

Native Americans Can Benefit from Several General and Tribal-Specific 
Federal Programs to Improve Telecommunications Services: 

Multiple Barriers Exist to Improving Telecommunications on Tribal 
Lands: 

Tribes Are Addressing Barriers to Improved Telecommunications in 
Different Ways: 

Conclusions: 

Matters for Congressional Consideration: 

Agency Comments: 

Appendixes: 

Appendix I: Scope and Methodology: 

Appendix II: List of Tribes, Alaska Regional Native Nonprofit 
Organizations, and Other Groups Interviewed: 

Appendix III: Six Tribes' Efforts to Address Telecommunications 
Barriers: 

Appendix IV: Comments from the Department of the Interior, Bureau of 
Indian Affairs: 

Appendix V: Comments from the Institute of Museum and Library Services: 

Appendix VI: GAO Contact and Staff Acknowledgments: 

Tables: 

Table 1: Summary of RUS Grant Programs for Rural Telecommunications: 

Table 2: Summary of RUS Loan and Loan Guarantee Programs for Rural 
Telecommunications: 

Table 3: Summary of Key FCC Universal Service Programs: 

Table 4: Number of Enhanced Link-Up Participants and Funds Distributed 
to Service Providers: 

Table 5: Number of Enhanced Lifeline Participants and Funds Distributed 
to Service Providers: 

Table 6: Tribal Land Bidding Credits Awarded: 

Table 7: Status of Wireless Providers' ETC Applications on Tribal 
Lands: 

Figures: 

Figure 1: Map of Tribal Lands in the United States Based on 2000 Census 
Data (Tribes Included in GAO's 6 Site Visits Are Indicated by Name): 

Figure 2: Telephone Subscribership Rates for Tribal Lands In the Lower 
48 States and Alaska Native Villages, Based on Census 2000 Data: 

Figure 3: Telephone Subscribership Rates for the 25 Tribal Lands with 
the Most Native American Households, Based on Census 2000: 

Figure 4: Wireless Tower near Kyle, South Dakota on the Pine Ridge 
reservation (April 2005): 

Figure 5: Coeur d'Alene Community Technology Center (April 2005): 

Figure 6: Computer Lab at the Mescalero Apache School (April 2005): 

Figure 7: Fiber Deployment on Eastern Band of Cherokee Reservation 
(April 2005): 

Figure 8: MATI's Voice over Internet Protocol Equipment (April 2005): 

Figure 9: NNTRC's headquarters in Window Rock, AZ (April 2005): 

Letter January 11, 2006: 

The Honorable John McCain: 
Chairman: 
The Honorable Byron Dorgan: 
Vice Chairman: 
Committee on Indian Affairs: 
United States Senate: 

The Honorable Daniel K. Inouye: 
Co-Chairman: 
Committee on Commerce, Science and Transportation: 
United States Senate: 

The telephone subscribership rate for Native Americans living on tribal 
lands has historically lagged behind the overall national rate. This is 
part of a broader infrastructure problem on tribal lands, where 
conditions can make economic development difficult and residents may 
lack such basics as water and sewer systems. Data from the 2000 
decennial census show that the approximately 588,000 Native Americans 
living on federal tribal lands were among the most economically 
distressed groups in the United States, with about 37 percent of Native 
Americans living below the federal poverty level.[Footnote 1] 

An important goal of the Communications Act of 1934, as amended 
(Communications Act) is to preserve and advance universal service. In 
the Communications Act, Congress directs the Federal Communications 
Commission (FCC) to base policies for the preservation and advancement 
of universal service on principles that include, among other things, 
making quality services available at reasonable rates and providing 
access to advanced services throughout the nation. Specifically 
mentioned in this regard are low-income consumers and those in rural, 
insular, and high-cost areas--categories that include many Native 
Americans living on tribal lands in rural or remote locations.[Footnote 
2] To help develop and improve telecommunications service on tribal 
lands, Congress is considering authorizing a grant program specifically 
for federally recognized tribes.[Footnote 3] To assist Congress, you 
requested that we examine several aspects of telecommunications on 
tribal lands. Accordingly, we reviewed 1) the status of 
telecommunications subscribership (telephone and Internet) for Native 
Americans on tribal lands in the lower 48 states and Alaska; 2) federal 
programs available for improving telecommunications on tribal lands; 3) 
the barriers that exist to improving telecommunications on tribal 
lands; and 4) how some tribes are addressing these barriers. 

To determine the status of telecommunications subscribership for Native 
Americans on tribal lands in the lower 48 states and Alaska (there are 
no federally recognized tribal lands in Hawaii), we analyzed 2000 
decennial census data for federally recognized reservations and trust 
lands. We did not include Oklahoma Tribal Statistical Areas (OTSAs) in 
our analysis.[Footnote 4] We also interviewed officials representing 
individual tribes, tribal organizations, telecommunications providers, 
industry organizations, and federal agencies. To determine the 
availability of federal programs that provide financial and technical 
assistance to improve telecommunications services on tribal lands, we 
interviewed officials from several federal agencies and obtained 
information on federal programs. To determine the barriers that exist 
to improving telecommunications services on tribal lands and how some 
tribes have addressed these barriers, we interviewed tribal officials, 
tribal organizations, service providers, equipment manufacturers, 
federal agencies, and others. We reviewed previous studies that 
discussed telecommunications services on tribal lands. Additionally, we 
conducted interviews with officials of 26 tribes and 12 Alaska regional 
native nonprofit organizations, chosen on the basis of demographic and 
other information, such as actions being taken to improve 
telecommunications on their land. For our site visits, we then selected 
6 tribes that had taken some action to overcome one or more of the most 
frequently cited barriers to improving telecommunications. During the 
visits, we interviewed tribal officials and observed the tribes' 
telecommunications systems, ongoing improvement efforts, and 
challenges. While the interviews and site visits cannot be projected to 
all tribes, the information gathered allows us to describe a range of 
barriers and how tribes are addressing these barriers. For more 
detailed information on how tribes were chosen for both the interviews 
and the site visits, and other aspects of our review, see appendix I. 

We conducted our audit work from August 2004 through December 2005 in 
Washington, D.C., and at the Coeur D'Alene Tribe of the Coeur D'Alene 
Reservation, Idaho; Confederated Tribes and Bands of the Yakama Nation, 
Washington; Eastern Band of Cherokee Indians of North Carolina; Oglala 
Sioux Tribe of the Pine Ridge Reservation, South Dakota; Mescalero 
Apache Tribe of the Mescalero Reservation, New Mexico; and Navajo 
Nation in Arizona, New Mexico, and Utah. We assessed the reliability of 
Census 2000 data and found the data sufficiently reliable for the types 
of analyses that we conducted in this report. Our work was conducted in 
accordance with generally accepted government auditing standards. 

Results in Brief: 

As of 2000, the telephone subscribership rate for Native American 
households on tribal lands was substantially below the national rate, 
while the rate for Internet subscribership on tribal lands was unknown 
due to a lack of data. According to data from the 2000 decennial 
census, about 69 percent of Native American households[Footnote 5] on 
tribal lands in the lower 48 states had telephone service, which was 
about 29 percentage points less than the national rate of about 98 
percent. About 87 percent of Native American households in Alaska 
native villages had telephone service, also considerably below the 
national rate. Telephone subscribership rates for Native American 
households on individual tribal lands in 2000 varied widely. A few 
tribal lands had rates above the national level, but the majority of 
them had rates below the national rate. For example, the Kalispel 
tribal land in Washington had a telephone subscribership rate of 100 
percent, while the tribal lands of the Kickapoo Traditional Tribe of 
Texas had a rate of 34 percent. While this data indicates some progress 
since 1990, changes in telephone subscribership rates since the 2000 
decennial census are not known. In order to provide more current data, 
the U.S. Census Bureau (Census Bureau) has begun to gather telephone 
subscribership data through a new, more frequent survey that will 
provide demographic and socioeconomic data on communities of all sizes, 
including tribal lands. However, because it will take time to 
accumulate a large enough sample to produce data for small communities, 
annual reports will not be available for all small communities, 
including tribal lands, until 2010. The rate of Internet subscribership 
for Native American households on tribal lands is unknown because 
neither the Census Bureau nor FCC collects this data at the tribal 
level. For example, one survey performed by the Census Bureau that 
collects data on Internet subscribership can provide estimates for the 
nation as a whole, but the survey's sample cannot provide reliable 
estimates of Internet subscribership on tribal lands. In addition, the 
Census Bureau's new survey does not include a question on Internet 
subscribership. Without current subscribership data, it is difficult to 
assess progress or the impact of federal programs to improve 
telecommunications on tribal lands. FCC has asked the Census Bureau to 
collect data on Internet subscribership, using this new survey. Census 
Bureau officials told us, however, that the bureau's internal policy is 
to not include questions on its new survey unless the collection of 
that data by the Census Bureau is mandated by law. They do not believe 
that such a mandate exists for the collection of data on Internet 
subscribership by the Census Bureau. 

The Department of Agriculture's Rural Utilities Service (RUS) and FCC 
are responsible for several general programs designed to improve the 
nation's telecommunications infrastructure and make services affordable 
for all consumers, which can benefit tribes and tribal lands. RUS has 
grant, loan, and loan guarantee programs for improving 
telecommunications in rural areas. FCC has several programs (known as 
"universal service" programs) to make telephone service more affordable 
for low-income consumers and consumers living in areas, such as rural 
areas, where the cost to provide service is high. FCC also has a 
program that ensures that health care providers serving rural 
communities pay no more than their urban counterparts for 
telecommunications services necessary for the provision of health care. 
An additional universal service program, known as E-rate , provides 
discounts on telecommunications services for schools and libraries 
nationwide. In our interviews with tribal and state officials, we 
learned that some tribal libraries are not eligible to receive E-rate 
funds because of an issue involving federal eligibility criteria. The 
Communications Act stipulates that a library's eligibility for E-rate 
support is dependent on whether the library is eligible for certain 
state library funds. Yet the tribal libraries in at least two states 
are precluded under state law from being eligible for such funds, which 
has the effect of making these libraries ineligible to apply for E-rate 
funds. FCC officials told us that modifying the federal eligibility 
criteria to resolve this situation would require legislative action by 
the Congress. In addition to these general programs, FCC established 
four programs specifically targeted to improving telecommunications for 
residents of tribal lands. Enhanced Link-Up provides a one-time 
discount on the cost of connecting a subscriber to the telephone 
network and Enhanced Lifeline provides ongoing discounts on the cost of 
monthly service. The third program, the Tribal Land Bidding Credit 
program, provides financial incentives to wireless service providers to 
serve tribal lands. The fourth program, the Indian Telecommunications 
Initiative, disseminates information to tribes and tribal organizations 
on telecommunications services on tribal lands, including universal 
service programs and other areas of interest. 

Tribal and government officials, Native American groups, service 
providers, and others with whom we spoke cited several barriers to 
improving telecommunications service on tribal lands. The barriers most 
often cited were the rural, rugged terrain of tribal lands, and tribes' 
limited financial resources. Many tribal officials and service 
providers told us that the rural, rugged terrain of tribal lands can 
increase the cost of installing telecommunications infrastructure to 
provide or improve service. The costs of addressing this barrier, 
combined with tribes' limited financial resources, can deter service 
providers from investing in telecommunications infrastructure on tribal 
lands because such investments are not viewed as cost effective. The 
third barrier most often cited by tribal officials is a shortage of 
technically trained tribal members to plan and implement improvements 
on tribal lands. A fourth barrier mentioned by both tribes and service 
providers is the difficulty of obtaining rights-of-way to deploy 
telecommunications equipment across some tribal lands, a process that 
involves individual landholders, tribal governments, service providers, 
and the Bureau of Indian Affairs, which has fiduciary responsibility 
for tribal lands. 

Tribes are addressing these barriers in different ways, according to 
our interviews with 26 tribes and 12 Alaska regional native nonprofit 
organizations, and our visits to 6 of these tribes that have taken or 
are taking action to improve their telecommunications. Specifically, to 
address the barriers of rural, rugged terrain and limited financial 
resources that have deterred investment in telecommunications on tribal 
lands, several tribes are moving toward owning or developing their own 
telecommunications systems. These tribes are using federal grants, 
loans, or other assistance; long-range planning; and private-sector 
partnerships to help improve service on their lands. Additionally, at 2 
of the sites we visited, the tribally owned companies are focusing on 
extending and improving service rather than on maximizing profit. Some 
tribes have focused primarily on developing wireless technologies, 
which can be less expensive to deploy over long distances and rugged 
terrain, to address these same barriers. In addition, 2 tribes we 
visited are addressing their need for improved telecommunications 
services by encouraging wireless companies to compete with wireline 
providers on their lands. One wireless company on each of the 
reservations obtained status as an eligible telecommunications carrier 
and so is able to access universal service funds and profitably provide 
service in these areas. To address their need for more technically- 
trained tribal members, 2 tribes we visited are developing their own 
training centers as well as establishing training relationships with 
educational institutions. To address the difficulty of obtaining rights-
of-way to deploy telecommunications equipment across some tribal lands, 
one tribe is developing a right-of-way policy to make the tribal 
approval process more timely and efficient. 

This report includes two matters for congressional consideration. 
First, Congress should consider directing FCC to determine what 
additional data is needed to help assess progress toward the goal of 
providing access to telecommunications services, including high-speed 
Internet, to Native Americans living on tribal lands; determine how 
this data should regularly be collected; and report to Congress on its 
findings. Second, Congress should consider amending the Communications 
Act of 1934 to facilitate and clarify the eligibility of tribal 
libraries for funding under the E-rate program. 

A draft of this report was sent to the following agencies for comment: 
the Bureau of Indian Affairs (BIA), the Census Bureau, National 
Telecommunications and Information Administration (NTIA), FCC, General 
Services Administration, Institute of Museum and Library Services, and 
RUS. RUS and the General Services Administration offered no comments. 
BIA provided written comments, presented in appendix IV, stating that 
BIA recognized the need to update its rights-of-way regulations to 
include advanced telecommunications infrastructure and is working to 
include this in its trust related regulations. BIA will issue a Rights- 
of-Way Handbook in March, 2006, to ensure consistent application of 
existing regulations. The Institute of Museum and Library Services 
provided written comments, presented in appendix V, stating that the 
report accurately reflected its understanding of the relevant issues 
and concerns. NTIA offered technical comments, as did the Census Bureau 
and FCC, which we have incorporated where appropriate. In the draft, we 
recommended that FCC determine what additional data is needed to help 
assess progress toward the goal of providing access to 
telecommunications services, including high-speed Internet, to Native 
Americans living on tribal lands; determine how this data should 
regularly be collected; and report to Congress on its findings. In oral 
comments responding to this recommendation, FCC agreed that additional 
data is needed, but did not agree that it is the organization best 
positioned to determine what that data should be. FCC maintains that 
other federal agencies and departments possess expertise and more 
direct authorization to carry out this task. We continue to believe 
that FCC, as the agency responsible under the Communications Act for 
the goal of making available, as far as possible, telecommunications at 
reasonable charges to all Americans, is the appropriate agency to 
determine what data is needed to advance the goal of universal service 
and support related policy decisions--especially for Native Americans 
on tribal lands who continue to be disadvantaged in this regard. 

Background: 

According to the 2000 Census, approximately 588,000 Native Americans 
were residing on tribal lands.[Footnote 6] Tribal lands vary 
dramatically in size, demographics, and location. They range in size 
from the Navajo Nation, which consists of about 24,000 square miles, to 
some tribal land areas in California comprising less than 1 square mile 
(see figure 1). Over 176,000 Native Americans live on the Navajo 
reservation, while other tribal lands have fewer than 50 Native 
residents. The population on a majority of tribal lands is 
predominantly Native American, but some tribal lands have a significant 
percentage of nonNative Americans. In addition, while most tribal lands 
are located in rural or remote locations, some are located near 
metropolitan areas. Tribes are unique in being sovereign governments 
within the United States. The federal government has recognized the 
sovereign status of tribes since the founding of the United States. The 
U.S. Constitution, treaties, and other federal government actions have 
established tribal sovereignty. To help manage tribal affairs, tribes 
have formed governments or subsidiaries of tribal governments that 
include schools, housing, health, and other types of corporations. In 
addition, the Bureau of Indian Affairs (BIA) in the Department of the 
Interior has a fiduciary responsibility to tribes and assumes some 
management responsibility for all land held in trust for the benefit of 
the individual Native American or tribe. 

Figure 1: Map of Tribal Lands in the United States Based on 2000 Census 
Data (Tribes Included in GAO's 6 Site Visits Are Indicated by Name)A: 

[See PDF for image] 

[A] Hawaii does not have any federally recognized tribes or tribal 
lands. Since July 2000, a number of bills have been introduced to 
provide a process for the recognition by the United States of a Native 
Hawaiian governing entity. Most recently, on January 25, 2005, H.R. 309 
and S. 147--the Native Hawaiian Government Reorganization Act of 2005-
-were introduced in the House and Senate, respectively. 

This map does not include Oklahoma Tribal Statistical Areas (OTSAs). 

[End of figure] 

In Alaska, federal law directed the establishment of 12 for profit 
regional corporations, 1 for each geographic region comprised of 
Natives having a common heritage and sharing common interests, and over 
200 native villages.[Footnote 7] These corporations have become the 
vehicle for distributing land and monetary benefits to Alaska Natives 
to provide a fair and just settlement of aboriginal land claims in 
Alaska. The Native villages are entities within the state that are 
recognized by BIA to receive services from the federal government. The 
12 regional corporations have corresponding nonprofit arms that provide 
social services to the villages. 

Native American tribes are among the most economically distressed 
groups in the United States. According to the 2000 Census, about 37 
percent of Native American households have incomes below the federal 
poverty level--more than double the rate for the U.S. population as a 
whole. Residents of tribal lands often lack basic infrastructure, such 
as water and sewer systems, and telecommunications services. According 
to tribal officials and government agencies, conditions on tribal lands 
have made successful economic development more difficult than in other 
parts of the country. A study done for the federal government, based on 
research gathered in 1999, found that the high cost and small markets 
associated with investment in tribal lands deter business 
investment.[Footnote 8] 

The federal government has long acknowledged the difficulties of 
providing basic services, such as electricity and telephone service, to 
rural areas of the country. The concept of universal telephone service 
has its origins in Section 1 of the Communications Act, which states 
that the Federal Communications Commission was created "for the purpose 
of regulating interstate and foreign commerce in communication by wire 
and radio so as to make available, so far as possible, to all the 
people of the United States a rapid, efficient, nationwide, and 
worldwide wire and radio communication service with adequate facilities 
at reasonable charges…."[Footnote 9] The goal of universal service is 
to ensure that all U.S. residents have access to quality telephone 
service regardless of their household income or geographic location. 
The Telecommunications Act of 1996 reaffirmed the commitment to 
universal service and expanded it to include not just traditional 
telephone service but access to advanced telecommunications services 
(such as high-speed Internet access) for schools, libraries, and rural 
health care providers. 

A 1995 report by the Census Bureau based on 1990 census data noted that 
about 47 percent of Native American households on tribal lands had 
telephone service, compared to about 95 percent of households 
nationally.[Footnote 10] In June 2000, the FCC Chairman noted that the 
Commission's universal service policies "had yielded a remarkable rate 
of telephone subscribership, above 90 percent for the nation as a 
whole."[Footnote 11] However, he also noted that telephone 
subscribership among the rural poor was roughly 20 percent lower than 
the rest of the nation, while Native Americans living on tribal lands 
were only half as likely as other Americans to subscribe to telephone 
service. In August 2000, FCC identified certain categories of 
Americans, including Native Americans, who were having difficulty 
obtaining access to advanced telecommunications services. 

Tribal Telephone Subscribership Rate Is Substantially Below the 
National Level and Internet Subscribership Rate Is Unknown: 

According to data from the 2000 decennial census, the rate of telephone 
subscribership for Native American households on tribal lands was 
substantially below the national rate of 97.6 percent. While this data 
indicates some progress since 1990, changes since then are unknown due 
to a lack of more current data. Additionally, the rate of Internet 
subscribership is unknown because no federal survey has been designed 
to capture this information for tribal lands. 

Telephone Subscribership for Native American Households on Most Tribal 
Lands Was Substantially Below the National Rate in 2000: 

According to the 2000 decennial census, the telephone subscribership 
rate for Native American households on tribal lands in the lower 48 
states was 68.6 percent, while for Alaska Native Villages it was 87 
percent--both substantially below the national rate of 97.6 
percent.[Footnote 12] Figure 2 shows the number of tribal lands within 
various percentile ranges of telephone subscribership for Native 
American households, based on our analysis of 2000 decennial census 
data. We have separated Alaska Native tribal lands from the tribal 
lands in the lower 48 states because telecommunications infrastructure 
in Alaska differs from that of the lower 48 states due to Alaska's 
weather and terrain. The data is shown for 198 tribal lands in the 
lower 48 states and 131 tribal lands in Alaska. Tribal lands with fewer 
than 100 people are not included in the data available from the Census 
Bureau.[Footnote 13] In these areas, there must be at least 100 people 
in a specific group, including American Indian and Alaska Native tribal 
groupings, before data will be shown. 

Figure 2: Telephone Subscribership Rates for Tribal Lands In the Lower 
48 States and Alaska Native Villages, Based on Census 2000 Data: 

[See PDF for image] 

[A] Telephone subscribership rates of Native American households with 
telephone service available are based on 2000 Census sample data. 
Within most American Indian and Alaska Native areas, 1 in every 2 
households was asked detailed questions on population and housing 
characteristics, such as availability of telephone service. This chart 
contains telephone subscribership rates for the 198 lower 48 tribal 
lands and 131 Alaska Native Villages for which the Census Bureau 
published data regarding Native American households. In our analysis, 
we did not include Oklahoma Tribal Statistical Areas. 

[End of figure] 

As figure 2 shows, there was considerable variation among tribes 
regarding telephone subscribership rates, with some comparable or 
higher than the national rate but most below it--and many substantially 
so. We found, for example, that the Kalispel tribal land in Washington 
had a telephone subscribership rate of 100 percent, while the tribal 
lands of the Kickapoo Traditional Tribe of Texas had a rate of 34 
percent. To get a better understanding of telephone subscribership 
rates by individual tribe and population size, we reviewed data for the 
25 tribal lands with the highest number of Native American households. 
These 25 tribal lands represent about 65 percent of all Native American 
households, as shown in Census 2000 data. The lands vary greatly in the 
number of Native American households located on them (from about 46,000 
for the Navajo Nation to about 1,100 for Fort Berthold) and in 
geographic size, with the Navajo Nation's lands comprising about 24,000 
square miles and the Eastern Band of Cherokee's land comprising about 
83 square miles. 

As shown in figure 3, the Native American household telephone 
subscribership rates for these most populous tribal lands were all 
below the national rate of 97.6 percent.[Footnote 14] Nine of the 25 
tribal lands, representing about 44 percent of Native American 
households on tribal lands in the lower 48 states, had telephone 
subscribership rates at a level below 78 percent--which is about what 
the national rate was over 40 years ago when the 1960 decennial census 
was taken. The subscribership rate for the most populous tribal land-- 
the Navajo--was only 38 percent. 

Figure 3: Telephone Subscribership Rates for the 25 Tribal Lands with 
the Most Native American Households,A Based on Census 2000: 

[See PDF for image] 

[A] The Census 2000 data in this report are for the American Indian 
and/or Alaska Native alone or in combination with one or more other 
races. Households are classified by the race of the householder. When 
the term Native American households is used, it refers to the total 
number of occupied housing units where the race of the householder is 
American Indian and/or Alaska Native alone or in combination with one 
or more other races. 

[B] Telephone subscribership rates of Native American households with 
telephone service available are based on 2000 Census sample data. 
Within most American Indian and Alaska Native areas, 1 in every 2 
households was asked detailed questions on population and housing 
characteristics, such as availability of telephone service. This chart 
contains telephone subscribership rates for the 25 lands of the 198 
lower 48 tribal lands and 131 Alaska Native Villages with the most 
number of households for which the Census Bureau published data 
regarding Native American households. In our analysis, we did not 
include Oklahoma Tribal Statistical Areas. 

[End of figure] 

Because the 2000 decennial census is the most current data available on 
telephone subscribership rates on tribal lands, it is not known whether 
these rates have changed between 2000 and the present. To help improve 
the accuracy of the next decennial census and collect demographic, 
socioeconomic and housing data in a more timely way, the Census Bureau 
developed the American Community Survey (ACS), which includes a 
question on telephone service.[Footnote 15] In January 2005, the Census 
Bureau began sending out the ACS questionnaire to households. Annual 
results will be available for populations on all individual tribal 
lands by summer 2010, and sooner for tribal lands with populations over 
20,000. This schedule is based on the time it will take to accumulate a 
large enough sample to produce data for areas with populations as small 
as 600 people.[Footnote 16] 

No Federal Data Available on Internet Subscribership Rates For Tribal 
Lands: 

The status of Internet subscribership on tribal lands is unknown 
because no federal survey has been designed to track this information. 
Although the Census Bureau and FCC currently collect some national data 
on Internet subscribership, and FCC also collects some state level 
data, none of their survey instruments are designed to estimate 
Internet subscribership on tribal lands. In addition, officials of both 
agencies told us that to the best of their knowledge, no other federal 
agency collects data on Internet subscribership. 

Unlike telephone subscribership data, the 2000 decennial census did not 
collect information on Internet subscribership, nor is the Census 
Bureau currently collecting it on the ACS. The Census Bureau does 
collect some national data on Internet subscribership through the 
Current Population Survey (CPS). However, this monthly survey of 
households conducted by the Census Bureau for the Bureau of Labor 
Statistics is designed primarily to produce national and state 
estimates for characteristics of the labor force. To obtain national 
and state estimates on Internet subscribership rates, supplemental 
questions on Internet and computer use have been added to the CPS 
questionnaire. According to a Department of Commerce report, based on 
October 2003 CPS data, the Internet subscribership rate for U.S. 
households was about 55 percent.[Footnote 17] However, Commerce 
Department officials told us that the CPS sample cannot provide 
reliable estimates of Internet subscribership on tribal lands because 
there are not enough tribal land households in the sample to provide a 
reliable measure. 

FCC collects data on the deployment of advanced telecommunications 
capability in the United States, but this data cannot be used to 
determine Internet subscribership rates for tribal lands.[Footnote 18] 
Pursuant to section 706 of the Telecommunications Act of 1996, FCC is 
required to conduct regular inquiries concerning the availability of 
advanced telecommunications capability for all Americans. To fulfill 
its mandate, FCC has issued four reports, starting in January 1999, on 
the availability of advanced telecommunications capability in the 
United States. To obtain data for these reports, FCC requires service 
providers to report the total number of high-speed lines (or wireless 
channels), broken down by type of technology, for each state. For each 
of the technology subtotals, providers also report additional detail 
concerning the percentage of lines that are connected to residential 
users[Footnote 19] and a list of the zip codes where they have at least 
one customer of high-speed service. Because the providers are not 
required to report the total number of residential subscribers in each 
zip code to whom they provide high- speed service, and because tribal 
lands do not necessarily correspond to zip codes, this data cannot be 
used to determine the number of residential Internet subscribers on 
tribal lands. Finally, data on the availability of "dial-up" Internet 
access is not provided in these reports for any areas in the country 
because it is not considered an advanced telecommunications capability. 

The FCC has acknowledged that the zip code data present an elementary 
view of where high-speed Internet service subscribers are 
located.[Footnote 20] In particular, its data collection method does 
not fully describe some segments of the population, such as Native 
Americans residing on tribal lands. FCC has recognized that its section 
706 data collection efforts in rural and underserved areas need 
improvement to better fulfill Congress' mandate.[Footnote 21] Without 
current subscribership data, it is difficult to assess progress or the 
impact of federal programs to improve telecommunications on tribal 
lands. 

In a September 2004 letter to the Census Bureau, the FCC Chairman at 
that time stated that in order to better implement section 706 of the 
Telecommunications Act, FCC needs to know the rate of Internet 
subscribership, and particularly, the rate of Internet subscribership 
in smaller and more sparsely populated areas of the country, that would 
include tribal lands. Given the limitations of the current Census 
Bureau and FCC data collection efforts, FCC requested the Census Bureau 
add a question to the ACS regarding Internet subscribership. The ACS is 
designed to collect information for communities across the country, 
including small geographic areas such as small towns, tribal lands, and 
rural areas. 

Both FCC and Census Bureau officials told us that if a question is 
added to the ACS, it would provide Internet subscribership data for the 
nation and smaller geographic areas. An FCC official also noted that a 
comparative survey like the ACS, one that shows the differences of 
Internet subscribership between tribal lands and other geographic 
areas, is far more valuable than a survey that only collects Internet 
subscribership data on tribal lands. Census Bureau officials mentioned 
to us, however, that there are several methodological issues related to 
making changes to the ACS. Because adding questions would lengthen the 
ACS and could result in a reduced response rate, the Census Bureau's 
current practice is to add a question to the ACS only if it is mandated 
by law. They told us that section 706 of the Telecommunications Act 
mandates that FCC, not the Census Bureau, be responsible for collecting 
data on advanced telecommunications. Therefore, Congress would need to 
pass legislation mandating that the Census Bureau collect Internet 
subscribership data. FCC officials told us that currently it is not 
clear whether FCC will pursue collection of Internet subscribership 
data. 

Native Americans Can Benefit from Several General and Tribal-Specific 
Federal Programs to Improve Telecommunications Services: 

The Department of Agriculture's Rural Utilities Service (RUS) and FCC 
are responsible for several programs designed to improve the nation's 
telecommunications infrastructure and make services affordable for all 
consumers. RUS's programs focus on rural telecommunications 
development, while FCC's universal service programs focus on providing 
support for areas where the cost of providing service is high, as well 
as for low-income consumers, schools, libraries, and rural health care 
facilities. All of these general programs can benefit tribal lands and 
Native American consumers. In addition, FCC has recognized the need to 
make special efforts to improve tribal telecommunications by 
establishing additional support programs specifically aimed at 
benefiting tribal lands and their residents. Issues have arisen, 
however, over some aspects of how eligibility for FCC's universal 
service programs is determined with regard to tribal lands. 

General Programs Available to Improve Telecommunications Services for 
Tribes: 

Federal efforts to expand telephone service in underserved areas date 
back to 1949 when the Rural Electrification Administration was 
authorized to loan monies to furnish and improve the availability of 
telephone service in rural areas throughout the United States. In 1994, 
RUS replaced the Rural Electrification Administration.[Footnote 22] RUS 
programs provide support to improve rural telecommunications 
infrastructure through grants, loans, and loan guarantees. Eligible 
participants in the RUS grant, loan, and loan guarantee programs 
include federally recognized tribes. The RUS grant, loan, and loan 
guarantee programs can be used to improve telecommunications 
infrastructure in rural areas, which include many of the tribal lands. 
Tables 1 and 2 provide a summary listing of these grant and loan 
programs and eligible participants, along with recent funding levels. 

Table 1: Summary of RUS Grant Programs for Rural Telecommunications: 

Program: Community Connect Broadband Grants; 
Purpose: Provides grants to incorporated organizations, federally 
recognized tribes, state or local governments, and other entities 
including cooperatives, private corporations or limited liability 
companies organized on a for-profit or not-for-profit basis who will 
deploy broadband service in rural communities; 
2004 Funds: $9 million[A]. 

Program: Distance Learning and Telemedicine Grants; 
Purpose: Provides grants to incorporated organizations, federally 
recognized tribes, state or local governments, and other entities 
including private corporations organized on a for-profit or not-for-
profit basis who operate a rural community facility or deliver distance 
learning or telemedicine services to entities that operate a rural 
community facility or to residents of rural areas to encourage and 
improve telemedicine services and distance learning services; 
2004 Funds: $25 million[A]. 

Source: Consolidated Appropriations Act of 2004, Pub. L. No. 108-199, 
118 Stat. 3 (2004). 

Notes: Figures have been rounded. 

[A] Fiscal Year 2004 Appropriations. 

[End of table] 

Table 2: Summary of RUS Loan and Loan Guarantee Programs for Rural 
Telecommunications: 

Rural Telecommunications Loan Programs[A]: 

Program: Hardship; 
Description: Provides loans bearing a 5 percent interest rate to 
eligible entities to finance the construction, operation, and/or 
improvement of telecommunications facilities to provide and improve 
telephone service in rural areas[A]; 
2004 Funds: $145 million[B]. 

Program: Cost of Money; 
Description: Provides loans bearing an interest rate tied to the 
Department of Treasury's cost-of-money rate to eligible entities to 
finance the construction, operation, and/or improvement of 
telecommunications facilities to provide and improve telephone service 
in rural areas[A]; 
2004 Funds: $48.5 million[B]. 

Program: Federal Financing Bank (FFB)[C]; 
Description: Provides loan guarantees bearing interest rates equal to 
the Department of Treasury's cost of money for debt instruments with 
similar maturities and options, plus one-eighth of one percent to 
eligible entities to finance the construction, operation, and/or 
improvement of telecommunications facilities to provide and improve 
telephone service in rural areas[A]; 
2004 Funds: $320 million[B]. 

Program: Distance Learning and Telemedicine Loans; 
Description: Provides loans to incorporated organizations or 
partnerships, federally recognized tribes, state or local governments, 
and other entities including private corporations organized on a for-
profit or not-for- profit basis that operate a rural community facility 
or deliver distance learning or telemedicine services to entities that 
operate a rural community facility or to residents or rural areas to 
encourage and improve telemedicine services and distance learning 
services in rural areas; 
2004 Funds: $30.3 million[B]. 

Program: Rural Broadband Access Loan and Loan Guarantee Program; 
Description: Provides loans to eligible applicant cooperative, 
nonprofit, limited dividend or mutual associations, limited liability 
companies, commercial organizations, federally recognized tribes, and 
under certain circumstances, state or local governments that will 
deploy broadband services in rural communities[D]; 
2004 Funds: $602.9 million[B]. 

Source: Rural Utilities Service. 

Notes: Figures have been rounded. 

[A] Eligible entities include public bodies providing telephone service 
in rural areas as of October 28, 1949, as well as cooperative, 
nonprofit, limited dividend, or mutual associations. Additionally, RUS 
generally will not make a loan to another entity to provide the same 
telecommunications service in an area served by an incumbent RUS 
telecommunications borrower providing such service. 

[B] This figure represents fiscal year 2004 loans approved under 
multiple fiscal years' budget authority. Approved loans only indicate 
that an agreement between the lender (RUS, FFB, or a private lender) 
and a borrower has been reached to loan monies. 

[C] Federal Financing Bank is an instrumentality within the United 
States Department of the Treasury. Section 306 of the Rural 
Electrification Act authorizes RUS to offer 100 percent guarantees of 
loans made by FFB to qualified electric and telecommunications 
borrowers. 

[D] An entity is not eligible if it serves more than 2 percent of the 
telephone subscriber lines installed in the United States. 

[End of table] 

FCC also has several general programs to support improved 
telecommunications services. FCC's universal service programs support 
the longstanding goal of making communications services available "so 
far as possible, to all the people of the United States." The universal 
service programs put in place in the 1980s focused on making telephone 
service affordable for low-income consumers and areas where the cost of 
providing service was high. The Telecommunications Act of 1996 extended 
the scope of federal universal service support to make advanced 
telecommunications services (such as high-speed Internet access) 
available to eligible public and nonprofit elementary and secondary 
schools, libraries, and nonprofit rural health care providers at 
discounted rates. Universal service program operations are carried out 
by a not-for-profit corporation, the Universal Service Administrative 
Company (USAC), under FCC's rules and oversight. Table 3 lists key FCC 
universal service programs and recent funding levels that could be used 
to improve service on tribal lands in areas where the cost of providing 
service is high; lower the cost of service to low-income individuals; 
and support telecommunications services for local schools, libraries, 
and rural health care centers.[Footnote 23] 

Table 3: Summary of Key FCC Universal Service Programs: 

Program: High Cost; 
Description: Provides eligible local telephone companies with funds to 
serve consumers in remote or rural areas, where the cost of providing 
service comparable to that available in urban areas is substantially 
greater than the national average, thereby lowering rates for local and 
long distance service; 
2004 Funds: $3.5 billion[A]. 

Program: Low Income (Lifeline and Linkup); 
Description: Assists qualifying low-income consumers through discounts 
on installation and monthly telephone services. Also provides free toll 
limitation service to prevent or limit the amount of long distance 
telephone calls. In 2000, FCC augmented this program to provide 
additional support for residents on tribal lands (known as Enhanced 
Lifeline and Linkup); 
2004 Funds: $758.8 million[A]. 

Program: Schools and Libraries (E-rate); 
Description: Assists eligible public and non-profit elementary and 
secondary schools and libraries through discounts on telecommunications 
and information services. Discounts are available for local and long 
distance telephone service, Internet access, internal connections 
(e.g., wiring and networking schools and libraries), and basic 
maintenance on internal connections; 
2004 Funds: $2.3 billion[B]. 

Program: Rural Health Care; 
Description: Assists health care providers located in rural areas 
through discounts on telecommunications services. Discounts are 
provided to make rates for facilities in rural areas reasonably 
comparable to those in nearby urban areas.[C]; 
2004 Funds: $35 million[B]. 

Source: USAC. 

Notes: Figures have been rounded. 

[A] This figure represents USAC's total unaudited disbursements during 
calendar year 2004. 

[B] This figure represents a USAC estimate for calendar year 2004. 

[C] Some public or non-profit health care providers not located in a 
rural area may receive some financial support for long distance charges 
necessary to connect to an Internet service provider. 

[End of table] 

In addition to financial assistance, RUS and FCC's Wireless 
Telecommunications Bureau established the VISION program in 2004 as a 
joint policy initiative to provide technical assistance to improve the 
provision of wireless broadband service in rural communities. VISION is 
part of a larger Rural Wireless Outreach Initiative between RUS, FCC's 
Wireless Telecommunications Bureau, and private industry, that is 
intended to coordinate activities and information on financial and 
other assistance regarding telecommunications opportunities for rural 
communities. The program is designed to provide rural communities 
within the United States and its territories with on-site regulatory, 
legal, engineering, and technical assistance to identify barriers and 
solutions to providing wireless broadband services to these 
communities. Thirteen tribal organizations have applied for assistance 
from this program, though no awards had been made as of October 2005. 

The General Services Administration's (GSA) Federal Technology Service 
(FTS) 2001 contract provides telecommunications services to federal 
agencies, the District of Columbia government, tribal governments, and 
insular governments such as American Samoa, at discounted prices. 
Several tribes, such as the Oneida Tribe of Indians of Wisconsin and 
the Choctaw Nation of Oklahoma, have made use of the FTS 2001 contract 
to improve the telecommunications infrastructure on their 
lands.[Footnote 24] 

FCC's Programs Targeted to Tribal Lands and Residents: 

Beginning in June 2000, FCC established additional support to improve 
telecommunications infrastructure deployment and subscribership on 
tribal lands. FCC took this step in recognition that Native American 
communities have, on average, the lowest reported telephone 
subscribership levels in the country. 

Enhanced Link-Up and Lifeline Programs: 

FCC's Enhanced Link-Up and Lifeline programs, which began in 2000, 
provide additional discounts on the cost of telephone service for 
tribal and nontribal residents of tribal lands who have incomes at or 
below 135 percent of the Federal Poverty Guidelines or who participate 
in one of several federal assistance programs, such as food stamps or 
Medicaid.[Footnote 25] Enhanced Link-Up provides qualified participants 
with one-time discounts of up to 100 dollars on installation fees. 
Enhanced Lifeline provides ongoing discounts on basic local telephone 
service that enable some qualified participants to pay as little as 1 
dollar a month. As with FCC's other universal service programs, the 
service providers are reimbursed from FCC's universal service fund for 
the discounts they give to the programs' participants. Tables 4 and 5 
list the number of Enhanced Link-Up and Lifeline participants (both 
Native American and nonnative American residents of tribal lands) and 
the amount of support distributed between June 2000 and December 2004. 

Table 4: Number of Enhanced Link-Up Participants and Funds Distributed 
to Service Providers: 

Number of Participants; 
June-Dec. 2000: 2,040; 
2001: 23,360; 
2002: 29,900; 
2003: 22,290; 
2004: 41,030. 

Amount of reimbursements to providers; 
June-Dec. 2000: $61,590; 
2001: $533,560; 
2002: $832,660; 
2003: $615,760; 
2004: $1,277,340. 

Source: USAC. 

Note: Years are calendar years. The program began in the middle of 
2000. Dollar amounts and number of participants have been rounded. 

[End of table] 

Table 5: Number of Enhanced Lifeline Participants and Funds Distributed 
to Service Providers: 

Number of Participants; 
June-Dec. 2000: 18,690; 
2001: 56,820; 
2002: 112,190; 
2003: 147,200; 
2004: 176,390. 

Amount of reimbursements to providers; 
June-Dec. 2000: $507,780; 
2001: $6,960,050; 
2002: $17,954,810; 
2003: $24,178,010; 
2004: $30,346,090. 

Source: USAC. 

Note: Years are calendar years. The program began in the middle of 
2000. Dollar amounts and number of participants have been rounded. 

[End of table] 

At present, service providers file quarterly data forms with USAC that 
are used in reimbursing them for the discounts they give to their 
subscribers through the Link-Up and Lifeline programs. This data can be 
broken out by state, but not by tribal land, because the reporting form 
does not ask service providers to indicate the number of participants 
and amount of funding by tribal land. State-level data, however, has 
limited use in measuring the performance of these programs with respect 
to individual tribal lands. Nearly all the states containing tribal 
lands have more than one of them, as shown earlier in figure 1, so 
their data is a sum total of multiple tribal lands.[Footnote 26] 
Moreover, some tribal lands extend across state lines. The Navajo 
Nation's land, for instance, crosses the borders of Arizona, New 
Mexico, and Utah; and the Standing Rock Sioux's tribal land crosses the 
borders of North and South Dakota. Consequently, the participation and 
funding data relevant to these tribal lands (and others like them) are 
split among the data of multiple states. Because FCC does not have data 
on program participation and funding by individual tribal land, some 
basic questions cannot be answered: what percentage of residents of 
particular tribal lands are benefiting from the programs and how have 
the participation rates on individual tribal lands changed over time? 

At one point, FCC took steps to obtain more detailed program data. When 
the Enhanced Link-Up and Lifeline programs were established in 2000, 
the Commission directed one of its bureaus to revise, as necessary, the 
form used by service providers for the general Link-Up and Lifeline 
programs already in operation. In June 2003, FCC sought comment on 
changes to its Lifeline program, including the collection of additional 
data, and made revisions to the form. In December 2003, FCC received 
approval from the Office of Management and Budget for the revised form, 
which included requiring service providers to list the number of their 
Enhanced Lifeline subscribers by individual tribal land. However, in 
spring 2004, some service providers met with FCC officials to voice 
concerns that the collection of such information would be difficult to 
implement into their billing systems, but did not provide specific cost 
estimates for its implementation. In March 2005, FCC indefinitely 
suspended the use of the revised form due to these concerns.[Footnote 
27] 

Tribal Land Bidding Credit Program: 

FCC's Tribal Land Bidding Credit program is designed to provide 
incentives for wireless providers to deploy wireless services across 
tribal lands.[Footnote 28] FCC is authorized to auction radiofrequency 
spectrum to be used for the provision of wireless services in the 
United States. Under the Tribal Land Bidding Credit program, FCC 
reduces the cost of a radiofrequency spectrum license to a winning 
bidder in a spectrum auction if the bidder agrees to deploy facilities 
and provide telecommunications service to qualifying tribal lands. The 
agreement includes constructing and operating a wireless system that 
offers service to at least 75 percent of the population of the tribal 
land area covered by the credit within 3 years of the grant of the 
license. Tribal lands with telephone subscribership below 85 percent 
are eligible for the program. 

The program began in 2000, with the first credits awarded in 2003. In 
total, the program has awarded credits to six licensees who have 
pledged to deploy facilities and provide telecommunications services to 
10 tribal lands. Most of the credits to date have been awarded to two 
licensees for providing service on three tribal lands. Table 6 lists 
the dollar value of tribal land bidding credits awarded through April 
2005.[Footnote 29] 

Table 6: Tribal Land Bidding Credits Awarded: 

Licensee Name: Crown Castle; 
Tribal Land To Be Served: White Mountain Apache (AZ); 
Date License(s) Awarded: 10/1/2003; 
Dollar Value of Bidding Credit: $3,157,000. 

Licensee Name: Milky Way Broadband; 
Tribal Land To Be Served: Uintah and Ouray (UT); 
Date License(s) Awarded: 11/23/2004; 
Dollar Value of Bidding Credit: $263,500. 

Licensee Name: Nemont Communications; 
Tribal Land To Be Served: Turtle Mountain (ND); 
Date License(s) Awarded: 1/12/2005; 
Dollar Value of Bidding Credit: $137,000. 

Licensee Name: Ronan Telephone; 
Tribal Land To Be Served: Blackfeet (MT); 
Date License(s) Awarded: 1/29/2004; 
Dollar Value of Bidding Credit: $182,000. 

Licensee Name: Scott MacIntyre; 
Tribal Land To Be Served: Walker River Paiute (NV); 
Date License(s) Awarded: 5/13/2003; 
Dollar Value of Bidding Credit: $182,000. 

Licensee Name: Space Data; 
Tribal Land To Be Served: Eastern Band of Cherokee (NC); 
Date License(s) Awarded: 4/15/2003; 
Dollar Value of Bidding Credit: $34,300. 

Licensee Name: Space Data; 
Tribal Land To Be Served: Ft. McDermitt Paiute and Shoshone (NV and 
OR); 
Date License(s) Awarded: 4/15/2003; 
Dollar Value of Bidding Credit: $269,800. 

Licensee Name: Space Data; 
Tribal Land To Be Served: Hualapai (AZ); 
Date License(s) Awarded: 4/15/2003; 
Dollar Value of Bidding Credit: $102,300. 

Licensee Name: Space Data; 
Tribal Land To Be Served: Jicarilla Apache (NM); 
Date License(s) Awarded: 4/15/2003; 
Dollar Value of Bidding Credit: $15,050. 

Licensee Name: Space Data; 
Tribal Land To Be Served: Hualapai & Jicarilla Apache (AZ and NM); 
Date License(s) Awarded: 4/15/2003; 
Dollar Value of Bidding Credit: $1,419,500. 

Licensee Name: Space Data; 
Tribal Land To Be Served: Navajo (AZ, NM, UT); 
Date License(s) Awarded: 1/12/2005; 
Dollar Value of Bidding Credit: $42,260. 

Total; 
Dollar Value of Bidding Credit: $5,804,710. 

Source: FCC. 

Note: Dollar amounts have been rounded. 

[End of table] 

At present, it is unclear what the program's long-term impact will be 
in creating a significant incentive to deploy wireless service on 
tribal lands. FCC has acknowledged that the program is underutilized by 
service providers, attributing this to economic and technical factors. 
Several industry and tribal stakeholders expressed concerns that the 
program has a limited ability to improve service on tribal lands. These 
stakeholders stated that the main problem with the program is that 
tribal land bidding credits deal with the least expensive cost element 
of providing wireless service to tribal lands: the spectrum license. In 
fact, they said that spectrum to serve tribal lands can be acquired 
more economically through spectrum leasing arrangements with other 
licensees than through the Tribal Land Bidding Credit program. In their 
view, the main barrier to deploying wireless service on tribal lands is 
the high cost of network infrastructure, such as cellular towers. 
During 2006, FCC will have an opportunity to begin reviewing the actual 
effect of the program. By then, licensees who received Tribal Land 
Bidding Credits in 2003 are supposed to have met the requirement to 
cover 75 percent of the tribal land area for which their credit was 
awarded. 

Indian Telecommunications Initiative: 

In spring 2002, FCC established the Indian Telecommunications 
Initiative (ITI) to provide assistance to improve telecommunications 
services on tribal lands. The Initiative's strategic goals are to 
improve tribal lands' telephone subscribership rates, increase the 
telecommunications infrastructure, and inform consumers about the 
financial support available through federal programs, such as the 
universal service programs. ITI also seeks to promote understanding, 
cooperation, and trust among tribes, government agencies, and the 
telecommunications industry to address telecommunications issues facing 
tribal lands. 

Since its inception, ITI has organized several informational workshops 
to provide tribes and tribal organizations with information about 
federal telecommunications programs such as Enhanced Lifeline and Link- 
Up. ITI has also used these workshops to disseminate information about 
FCC rules and policies that affect the deployment of telecommunications 
services on tribal lands, such as cellular tower siting procedures. FCC 
senior officials and other staff also attend and participate in a 
variety of meetings on telecommunications issues with tribal officials. 
FCC has also distributed educational materials to tribes and tribal 
organizations about its universal service programs and other issues of 
interest. 

Some Issues Involving Tribes Have Arisen with Respect to Federal 
Universal Service Programs: 

The implementation of universal service programs is largely the joint 
responsibility of federal and state government. However, the sovereign 
status of tribes raises unique issues and concerns. Service providers, 
tribal officials, and others have cited two specific areas of concern. 
One involves FCC's process to determine whether the FCC has 
jurisdiction to designate service providers as eligible to receive 
universal funds for serving tribal lands. A second is related to the 
statutory limitations of tying the eligibility for universal service 
funding under the E-rate program for tribal libraries to state Library 
Services and Technology Act funds. 

Designation of Eligible Telecommunications Carriers: 

Some stakeholders we spoke with emphasized that deployment of services 
on tribal lands, particularly by wireless carriers, might be improved 
if FCC had a more timely process for determining its jurisdiction to 
designate a provider wanting to serve tribal lands as an Eligible 
Telecommunications Carrier (ETC). As defined by the Communications Act, 
service providers must be designated as an ETC in order to participate 
in FCC's universal service programs.[Footnote 30] The Act gives the 
individual states the primary responsibility for designating ETCs. 
Initially, the Act made no provision for cases where a service provider 
might not be subject to state jurisdiction, such as those operating on 
tribal lands. In 1997, Congress amended the Act by requiring FCC to 
determine a service provider's eligibility to receive federal universal 
service funds in cases where a state lacks jurisdiction to make an ETC 
determination.[Footnote 31] In response, FCC developed a process by 
which a service provider seeking ETC status for serving a tribal land 
may petition the Commission to determine whether the provider is 
subject to the state commission's jurisdiction. If the FCC finds that 
the state does not have jurisdiction, FCC can make the ETC 
determination. 

To date, FCC has received ten applications for ETC designations 
involving tribal lands. Six of the applications were from tribally- 
owned wireline service providers, and four were from non-tribally-owned 
wireless service providers.[Footnote 32] FCC provided the tribally- 
owned wireline providers with ETC status within a few months of their 
application.[Footnote 33] Two different non-tribally owned wireless 
service providers petitioned FCC for ETC designation on three separate 
tribal lands.[Footnote 34] As indicated in table 7, FCC granted one of 
these three petitions in 10 months. Another was withdrawn by the 
provider after more than three years with no FCC decision, while the 
third has been pending at FCC for more than 3 years. 

Table 7: Status of Wireless Providers' ETC Applications on Tribal 
Lands: 

Applicant: Western Wireless; 
Tribal Land To Be Served: Crow Reservation; 
State: Montana; 
Application Filed: August 1999; 
Resolution: Application withdrawn in June 2003; 
Timeframe: 3+ years. 

Applicant: Western Wireless; 
Tribal Land To Be Served: Pine Ridge Reservation; 
State: South Dakota; 
Application Filed: January 2001; 
Resolution: Granted in October 2001; 
Timeframe: 10 months. 

Applicant: Smith Bagley Inc; 
Tribal Land To Be Served: Navajo Reservation (Utah portion); 
State: Utah; 
Application Filed: May 2002; 
Resolution: Still pending; 
Timeframe: 3+ years. 

Source: GAO analysis of FCC data. 

[End of table] 

FCC has noted that determining whether a state or FCC has ETC 
jurisdiction regarding a tribal land is "a legally complex and fact 
specific inquiry, informed by the principles of tribal sovereignty, 
federal Indian law, treaties, as well as state law."[Footnote 35] When 
we asked about the long timeframes involved with the first and third 
items in table 7, FCC officials explained that they must conduct a case-
specific inquiry for each application to determine whether the 
Commission has the authority to make an ETC designation. In its 2001 
Western Wireless decision, FCC noted that it would resolve the Western 
Wireless ETC decision in light of the guidance provided by the Supreme 
Court in Montana v. United States, 450 U.S. 544 (1981).[Footnote 36] 
This case sets out the guiding principle that Indian tribes lack 
jurisdiction to regulate nonmembers on the reservation, but it 
recognized two exceptions.[Footnote 37] Applying this framework to the 
service agreement between the Oglala Sioux Tribe and Western Wireless, 
FCC granted Western Wireless ETC status over its service to tribal 
members living within the Pine Ridge reservation. 

FCC has not issued any further guidance on how it will make its ETC 
decisions on tribal lands. FCC officials told us that the information 
needed to make a determination may change from application to 
application. They said that they try to complete these designations in 
a timely fashion, but applicants may not provide sufficient 
information, and staff normally dedicated to these issues may need to 
focus on other issues facing FCC. In 2000, FCC sought public comment on 
the creation of a 6-month timeline for the resolution of jurisdictional 
issues surrounding an ETC designation on tribal lands.[Footnote 38] 
However, in 2003 FCC formally decided against creating this timeline 
because determining FCC's jurisdiction over ETC designation on tribal 
lands "is a legally complex inquiry that may require additional time to 
fully address."[Footnote 39] 

Tribal Libraries' Eligibility for E-rate Funding: 

Some tribal officials we spoke with emphasized the importance of tribal 
libraries as a means for members to have Internet access and expressed 
concern about their difficulty in obtaining E-rate funding for their 
libraries. Under current eligibility requirements, tribal libraries can 
apply for universal service fund support through the E-rate program 
provided they meet eligibility requirements. The Communications Act 
defines E-rate eligible libraries as those eligible for assistance from 
a state library administrative agency under the Library Services and 
Technology Act (LSTA),[Footnote 40] which provides federal grant funds 
to support and develop library services in the United States. LSTA has 
two types of library grants that primarily relate to governmental 
entities: one for states and one for federally recognized tribes and 
organizations that primarily serve and represent Native 
Hawaiians.[Footnote 41]To be eligible for E-rate funds, a tribal 
library must be eligible for state LSTA funds and not just tribal LSTA 
funds. 

The eligibility criterion has practical implications for tribal 
libraries. Although we did not survey all the states on this issue, 
officials in two states told us that their state laws preclude tribal 
libraries within their states from being eligible to receive state LSTA 
funds, which has the effect of making them ineligible to receive E-rate 
funds. Officials in Oklahoma said that only county and city libraries 
are eligible for state funding such as LSTA monies. Tribal libraries 
are not county or city libraries and therefore not eligible for 
Oklahoma's state LSTA funds. One former tribal librarian in Oklahoma 
told us that she did not apply for E-rate funding because the state 
library administrative agency provided her with documentation 
indicating that the tribe was not eligible for state LSTA funds. 
Montana officials told us that their state law also has similar 
limitations regarding tribal libraries' eligibility for state LSTA 
funds. 

The eligibility criterion also has practical implications for the E- 
rate program. Libraries applying for LSTA funds must self-certify their 
eligibility. As part of its integrity process, USAC requires a third 
party verification of the eligibility requirement. Thus, USAC verifies 
a library's eligibility for E-rate funds by asking state library 
administrative agencies to provide written certification of a library's 
eligibility for state LSTA funds.[Footnote 42] This process has 
prompted a number of comments from several of those we interviewed. 
Some tribal and state library agency officials noted that the current 
eligibility criterion infringes on tribal sovereignty by involving the 
state in tribal library E-rate funding. One state librarian, for 
example, expressed discomfort at being put in the position of acting on 
behalf of a sovereign tribe and expressed the strong belief that 
eligibility for E-rate funding should be a matter between the tribe and 
USAC, without involvement by state government agencies. USAC officials 
told us that they have received some E-rate applications from tribal 
libraries.[Footnote 43] In those cases, a USAC board member 
successfully worked with the states in question to obtain the 
certifications. However, USAC officials and the USAC board member 
emphasized the time-consuming nature of these resolution efforts. 

In fall 2002, FCC, USAC, and the Institute of Museum and Library 
Services (IMLS) officials met to discuss possible remedies for this 
situation. These discussions produced a consensus that a change to the 
E-rate eligibility requirement for libraries defined in the 
Communications Act could facilitate tribal libraries' eligibility for E-
rate funding. These discussions focused on a modification to the Act 
that would allow tribal libraries eligible for funding from either a 
state library administrative agency or tribal government under the LSTA 
to be eligible for funding under the E-rate program. FCC officials told 
us that modifications to the Act would require legislative action by 
the Congress, because such modifications cannot be made by FCC through 
a Commission order or administrative proceeding. 

Multiple Barriers Exist to Improving Telecommunications on Tribal 
Lands: 

Tribal and government officials, Native American groups, service 
providers, and other entities we interviewed cited several barriers to 
improving telecommunications on tribal lands. The two barriers most 
often cited by officials of the tribes and Alaska regional native non- 
profit organizations we interviewed were the rural location and rugged 
terrain of tribal lands and tribes' limited financial resources. The 
third most often cited barrier was a lack of technically trained tribal 
members to plan and implement improvements in telecommunications. A 
fourth barrier cited by tribal officials and other stakeholders is the 
complex and costly process of obtaining rights-of-way for deploying 
telecommunications infrastructure on tribal lands. 

Rural Location and Limited Financial Resources Were the Most Often 
Cited Barriers: 

The rural location and rugged terrain of most tribal lands and tribes' 
limited financial resources were the barriers to improved 
telecommunications most often cited by officials of tribes and Alaska 
Native Villages we interviewed. These two barriers were also cited by 
representatives of service providers and federal agencies. These two 
barriers are interrelated, can deter providers from investing in 
infrastructure on tribal lands, and contribute to the low levels of 
subscribership on many tribal lands. 

Tribal lands are mostly rural and characterized by large land areas, 
rugged terrain such as mountains and canyons, low population density, 
and geographic isolation from metropolitan areas. Figure 4, from the 
Pine Ridge Indian Reservation in South Dakota, illustrates some of 
these characteristics. 

Figure 4: Wireless Tower near Kyle, South Dakota on the Pine Ridge 
reservation (April 2005): 

[See PDF for image] 

[End of figure] 

Generally, these factors make the cost of building and maintaining the 
infrastructure needed to provide service higher than they would be in 
urban settings. For example, more cable per customer is required over 
large, sparsely populated areas, and when those areas are mountainous, 
it can be more difficult and costly to install the cable. The Rural 
Task Force, formed by the Federal-State Joint Board on Universal 
Service,[Footnote 44] documented the high costs of serving rural 
customers in a report issued in January 2000, which stated that the 
average telecommunications infrastructure cost per customer for rural 
providers was $5,000, while the average infrastructure cost per 
customer for non-rural providers was $3,000.[Footnote 45] Officials 
from 17 tribes and 11 Alaska regional native non-profit organizations 
we interviewed told us that the rural location of their tribe is a 
telecommunications barrier. 

Tribes' limited financial resources are also seen as a barrier to 
improving telecommunications services on tribal lands. Many tribal 
lands--including some of those we visited such as the Navajo, the 
Mescalero Apache, the Yakama and the Oglala Sioux--have poverty rates 
more than twice the national rate, as well as high unemployment rates. 
The 2000 U.S. Census showed that the per capita income for residents on 
tribal lands was $9,200 in 1999, less than half the U.S. per capita 
income of $21,600. Officials of 33 of the 38 Native American entities 
we interviewed told us that lack of financial resources was a barrier 
to improving telecommunications services. Several of these tribal 
officials told us that their tribal governments must use their tribes' 
limited financial resources on other priorities such as water and sewer 
lines, housing, and public safety. In addition, high levels of poverty 
on many tribal lands may also make it less likely that tribal residents 
will subscribe to those telephone and Internet services that are 
available, particularly when geographic barriers have increased the 
costs of those services. For example, a Yakama Nation tribal official 
told us that many residents cannot afford a computer or Internet 
access; some cannot even afford telephone service. 

These two factors, the rural location of tribal lands (which increases 
the cost of installing telecommunications infrastructure) and tribes' 
limited financial resources (which can make it difficult for residents 
and tribal governments to pay for services) can combine to deter 
service providers from making investments in telecommunications on 
tribal lands. This lack of investment can result in a lack of service, 
poor service quality, and little or no competition. With regard to a 
lack of service, an official with the Yakama Nation told us that while 
many tribal residents in the more heavily populated areas have access 
to telephone service, the tribe's service provider has not built 
additional infrastructure to reach less populated areas and has no 
plans to do so in the near future. A representative of the company that 
provides service to the Coeur d'Alene tribe told us that high-speed 
Internet was only available in certain areas of the Coeur d'Alene 
tribal land, that there were no immediate plans to expand the service 
area, and that there were cost issues in providing service to the more 
remote and less densely populated parts of the reservation. Another 
provider's representative told us that providing digital subscriber 
lines (DSL)[Footnote 46] to most parts of the Eastern Band of 
Cherokee's reservation would not be profitable because the land is 
rugged and to connect many of those who live out in remote rural areas 
would require an investment that would be difficult to justify. With 
regard to service quality, of the 38 tribes and tribal representatives 
we interviewed, 9 mentioned service quality as a barrier to improved 
telecommunications. One tribe told us that their local provider has no 
local service office and few technicians, so that the company may take 
days to repair or respond to a problem. With regard to the lack of 
competition, officers of 2 tribes told us that because there is only 1 
provider, they have no choice but to pay the prices being charged for 
services, even though they think the prices are too high. 

Lack of Technically-Trained Tribal Members Can Impede Planning and Was 
the Third Most Commonly Cited Barrier: 

The third barrier most commonly cited by tribal representatives was the 
lack of tribal members trained in or knowledgeable about 
telecommunications technologies. Officials of 13 of the 38 Native 
American tribes and tribal organizations we interviewed told us that 
lack of telecommunications training and knowledge among tribal members 
is a barrier to improving their telecommunications. Some of these 
officials said they needed more technically trained members to plan and 
oversee the implementation of telecommunications improvements, as well 
as to manage existing systems. For example, one tribal official told us 
that he is currently understaffed and is running a multi-tribe wireless 
network with just one other person. Another tribal official told us 
that there is only one tribal member with formal training in 
telecommunications and that the tribe needs a well trained person to 
take charge of the tribe's telecommunications needs. An official of the 
Coeur d'Alene tribe, who has technical training, told us that the tribe 
does not have a sufficient number of technically knowledgeable staff 
members to develop and maintain needed telecommunications systems. 

The same Coeur d'Alene tribal official also told us that tribes without 
technically trained staff would be at a disadvantage in negotiating 
with service providers. This official added that having tribal members 
trained in telecommunications was necessary to ensure that a tribe's 
planned improvements included the equipment and technology the tribe 
wanted and needed. In addition, one non-tribal stakeholder mentioned 
that a lack of training prevented tribes from choosing appropriate 
technologies for their specific needs. One industry stakeholder 
mentioned that tribes needed a better understanding of the range and 
capacity of shared spectrum wireless technology so they would not be 
disappointed by its limitations.[Footnote 47] A 1995 Office of 
Technology Assessment study of telecommunications on tribal lands 
stated that most Native American reservations, villages, and 
communities would benefit from developing a plan or vision of how 
telecommunications could best meet their educational, health, economic 
development, and cultural needs.[Footnote 48] In 1999, the Department 
of Commerce estimated that very few tribes had telecommunications 
plans.[Footnote 49] Of the 38 tribes and tribal organizations we 
interviewed, 14 told us they have some type of technology plan and 7 
more said they had a plan in development. 

Industry stakeholders also told us that having tribal staff 
knowledgeable in telecommunications policies improves the process of 
deploying services on tribal lands. One service provider told us that 
if tribes delegated telecommunications decisions to a tribal 
governmental committee, the company could provide service more 
effectively and efficiently. Instead, when a company has to bring 
telecommunications decisions before the full tribal council, the 
process can be very time consuming because the full tribal council 
meets infrequently and telecommunications issues are often not at the 
top of the agenda. Another provider told us that having staff 
knowledgeable in telecommunications policies and procedures, such as 
rights of way and contract issues, allows providers to more quickly and 
effectively deploy services because time is not spent negotiating over 
unfamiliar terms. 

Rights-of-Way Issues Were Also Cited as a Barrier to Improved 
Telecommunications Services on Tribal Lands: 

According to several service providers and tribal officials, obtaining 
a right-of-way through Indian lands is a time-consuming and expensive 
process that can impede service providers' deployment of 
telecommunications infrastructure.[Footnote 50] The right-of-way 
process on Indian lands is more complex than the right-of-way process 
for non-Indian lands because BIA must approve the application for a 
right-of-way across Indian lands. BIA grants or approves actions 
affecting title on Indian lands, so all service providers installing 
telecommunications infrastructure on Indian lands must work with BIA or 
its contractor (realty service provider) to obtain a right-of-way 
through Indian lands.[Footnote 51] To fulfill the requirements of 
federal regulations for rights-of-way over Indian lands and obtain BIA 
approval, service providers are required to take multiple steps and 
coordinate with several entities during the application process. These 
steps must be taken to obtain a right-of-way over individual Indian 
allotments as well as tribal lands. Several of the steps involve the 
landowner, which could be an individual landowner, multiple landowners, 
or the tribe, depending on the status of the land. For example, the 
right-of-way process requires a) written consent by the landowner to 
survey the land; b) an appraisal of the land needed for the right-of- 
way; c) negotiations with the landowner to discuss settlement terms; d) 
written approval by the landowner for the right-of-way; and e) BIA 
approval of the right-of-way application.[Footnote 52] 

Service providers told us that a lack of clarity in federal regulations 
for rights-of-way over Indian lands can also slow down the right-of-way 
approval process. During the right-of-way approval process, BIA has a 
responsibility to ensure that the right-of-way suits the purpose and 
size of the equipment being installed on the land. However, federal 
regulations do not have guidance or descriptions for advanced 
telecommunications infrastructure, which would assist BIA in evaluating 
telecommunications rights-of-way applications. According to a 
Department of the Interior official, descriptions and guidance for 
advanced telecommunications infrastructure are absent because the 
regulations were created prior to the advent of modern 
telecommunications equipment. For example, the federal regulations have 
guidance and descriptions for the size of the right-of-way needed and 
voltage levels of electrical equipment that can be installed for 
commercial purposes,[Footnote 53] but similar descriptions and guidance 
are not available for advanced telecommunications rights-of-way. 
According to service providers, this lack of clarity can cause grey 
areas for BIA when it attempts to classify the type of advanced 
telecommunications infrastructure the service provider intends to 
install and whether it is for commercial or residential purposes. This 
adds time to the right-of-way approval process because BIA has to 
determine if the regulations allow for the installation of the 
applicant's infrastructure. A BIA official acknowledged that portions 
of the federal regulations, including the section on telecommunications 
infrastructure, are outdated. As a result, BIA is currently revising 
the regulations to better apply to modern utility technologies, 
including advanced telecommunications infrastructure, but timeframes 
for completion of this work have not been established. 

As mentioned above, BIA requires that service providers obtain approval 
from the individual landowner or the tribe for a right-of-way. Service 
providers told us that obtaining landowner consent for a right-of-way 
across an individual Indian allotment is time consuming and expensive, 
which can delay or deter deployment of telecommunications 
infrastructure on tribal lands. For example, one service provider told 
us that an individual Indian allotment of land can have over 200 
owners, and federal regulations require the service provider to gain 
approval from a majority of them.[Footnote 54] The official stated that 
the time and cost of this process is compounded by the fact that a 
telecommunications service line often crosses multiple allotments. In 
addition, if the service provider cannot obtain consent for the right- 
of-way from the majority of landowners, the provider is forced to 
install lines that go around the allotment, which is also expensive. 

Tribes Are Addressing Barriers to Improved Telecommunications in 
Different Ways: 

Several tribes are moving towards owning or developing part or all of 
their own telecommunications systems to address the barriers of tribal 
lands' rural location and rugged terrain and tribes' limited financial 
resources, which can deter service providers from investing in 
telecommunications on tribal lands. These tribes are using federal 
grants, loans, or other assistance, long-range planning, and private- 
sector partnerships to help improve service on their lands. In 
addition, some tribes have addressed these barriers by focusing on 
wireless technologies, which can be less costly to deploy across large 
distances and rugged terrain. Some tribes are addressing the shortage 
of technically-trained tribal members to plan and implement 
improvements on tribal lands through mentoring and partnerships with 
educational institutions. To help reduce the time and expense required 
to obtain a right-of-way across tribal lands, one tribe is developing a 
right-of-way policy to make the tribal approval process more timely and 
efficient. 

Several Tribes Are Moving Towards Developing Their Own 
Telecommunications Systems to Address Multiple Barriers: 

From our interviews of officials of 26 tribes and 12 Alaska regional 
native non-profit organizations, we found that 22 are addressing the 
need to improve their telecommunications services by developing or 
owning part or all of their own local telecommunications network. Some 
of those we spoke to told us that they were doing this because their 
provider was unwilling to invest in improved telecommunications 
services, in part due to the barriers of the tribe's rural location, 
rugged terrain, and limited financial resources. An additional 10 
tribes told us that they have considered or are considering owning part 
or all of their telecommunications systems. 

Four of the 6 tribes we visited are developing their own 
telecommunications systems to address the lack of investment by 
telecommunications companies. These tribes are addressing their limited 
financial resources to fund telecommunications improvements by one of 
three methods. Two of the 4 have obtained federal funds, another has 
reduced its use of services from the current provider to help fund its 
own system, and a fourth tribe has partnered with a local business also 
adversely affected by poor telecommunications service. Two of these 
tribes also told us that they have been able to provide better service 
and lower prices than the incumbent provider because they are more 
concerned about providing service than about making a profit. 

Coeur d'Alene Tribe: 

The Coeur d'Alene Tribe in Idaho is using an RUS grant to overcome its 
limited financial resources and develop its own high speed wireless 
Internet system. Tribal officials told us that the wireline service 
provider for the Coeur d'Alene Tribe had not deployed the necessary 
equipment to offer high speed Internet access to all residents on 
tribal lands because deploying the equipment was not profitable. (An 
official of the service provider told us that high speed Internet was 
only available in certain areas, that there were no immediate plans to 
expand the service area, and that there were cost issues in expanding 
service to the more remote and less densely populated parts of the 
reservation.) The tribe applied for an RUS Community Connect Broadband 
grant to purchase and deploy a wireless system to provide high-speed 
Internet access to all residents of the tribal land. This type of grant 
can be used for expenditures for a wide array of infrastructure and 
related needs, including necessary equipment that many tribal members 
cannot afford. For example, the grant allows for the purchase of 
equipment required to connect households and businesses to the wireless 
system, and for the construction of a community technology center for 
training and Internet access. The grant is being used to fund 5 towers 
to ensure that the wireless system reaches all populated Coeur d'Alene 
lands, as well as fiber optic cable, technical staff, and operational 
costs. The grant will make high-speed Internet access available to all 
residents at the Community Technology Center, shown in figure 5, at no 
cost, and high-speed Internet access to homes and businesses will be 
available for purchase. The grant will also provide tribal members 
training in computer use and maintenance. Tribal officials told us that 
after the first 2 years of operation, they expect to earn sufficient 
revenue from system subscribers to fund needed maintenance and 
improvements. 

Figure 5: Coeur d'Alene Community Technology Center (April 2005): 

[See PDF for image] 

[End of figure] 

Mescalero Apache: 

The Mescalero Apache in New Mexico used RUS loans to overcome financial 
barriers and establish their own telecommunications company. The tribe 
also borrowed equipment from an equipment manufacturer until it was 
able to purchase its own. Tribal officials told us that their former 
service provider had not invested adequate funds in the 
telecommunications network on Mescalero Apache tribal lands to provide 
high quality voice or data services. They added that, as a result, 
telephone service was poor and high quality voice and data services, 
such as Internet access, were not widely available. The Mescalero 
Apache Tribal Government purchased the telecommunications network from 
the local telephone company that had been providing service on the 
tribal land. The tribe formed Mescalero Apache Telecommunications, Inc. 
(MATI) to develop this network and directed the company to focus on 
providing services to all Mescalero Apache lands and not just on 
maximizing profit. MATI then rebuilt the system, putting in more than 
1,000 miles of fiber-optic cable and providing high-speed Internet 
access as well as local and long distance telephone service. According 
to a MATI official, telephone and high-speed Internet access, such as 
DSL, are now nearly universally available within reservation 
boundaries. MATI has deployed various high-speed Internet access 
services to tribal businesses and schools. Figure 6 shows the Mescalero 
Apache School computer lab which utilizes MATI-provided Internet 
connectivity. 

Figure 6: Computer Lab at the Mescalero Apache School (April 2005): 

[See PDF for image] 

[End of figure] 

Yakama Nation: 

The Yakama Nation in Washington established a long-range plan to 
overcome its financial barriers by using funds saved over the past few 
years through reduction of the tribal government's use of 
telecommunications services from its provider. The tribe is using these 
savings to develop its own telecommunications system to provide 
telephone and high-speed Internet access. The tribe is also using 
monies from the negotiation of utility rights-of-way. The tribal 
government made the decision to develop its own telecommunications 
company several years ago, partly in response to the increase in 
monthly telecommunications charges levied by the local provider, which 
raised the tribe's annual cost from $275,000 to $325,000. At that time, 
the tribe put together a long-range plan that required the tribe to 
reduce its use of the current provider's services, and use the 
resulting savings to develop its own system. A tribal official told us 
that long-range financial planning and careful budgeting have been 
important to the tribe's success and that infrastructure has been 
purchased or installed each year based on what the tribe could afford. 
Since 1998, the tribe has used annual savings from reduced telephone 
services and funds from other services to establish a 
telecommunications company, and then purchase related equipment. The 
tribe was able to purchase this fiber optic cable at 25 percent of its 
retail price and negotiated with a local contractor to install the 
fiber at a price far below the market rate. The tribe plans to sell the 
equipment necessary to connect to the new telecommunications system to 
tribal members and tribal businesses. 

Eastern Band of Cherokee: 

The Eastern Band of Cherokee in North Carolina overcame financial 
barriers by partnering with another local business to build a fiber 
optic cable network throughout and beyond its tribal lands to provide 
high-speed Internet access and transport. The Eastern Band of 
Cherokee's tribal lands are located in the Smokey Mountains and are 
geographically isolated from major metropolitan areas that have 
Internet access points. As a result, it is expensive to connect 
infrastructure in the area to the nearest high-speed Internet access 
points. A tribal official told us that the tribe's service provider did 
not expand or upgrade the telecommunications infrastructure on tribal 
lands because the provider did not find the additional investment in 
infrastructure to be profitable. (The provider representative told us 
that providing DSL to most parts of the reservation would not be 
profitable as the land is rugged and rural, and to connect many of 
those who live out in remote rural areas would require an investment 
that would be difficult to justify.) A tribal official told us that one 
example of the poor service quality is an outage that occurred within 
the past year. All communications services were unavailable for 48 
hours in 6 counties because a cut was made in the company's copper 
wire. Since the system has no backup provision, there was no service 
until the cut was repaired. The Cherokee told us their casino lost 
millions of dollars during the outage, and that the loss for the region 
as a whole was estimated at $72 million. To improve service and offer 
residents on tribal lands high-speed Internet access, the tribe 
partnered with a local corporation that provides electronic income tax 
filing services, and had also suffered financial loss from the recent 
outage. Together, the tribe and the corporation are constructing a 
fiber optic cable network, both on and off tribal lands. Figure 7 shows 
fiber being deployed for this network. The Eastern Band of Cherokee and 
their partner have formed a company that will act as both a wholesaler 
and a retailer of telecommunications services. A company official told 
us that because of the cost of putting in the fiber and the low density 
of the service area, a private, for-profit company would never have 
made this level of investment. Officials of the tribe and the company 
told us that the tribe will use its ownership in these networks and 
future planned deployment of cable and wireless infrastructure to 
ensure that all residents of tribal lands can receive high-speed 
Internet, VoIP (Voice over Internet Protocol), and other information 
and content applications at costs and quality levels comparable to or 
better than metropolitan areas.[Footnote 55] 

Figure 7: Fiber Deployment on Eastern Band of Cherokee Reservation 
(April 2005): 

[See PDF for image] 

[End of figure] 

Some Tribes Have Focused on Wireless Technologies to Address Barriers 
of Rural Location and Rugged Terrain and Limited Financial Resources: 

Several tribes we interviewed have focused their efforts on wireless 
technologies to help address the barriers of tribal lands' rural, 
rugged location and tribes' limited financial resources, with funding 
for these efforts coming from both public and private sources. Service 
providers and equipment manufacturers told us that wireless service is 
often less expensive to deploy across large distances than wireline 
service because wireless infrastructure, such as a tower, is less 
expensive to deploy than a wireline infrastructure. 

Examples of tribes focusing on wireless technologies include the 
following: 

* Several tribes have deployed shared spectrum wireless networks to 
provide high-speed Internet access.[Footnote 56] For example, the 
Southern California Tribal Chairman's Association (SCTCA), a consortium 
of 17 federally recognized tribes, received a grant from a private 
foundation to establish a wireless network, called the Tribal Digital 
Village Network (TDVNet), to provide high-speed Internet access to all 
17 tribes. SCTCA tribes are located in Southern California in remote 
and hilly terrain and scattered across 150 square miles. In addition to 
its low cost, TDVNet utilizes shared spectrum technologies because the 
equipment can operate on solar power. This is particularly important in 
remote areas where electrical power may not be available. TDVNet staff 
are also developing Voice over Internet Protocol (VoIP) capabilities to 
provide telephone service over high-speed Internet access in those 
tribal communities where the deployment of wireline service is cost 
prohibitive. The Coeur d' Alene and the Washoe Tribe of Nevada and 
California are deploying similar networks. 

* Service provider officials in Alaska told us that satellite 
telecommunications systems are the only telecommunications options to 
provide telephone service for many Alaska Native Villages because the 
vast distances from these areas to existing infrastructure make 
wireline systems too expensive to install.[Footnote 57] A major Alaska 
service provider is utilizing a combined satellite and shared spectrum 
wireless network to extend high-speed Internet access to many Alaska 
Native Villages. 

In addition, 2 tribes we visited addressed their need for improved 
telecommunications services by encouraging wireless companies to 
compete with wireline providers for customers on their lands. In both 
cases, the wireless companies have obtained status as an ETC and are 
able to obtain universal service funds, particularly the High Cost Fund 
and Enhanced Lifeline and Enhanced Linkup, to profitably provide 
service in these areas. 

Oglala Sioux: 

The Oglala Sioux in South Dakota encouraged a wireless company to 
provide service in the area in order to improve services and reduce the 
cost of telephone service to the tribal land customers. According to 
tribal and wireless service provider officials, the key to developing 
this solution was the wireless provider's ability to use universal 
service funds to help subsidize the costs of its network and offer 
discounted telephone service to tribal land residents. To access 
universal service funds, the wireless provider, with consent from the 
tribe, applied to FCC for ETC status, which was granted in 2001, 
enabling the wireless provider to access universal service funds. The 
tribe also worked with the provider to create an expanded local calling 
area that included all areas of the reservation and the town of Rapid 
City, South Dakota. According to a tribal official, the addition of 
Rapid City, South Dakota, as part of the local calling area was an 
important cost-saving measure for the tribe because a significant 
number of Oglala Sioux live in the Rapid City area. 

According to tribal and service provider officials, this wireless 
service allows tribal members to reach public safety services from 
nearly any location on tribal lands. A tribal official said that this 
is particularly important due to the tribe's large land area, remote 
location, and the summer and winter weather extremes in the area. The 
tribal official also told us that the wireless provider initially 
anticipated having about 300 customers on the Oglala Sioux's Pine Ridge 
Indian Reservation land, but had about 4,000 customers within 1 year of 
offering service. 

Navajo Nation: 

The Navajo government has encouraged 2 wireless providers to offer 
services on Navajo lands in competition with wireline providers. The 
Navajo Nation encourages providers to deploy wireless 
telecommunications networks because providing wireline 
telecommunications throughout the Navajo Nation is cost prohibitive due 
to the tribe's large land area, which is about the size of West 
Virginia. Census data indicate that residents on Navajo lands in 
Arizona, New Mexico, and Utah are among the most economically 
distressed groups in the United States. Tribal officials told us that 
competition is the best method to lower prices and improve services. 
One wireless provider has been able to access universal service funds 
to make service more affordable. Officials from wireless companies told 
us that access to universal service program funds combined with the use 
of less costly wireless technologies provides a viable business case 
for entry onto Navajo lands. 

Some Tribes Are Addressing the Need for More Technically-Trained Tribal 
Members Through Mentoring and Partnerships: 

Some tribes we visited discussed ways they were developing technical 
expertise in telecommunications, while others spoke of the importance 
of the technical expertise they had, particularly in helping them plan 
for telecommunications improvements. 

Addressing Need for More Technically-Trained Tribal Members: 

Tribal, industry, and government stakeholders said that training in 
telecommunications technologies provides tribal members with some of 
the necessary skills to operate the tribes' own telecommunications 
networks. Several tribal officials told us that having staff with the 
technical expertise necessary to plan and manage telecommunications 
improvements was critical to their efforts. However, less than half of 
the tribal officials we interviewed told us that their tribes have 
developed telecommunications plans or estimated the cost of planned 
improvements. 

One tribe that has taken steps to get needed technical training is the 
Coeur d'Alene Tribe. The tribe plans to provide two colleges with 
access to its new high-speed Internet system in exchange for distance 
learning classes and technical training. Similarly, the Yakama Nation 
has proposed to connect a local university to its telecommunications 
system in exchange for technical training for its staff. A Yakama 
official emphasized that having trained staff to manage and maintain 
the telecommunications system once it is operational is very important, 
and the tribe determined that this kind of exchange with a local 
university would help provide the staff with the necessary training. 

The Mescalero Apache Tribe has improved its technical capacity by 
hiring technically trained staff, and has created a technical mentoring 
program. MATI hired tribal and non-tribal members to operate its 
telephone company. Although about half of MATI's staff consists of non- 
tribal members, tribal officials expect to hire more tribal members as 
they receive the necessary training. Many of the employees who are not 
tribal members are experienced and technically proficient. MATI has 
created a mentoring program partnering the experienced and technically 
trained employees with newer employees. The goal is to create a self- 
sufficient tribal staff with the knowledge to understand and operate a 
telecommunications network. In addition, the company offers technical 
consulting services to other tribes that are interested in providing 
their own telecommunications network. 

MATI also hosts an annual telecommunications conference for tribes and 
municipal governments to inform them about the basics of 
telecommunications finance and technology. In addition, MATI has used 
its technical expertise to explore new ways to deploy 
telecommunications services. Figure 8 shows MATI's Voice over Internet 
Protocol service platform that it utilizes as a means to send voice 
conversations over the Internet. 

Figure 8: MATI's Voice over Internet Protocol Equipment (April 2005): 

[See PDF for image] 

[End of figure] 

To address the current lack of computer and Internet knowledge among 
its tribal members, the Coeur d'Alene Tribe plans to provide training 
and Internet access at the Community Technology Center as long as their 
budget permits. Those attending training will be assisted by the 
recently hired technical staff in repairing and refurbishing computers 
that belonged to tribal offices, and will be allowed to keep the 
computers for home use once the work is complete. The Yakama Nation and 
Eastern Band of Cherokee also plan to train tribal members in computer 
and Internet use at an existing tribal technology center. 

Using Technical Expertise for Effective Planning: 

Officials of several tribes told us that having staff with technical 
expertise was critical to their efforts to plan their 
telecommunications. For example, a tribal official of the Rincon Band 
of Luiseno Mission Indians of the Rincon Reservation, told us that a 
tribal member with technical knowledge determined the need for improved 
Internet access and identified the appropriate technology (wireless 
broadband). He also identified a funding opportunity to bring high- 
speed Internet access to 17 Southern California tribes, most of which 
did not have Internet access because of geographic barriers and 
prohibitive infrastructure costs. 

Officials of 14 of the 38 tribes and tribal organizations we 
interviewed told us that they have developed a technology plan. An 
official of the Coeur d'Alene Tribe told us that plans are important to 
ensure that tribes have selected technologies that are appropriate for 
their tribal needs and geography. All 6 of the tribes we visited are 
taking actions to improve their telecommunications based on plans they 
developed. 

Most of the tribal officials we interviewed told us that their tribes 
do not have cost estimates for improving telecommunications. The Coeur 
d'Alene tribal official told us that determining the cost of new 
systems and making plans to pay for these improvements is important. 
This official added that plans should not only include information 
about how to finance the system, but should also describe the means to 
pay for training of staff so they will have the technical expertise 
required to maintain and manage the current or proposed system. For 
example, Yakama Nation and Coeur d'Alene tribal officials stated that 
they designed telecommunications systems that will produce revenue from 
customers sufficient to pay for improvements, maintenance, and 
technically trained staff. 

One Tribe is Developing a Right-of-Way Policy to Make the Tribal 
Approval Process More Timely and Efficient: 

Navajo Nation officials and service providers told us that the Navajo 
Nation's right-of-way approval process is time consuming and expensive, 
which has delayed or deterred the deployment of telecommunications 
infrastructure on Navajo land. For example, an official from one 
service provider told us that this tribal approval process impedes 
service because the timeline for obtaining tribal council approval 
varies for each right-of-way application, tribal departments can differ 
on the goals and price of the right-of-way, and it takes extra time for 
these departments to reach consensus. A Navajo official agreed that 
their right-of-way processes can delay deployment of telecommunications 
infrastructure and increase its cost because timelines vary for each 
application. Another official told us that a major reason for this slow 
process is that tribal entities involved in Navajo's internal rights- 
of-way process have different opinions on the goals and price of 
telecommunications rights-of-ways. For example, some tribal officials 
expect high up-front rights-of-way fees based on their experiences for 
granting rights-of-way for natural resources like coal, which would 
typically produce a higher revenue stream than 
telecommunications.[Footnote 58] 

To address this issue, Navajo officials are developing an approach to 
reduce the time and expense required to obtain tribal consent for a 
telecommunications right-of-way across their land. The Navajo Nation 
Telecommunications Regulatory Commission (NNTRC) has drafted a policy 
to streamline tribal consent for telecommunications rights-of-way. 
(Figure 9 shows the NNTRC's headquarters in Window Rock, Arizona.) One 
of NNTRC's functions is to decrease the barriers service providers 
encounter while deploying telecommunications infrastructure on the 
land. Through information gathering sessions between commissioners and 
service providers, the commission determined that the Navajo process 
for the approval of telecommunications rights-of-way needed to be 
changed because the deployment of telecommunications services was being 
delayed. In order for NNTRC to make changes to the Navajo right-of-way 
process, the Tribal Council first granted NNTRC full authority over 
telecommunications issues, such as rights-of-way for telecommunications 
infrastructure. 

Figure 9: NNTRC's headquarters in Window Rock, AZ (April 2005): 

[See PDF for image] 

[End of figure] 

To address the barriers service providers encounter with the Navajo 
right-of-way process, NNTRC drafted a policy that grants NNTRC the sole 
responsibility for providing tribal approval for a right-of-way. This 
would allow "one stop shopping" for the service providers, who would no 
longer have to coordinate with multiple tribal departments and offices. 
According to a Navajo official, this policy is currently being reviewed 
for approval by several of their tribal government departments. 
Following this approval process, NNTRC intends to implement this 
policy. 

In addition, NNTRC officials stated that there is a more feasible price 
structure for telecommunications rights-of-way that better reflects the 
market value of telecommunications rights-of-way. This price structure 
would include an upfront payment covering the market value of the land 
plus an additional percent of future earnings from the equipment. The 
officials told us that this type of arrangement would assist the 
service provider's business case because the provider would have to 
release less capital in the beginning of the project, while offering 
telecommunications services to Navajo residents. Once the 
infrastructure begins to produce a revenue stream and has a viable 
business case, the Navajo Nation would receive a percentage of these 
funds for the life of the infrastructure. 

Conclusions: 

Under the principles of universal service, as established by Congress, 
FCC has recognized the need to promote telecommunications deployment 
and subscribership on tribal lands. Despite improvements in both 
deployment and subscribership of telecommunications services, as of 
2000, Native Americans on tribal lands still lag significantly behind 
the rest of the nation. The underlying cause of this problem is 
difficult to determine because of a paucity of current information 
about both deployment and subscribership of telecommunications for 
Native Americans on tribal lands. Moreover, this lack of adequate data 
makes it difficult for FCC and Congress to assess the extent to which 
federal efforts designed to increase telecommunications deployment and 
subscribership on these lands is succeeding. 

One difficulty we found relates to a statutory provision in the 
Communications Act which precludes some tribal libraries from 
benefiting from a universal service program. The current statutory 
provision does not allow tribal libraries to obtain E-rate funding for 
libraries unless the tribal library is eligible for assistance from a 
state library administrative agency under LSTA. In at least two cases, 
tribes have not applied for E-rate funds because their tribal libraries 
are not eligible for state LSTA funds. However, FCC has stated that it 
cannot modify the eligibility criteria in the statute. Clarifying this 
issue could help bring high-speed Internet access to more residents of 
tribal lands through their tribal libraries. 

In reviewing how some tribes are addressing barriers to improving 
telecommunications services on tribal lands, we found that tribes took 
a variety of approaches for addressing these barriers, suggesting that 
flexibility in planning and implementing telecommunications 
improvements on tribal lands is important. Because circumstances vary 
widely, we do not know the extent to which other tribes and Alaska 
Native Villages may be able to benefit from the experiences of these 
six. However, given that many tribes and Alaska Native Villages face 
similar barriers, policy makers working to assist tribes and Alaska 
Native Villages in improving telecommunications may want to consider 
the approaches employed by these tribes. 

Matters for Congressional Consideration: 

Congress should consider directing FCC to determine what additional 
data is needed to help assess progress toward the goal of providing 
access to telecommunications services, including high-speed Internet, 
for Native Americans living on tribal lands; determine how this data 
should regularly be collected; and report to Congress on its findings. 

To facilitate Internet access for tribal libraries, Congress should 
consider amending the Communications Act of 1934 to allow libraries 
eligible for Library Service and Technology Act funds provided by the 
Director of IMLS to either a state library administrative agency or to 
a federally recognized tribe to be eligible for funding under the E- 
rate program. 

Agency Comments: 

We provided a draft of this report for comment to BIA, the Census 
Bureau, NTIA, FCC, General Services Administration, Institute of Museum 
and Library Services, and RUS. BIA provided written comments, presented 
in appendix IV, stating that BIA recognized the need to update its 
rights-of-way regulations to include advanced telecommunications 
infrastructure, and is working to include this in its trust related 
regulations. BIA stated that it will issue a Rights-of-Way Handbook in 
March 2006, to ensure consistent application of existing regulations. 
RUS and the General Services Administration responded that they had no 
comments. The Institute of Museum and Library Services provided written 
comments, found in appendix V, stating that the report accurately 
reflected its understanding of the relevant issues and concerns. NTIA 
offered technical comments, as did the Census Bureau and FCC, which we 
have incorporated where appropriate. In the draft report, we 
recommended that the Chairman of the Federal Communications Commission 
direct FCC staff to determine what additional data is needed to help 
assess progress toward the goal of providing access to 
telecommunications services, including high-speed Internet, to Native 
Americans living on tribal lands; determine how this data should be 
regularly collected; and report to Congress on its findings. In oral 
comments responding to our recommendation, FCC agreed that additional 
data is needed to help assess progress toward the goal of providing 
access to telecommunications services, including high-speed Internet. 
However, FCC did not agree that it is the organization best positioned 
to determine the data needed in this context, noting that other federal 
agencies and departments possess expertise and more direct 
authorization to determine whether and what economic and demographic 
data are needed to support policy making. In view of FCC's disagreement 
with our recommended action, we have made it a matter for Congressional 
consideration. We continue to believe that FCC, as the agency 
responsible under the Communications Act for the goal of making 
available, as far as possible, telecommunications at reasonable charges 
to all Americans, is the appropriate agency to determine what data is 
needed to advance the goal of universal service and support related 
policy decisions--especially for Native Americans on tribal lands who 
continue to be disadvantaged in this regard. 

As agreed with your offices, unless you publicly announce the contents 
of this report earlier, we plan no further distribution of it until 30 
days after the date of this letter. At that time, we will send copies 
of this report to the appropriate congressional committees, tribal 
organizations and governments, Bureau of Indian Affairs, Census Bureau, 
Economic Development Administration, Federal Communications Commission, 
General Services Administration, Indian Health Service, Institute of 
Museum and Library Services, National Science Foundation, National 
Telecommunications and Information Administration, Rural Utilities 
Service, Universal Service Administrative Company, and the Director of 
the Office of Management and Budget. We will make copies available to 
others upon request. In addition, this report will be available at no 
cost on the GAO web site at [Hyperlink, http://www.gao.gov]. If you 
have any questions about the report, please contact me at (202) 512-
2834 or [Hyperlink, goldsteinm@gao.gov]. Contact points for our Office 
of Congressional Relations and Public Affairs may be found on the last 
page of this report. GAO staff who contributed to this report are 
listed in appendix VI. 

Signed by: 

Mark L. Goldstein: 
Director, Physical Infrastructure Issues: 

[End of section] 

Appendixes: 

Appendix I: Scope and Methodology: 

The objectives of this report were to determine: 1) the status of 
telecommunications subscribership (telephone and Internet) for Native 
Americans on tribal lands in the lower 48 states and Alaska; 2) federal 
programs available for improving telecommunications services on tribal 
lands; 3) the barriers that exist to improving telecommunications on 
tribal lands; and 4) how some tribes have addressed these barriers. 

To respond to the objectives of this report, we gathered information 
from a variety of sources. Specifically, we gathered information by (1) 
reviewing material relevant to telecommunications on tribal lands from 
federal, state, Native American, academic, non-profit, and private 
sources; (2) interviewing federal and state regulatory agency 
officials; (3) interviewing officials of national and regional Native 
American organizations; (4) interviewing officials of 
telecommunications provider and equipment manufacturer organizations; 
(5) conducting telephone interviews of tribal officials on 26 tribal 
lands and 12 Alaska regional native non-profit organizations; and (6) 
making site visits to six tribal lands. 

To provide information on the status of telecommunications 
subscribership for Native Americans on tribal lands in Alaska and the 
lower 48 states, we analyzed data from the 2000 decennial census. To 
determine telephone subscribership, we used Census 2000 data product, 
American Indian and Alaska Native Summary File. This summary file 
includes tabulations of the population and housing data collected from 
a sample of the population (within most Native American and Alaska 
Native areas, 1 in every 2 households). In these areas, there must be 
at least 100 people in a specific group, including Native American and 
Alaska Native tribal groupings, before data will be shown. In our 
analysis of this 2000 Census data we did not include Native individuals 
or households located in Oklahoma Tribal Statistical Areas (OTSA). 
OTSAs are statistical entities identified and delineated by the Census 
in consultation with federally recognized Native American tribes in 
Oklahoma that do not currently have a reservation, but once had a 
reservation in that state. Boundaries of OTSAs are those of the former 
reservations in Oklahoma, except where modified by agreements with 
neighboring tribes for data presentation purposes. We also excluded all 
other tribal lands in the Census 2000 data that were not federally 
recognized. As a result of these exclusions and the Census reporting 
threshold, the data show 198 lower 48 tribal lands and 131 Alaska 
Native Villages for people who indicated their race, alone or in 
combination, as American Indian and/or Alaska Native. We assessed the 
reliability of the data from the Census Bureau by interviewing 
knowledgeable agency officials about data collection methods, 
particularly those pertaining to collection of data on tribal lands, 
reviewing existing documentation on Census data, and conducting 
electronic testing of the data. We determined that the data were 
sufficiently reliable for the purposes of this report. 

To determine the status of Internet subscribership on tribal lands, we 
spoke to the Census Bureau about the Current Population Survey (CPS). 
The CPS is a monthly survey of households conducted by the Census 
Bureau for the Bureau of Labor Statistics, and is designed primarily to 
produce national and state estimates for characteristics of the labor 
force. To obtain national and state estimates on Internet 
subscribership rates, supplemental questions on Internet and computer 
use have been added to the CPS questionnaire. However, the CPS sample 
cannot provide reliable estimates of Internet subscribership on tribal 
lands. 

To determine the availability of federal programs that improve 
telecommunications on tribal lands, we interviewed agency officials 
from the Federal Communications Commission (FCC), the Universal Service 
Administrative Company (USAC), the Rural Utilities Service (RUS), the 
National Telecommunications and Information Administration (NTIA), the 
Bureau of Indian Affairs (BIA), the Economic Development Administration 
(EDA), the Indian Health Service (IHS), the Institute of Museum and 
Library Services (IMLS), the National Science Foundation (NSF) and the 
General Services Administration (GSA). To determine the funding amounts 
for these programs, we reviewed annual federal budget data and agency 
documents. To learn about FCC programs targeted to tribal lands, we 
interviewed tribal officials, FCC staff, and service providers. To 
learn the amount of funds disbursed and number of program subscribers 
for Enhanced Lifeline and Enhanced Linkup, we obtained information from 
the Universal Service Administrative Company. To assess the reliability 
of the FCC's data for the Enhanced Lifeline and Enhanced Linkup 
programs, we interviewed agency officials knowledgeable about the data 
and the systems that produced them. The FCC does not track this 
information by tribal lands; however, we determined that the data were 
sufficiently reliable to present the total amount of money disbursed by 
year and the total number of subscribers to these programs by year. 

To assess the reliability of FCC's data on Tribal Land Bidding Credits, 
we interviewed agency officials knowledgeable about the data and the 
systems that produced them. We determined that the data were 
sufficiently reliable for the purposes of our report. 

To learn what barriers exist to improve telecommunications services on 
tribal lands, we analyzed information from various federal agencies, 
such as the Census Bureau, FCC, the Department of Commerce, as well as 
reports from a private foundation, the Benton Foundation and a national 
tribal organization, the National Congress of American Indians. We 
reviewed two previous studies of telecommunications technology on 
tribal lands. We also reviewed testimony from hearings before the 
Senate Committee on Indian Affairs and the House of Representatives 
Committee on Financial Services and Committee on Resources. We 
conducted interviews with national and regional tribal organizations, 
major local service providers, selected wireless equipment 
manufacturers, and non-profit organizations that have contributed to 
improving telecommunications on tribal lands. Finally, we conducted 
interviews with officials of 26 tribes and 12 Alaska regional native 
nonprofit organizations. 

We selected officials of tribal lands for interviews by first 
separating the Alaska Native Villages from the federally recognized 
reservations in the lower 48 states because telecommunications 
infrastructure in Alaska differs from that of the lower 48 due to 
Alaska's weather and terrain. To learn about the barriers facing Alaska 
Native Villages and the efforts to overcome them, we interviewed 
officials from 12 Alaska regional native nonprofit organizations. To 
learn about the barriers facing tribes in the lower 48 states, we 
interviewed tribal officials from a total of 26 of the more than 300 
tribal lands of the lower 48 states, selected by using demographic and 
economic indicators from both 1990 and 2000 Census data for natives and 
nonnatives, as well as information from various reports, studies and 
testimonies on individual tribal efforts to improve telecommunications. 

To select tribes in the lower 48 states to interview, we focused on the 
larger and more populated tribal lands in the lower 48 states, using 
Census data to select those tribes with populations over 100 persons 
and those tribal lands larger than one square mile. We also excluded 
tribal lands for which there was no 1990 Census data because without 
this data we could not identify change in telephone subscribership 
rates from 1990 to 2000. We then grouped the remaining tribal lands 
into 8 population categories, ranging in size from over 30,000 to under 
500. Having postulated that the major barriers to increased telephone 
subscribership might be associated with poverty, geographic isolation, 
and lack of technical skills, we used the 1990 and 2000 Census data to 
determine for each of these tribal lands the percent of the population 
at or below the poverty level, the mileage of tribal lands from the 
closest population center of over 15,000, the percent of those over 25 
without a high school diploma, and the change in telephone 
subscribership rate from 1990 to 2000. We selected tribal lands from 
each of the 8 population groups with a range of scores on the above 
described criteria. Within the group of tribal lands that met the above 
criteria, we also strove to select tribal lands, where possible, from 
different geographic regions of the county. Using this methodology, we 
selected 21 tribal lands for interview. We used data from the 1990 and 
2000 decennial censuses' American Indian and Alaska Native summary 
file. 

In addition to the 21 tribal lands selected, we also selected five 
tribal lands that had made efforts to improve telecommunications. We 
learned about these tribes from our analysis of documents from FCC, a 
national tribal organization, scholars and nonprofit organizations, as 
well as from our interviews with tribes, tribal organizations, service 
providers and equipment manufacturers. Tribes' efforts included 
establishing tribally owned telecommunications companies, introducing 
new technologies to provide Internet access, developing programs to 
provide technical training for tribal members, and establishing a 
tribal regulatory agency to improve telecommunications, including the 
rights-of-way processes on tribal land. 

The telephone interviews conducted with officials from these 26 tribal 
lands and 12 Alaska regional native nonprofit organizations covered 
topics such as which companies provide wireline and wireless telephone 
service and Internet access on tribal lands; what factors contributed 
to any change in telephone subscribership rates from 1990 to 2000 (as 
derived from Census data); any barriers tribes faced in improving 
telecommunications services on tribal lands; how those barriers had 
been addressed; tribes' experience with applying for various federal 
programs and with providers seeking Eligible Telecommunications Carrier 
status or applying for Tribal Lands Bidding Credits. 

Based on our analysis of the compiled research and interviews, we 
determined that tribes faced barriers in one or more of the following 
four categories: financial, geographic, technical, or rights-of-way. 
From our interviews, we identified 11 tribes as potential candidates 
for site visits because they were confronting one or more of these four 
barriers, had made progress in improving telecommunications services on 
their lands, and as a group, represented a range of population and 
tribal land sizes, as well as geographic locations. We then selected 6 
of these tribes for site visits, assuring that, as a group, they 
represented all of the identified barriers and were located in 
different geographic regions of the lower 48 states. In addition to 
interviewing tribal officials at the six sites we visited, we also 
interviewed officials of some of the companies that provided 
telecommunications service to those sites regarding their views about 
the barriers to improving telecommunications services on tribal lands. 

We conducted our audit work from August 2004 through December 2005 in 
Washington, D.C., and at the Coeur D'Alene Tribe of the Coeur D'Alene 
Reservation, Idaho; Confederated Tribes and Bands of the Yakama Nation, 
Washington; Eastern Band of Cherokee Indians of North Carolina; Oglala 
Sioux Tribe of the Pine Ridge Reservation, South Dakota; Mescalero 
Apache Tribe of the Mescalero Reservation, New Mexico; and Navajo 
Nation in Arizona, New Mexico, and Utah. Our work was conducted in 
accordance with generally accepted government auditing standards. 

[End of section] 

Appendix II: List of Tribes, Alaska Regional Native Nonprofit 
Organizations, and Other Groups Interviewed: 

A. Native American Tribes in the Lower 48 States: 

Blackfeet Tribe of the Blackfeet Indian Reservation of Montana; 
State: MT. 

Brighton Reservation of the Seminole Tribe of Florida; 
State: FL. 

Coeur D'Alene Tribe of the Coeur D'Alene Reservation; 
State: ID. 

Confederated Tribes of the Warm Springs Reservation of Oregon; 
State: OR. 

Confederated Tribes and Bands of the Yakama Nation; 
State: WA. 

Dresslerville Colony of the Washoe Tribe of Nevada and California; 
State: NV, CA. 

Eastern Band of Cherokee Indians of North Carolina; 
State: NC. 

Fort McDowell Yavapai Nation; 
State: AZ. 

Grand Portage Band of the Minnesota Chippewa Tribe; 
State: MN. 

Ho-Chunk Nation of Wisconsin; 
State: WI. 

Kaibab Band of Paiute Indians of the Kaibab Indian Reservation; 
State: AZ. 

Mescalero Apache Tribe of the Mescalero Reservation; 
State: NM. 

Mississippi Band of Choctaw Indians; 
State: MS. 

Navajo Nation; 
State: AZ, NM, UT. 

Northern Cheyenne Tribe of the Northern Cheyenne Indian Reservation; 
State: MT. 

Oglala Sioux Tribe of the Pine Ridge Reservation; 
State: SD. 

Paiute-Shoshone Indians of the Bishop Community of the Bishop Colony; 
State: CA. 

Pueblo of Picuris; 
State: NM. 

Pueblo of Santa Clara; 
State: NM. 

Quileute Tribe of the Quileute Reservation; 
State: WA. 

Rincon Band of Luiseno Mission Indians of the Rincon Reservation; 
State: CA. 

San Carlos Apache Tribe of the San Carlos Reservation; 
State: AZ. 

Three Affiliated Tribes of the Fort Berthold Reservation; 
State: ND. 

Tuscarora Nation of New York; 
State: NY. 

White Mountain Apache Tribe of the Fort Apache Reservation; 
State: AZ. 

Winnebago Tribe of Nebraska; 
State: NE, IA. 

B. Alaska Regional Native Non-Profit Organizations. 

Aleutian Pribilof Island Association. 

Association of Village Council Presidents. 

Bristol Bay Native Association. 

Central Council. 

Chugachmuit. 

Cook Inlet Tribal Council. 

Copper River Native Association. 

Fairbanks Native Association. 

Kawerak, Incorporated. 

Kodiak Area Native Association. 

Maniilaq Association. 

Tanana Chiefs Conference. 

C. Other Groups Interviewed. 

Affiliated Tribes of Northwest Indians. 

Alaska Communications Systems Group Inc. 

American Indian Higher Education Consortium. 

American Distance Education Consortium. 

American Indian Library Association. 

BalsamWest FiberNET, LLC. 

Bay Area Research Wireless Network. 

BellSouth Corporation. 

Bill & Melinda Gates Foundation. 

California State Library. 

Cheyenne River Sioux Tribe Telephone Authority. 

Cingular Wireless, LLC. 

Crown Castle International, Corp. 

CTIA-The Wireless Association. 

Dandin Group, Inc. 

GCI, Inc. 

Golden West Telecommunications. 

Intelsat, Ltd. 

Iridium, LLC. 

Lukas, Nace, Gutierrez, & Sachs. 

Mescalero Apache Telecommunications, Inc. 

Metaswitch. 

Mobile Satellite Ventures, LP. 

Montana State Library. 

Motorola, Inc. 

National Congress of American Indians. 

National Indian Telecommunications Institute. 

Nations Connect of America. 

Native Networking Policy Center. 

Navajo Communications Company, Inc. 

North Dakota State Library. 

Oklahoma Department of Libraries. 

Olympic Technology, Inc. 

OnSat Network Communications, Inc. 

Organization for the Promotion and Advancement of Small 
Telecommunications Companies. 

Pew Internet & American Life Project. 

Power Line Communications Association. 

Proxim Corporation. 

Qwest Communications International, Inc. 

Regulatory Commission of Alaska. 

Sacred Wind Communications, Inc. 

San Carlos Apache Telecommunications Utility, Inc. 

SBC Communications, Inc. 

Smith Bagley, Inc. 

Solectek. 

South Dakota Public Utilities Commission. 

Space Data, Corp. 

Sprint Corporation. 

Sprint PCS. 

TelAlaska, Inc. 

Terabeam Wireless. 

United Utilities. 

United Power Line Council. 

Verizon Communications, Inc. 

Western Wireless, LLC. 

Source: GAO. 

[End of table] 

[End of section] 

Appendix III: Six Tribes' Efforts to Address Telecommunications 
Barriers: 

We visited six tribes--the Coeur d'Alene of Idaho, the Yakama of 
Washington, the Eastern Band of Cherokee of North Carolina, the 
Mescalero Apache of New Mexico, the Oglala Sioux of South Dakota, and 
the Navajo of Arizona, New Mexico, and Utah--to determine how they 
approached their particular barriers to improving their 
telecommunications services. These tribes vary in size, geography, and 
other characteristics. In addition, we discussed approaches to 
overcoming barriers with officials of other tribes, service providers, 
and other entities, and found that tribes use numerous approaches to 
overcome the barriers they face. The approaches taken by a tribe often 
address more than one barrier. 

The Coeur d'Alene Tribe Developed a System to Provide High-Speed 
Internet Access for Tribal Residents Using an RUS Grant: 

The Coeur d'Alene, whose tribal lands cover 523 square miles in 
northern Idaho, used an overall strategy of developing the tribe's own 
system to provide high-speed Internet access for tribal members. Within 
this telecommunications strategy, the tribe's particular approaches 
included applying for and obtaining an RUS grant, negotiating for 
rights-of-ways, and developing technical expertise. 

Background: 

The Coeur d'Alene's tribal lands are located about 27 miles from Coeur 
d'Alene, Idaho, the nearest population center of 15,000 or more 
inhabitants. According to the 2000 Census, 1,303 Native Americans were 
living on the Coeur d'Alene lands. The estimated per capita income for 
Native Americans on Coeur d'Alene lands was $10,267, or less than half 
the national estimate of $21,587, while the poverty level was 28 
percent, 15.6 percent above the national estimate of 12.4 percent. The 
unemployment level was 18 percent, or 12.2 percent above the national 
unemployment level of 5.8 percent. 

Barriers: 

According to tribal officials, the tribe's major barriers to improved 
telecommunications services included the following: 

Financial: Many tribal residents are poor and a tribal official said 
many cannot afford high-speed Internet service. This official told us 
that the Coeur d' Alene face an underemployment problem, as many people 
are employed but are paid low wages and have little money to spend on 
communications services. This official also told us that in addition, 
the tribe itself does not have the funds to pay for telecommunications 
equipment and services for its residents. 

Geographic: Service providers have not expanded the telecommunications 
infrastructure across the tribe's lands or upgraded the infrastructure 
to provide high-speed Internet access, partly because the large land 
area consisting of hilly and mountainous terrain makes expansion of the 
infrastructure expensive. According to a Coeur d'Alene tribal official, 
service providers determined that the cost of infrastructure expansion 
or improvement was too great to offer service to a limited number of 
tribal land residents, many of whom could not afford high speed 
Internet access. 

Lack of tribal technical capacity: A tribal official told us that the 
tribe does not have a sufficient number of technically knowledgeable 
staff members to develop and maintain needed telecommunications 
systems. 

Rights-of-way: This became an issue for the tribe after it decided to 
put up its own wireless system. Tribal officials told us that they 
could not afford to pay the prices asked by some landowners and 
residents within reservation boundaries for rights-of-way to locate 
equipment on their land. 

Approaches: 

To obtain better telecommunications services, the tribe decided to 
develop its own telecommunications system that would offer high-speed 
Internet access to all residents. One of the tribal members who had 
received technical training and was knowledgeable about high-speed 
Internet access determined that such access was possible at affordable 
rates and that the tribe's large and rugged land area made a wireless 
system the least expensive choice. According to a tribal official, high-
speed Internet access will improve access to business and educational 
opportunities, telemedicine services, and better enable the tribe to 
preserve its language and history. 

Since the tribe did not have sufficient funds to develop a 
telecommunications system on its own, the technically trained tribal 
member applied for an RUS Community Connect grant. This type of grant 
can be used for expenditures for a wide array of infrastructure and 
related needs, such as household and business connection equipment as 
well as the construction of a community technology center. In May 2003, 
the tribe was awarded a $2.8 million grant that will be used to pay for 
five towers, fiber optic cable, equipment to send and receive wireless 
signals for all tribal households and businesses, technical staff to 
deploy and operate the system for 3 years, operational costs, and the 
community technology center. As of July 2005, the system was complete 
and operating. The technically trained tribe member is now managing the 
system. 

Once the tribe received the grant, it had to overcome the barriers of 
1) obtaining rights-of-way in order to locate equipment and 2) 
developing a technically knowledgeable staff to eventually operate the 
planned system. Rather than paying for rights-of-way across private 
land, the tribe acquired the rights-of-way they needed for access roads 
and equipment in exchange for connections to the system. To address the 
current lack of technical knowledge among tribal residents, the tribe 
is working with two local colleges to increase its technical knowledge. 
The tribe is offering the college access to its new broadband system in 
exchange for distance learning classes and technical training. The 
tribe has also made plans to receive technical training from the 
Mescalero Apache Tribe, which owns its own system and provides training 
in telecommunications. In addition, to increase interest among tribal 
members in Internet access and computer usage, the tribal government 
plans to provide tribal members with training and Internet access at 
the tribe's community technology center for as long as its budget will 
allow. Those attending training will be assisted by the recently hired 
technical staff in repairing and refurbishing computers that belong to 
the tribe and are no longer needed. They will be allowed to keep the 
computers for home use once the work is complete. 

Services are being offered for free for 2 years to the Benewah Medical 
Center, local libraries, fire and police departments on tribal land, as 
well as tribal and local public schools. The system will also make 
telemedicine services available so that those who are uninsured or 
underinsured can obtain the expertise of physicians not located on 
tribal lands. In addition, tribal members and non-tribal members will 
have high-speed Internet access at the community center at no cost. 
However, there will be a fee for high-speed Internet access to homes 
for tribal and non-tribal members living within reservation boundaries. 
Tribal officials told us that, after the first 2 years of operation, 
they expect to earn sufficient revenue from subscribers within tribal 
boundaries to fund needed maintenance and improvements, as well as 
offset the costs of operating the Community Technology Center. 

Additionally, tribal officials told us that they are planning to 
purchase a local cable company to acquire the company's lines and the 
rights-of-way that the company has negotiated across land within 
reservation boundaries. The tribe is hoping to use revenue from the 
broadband Internet system to provide broadband through cable services 
to current and future customers. Tribal officials expect the broadband 
services to attract businesses and are planning to provide technical 
support to new businesses on tribal lands, such as writing software. 

The Yakama Nation Is Developing a Wireless Telephone System and High- 
Speed Internet over Cable Using Financial Planning to Help Deploy 
Infrastructure: 

The Yakama Nation, whose lands encompass 2,153 square miles in south 
central Washington, is developing its own telecommunications system 
that will offer wireless telephone and high-speed Internet access to 
all tribal land residents. The tribe has developed a long-range plan to 
finance development through savings accumulated over several years, 
mainly by reducing the amount of services purchased from the incumbent 
telecommunications provider and negotiating rights-of-way for 
telecommunications infrastructure. 

Background: 

The Yakama Nation's tribal lands are located about 24 miles from 
Yakima, Washington, the nearest population center of 15,000 or more 
inhabitants. According to the 2000 Census, 31,646 residents were living 
on Yakama tribal lands, 7,756 of them being Native Americans. Estimated 
per capita income for Native Americans on Yakama lands was $8,816 or 
less than half the national estimate of $21,587, while the poverty 
level was 31 percent, 18.6 percent above the national estimate of 12.4 
percent. Unemployment levels were 23 percent, or 17.2 percent above the 
national unemployment level of 5.8 percent. 

Barriers: 

According to the tribal official with whom we spoke, the tribe's major 
barriers to improved telecommunications services included the 
following: 

Financial: According to the tribal official, in the past few years, the 
tribe's main industry, timber, has not done well, and unemployment 
rates and poverty have been above the national average. Many residents 
cannot afford telephone service and some of those who are not connected 
cannot afford the installation cost to become connected to the current 
infrastructure. The tribal official told us that many tribal members 
cannot afford a computer or Internet access, and the Internet access 
that is available is mostly low-speed dial-up service. The tribal 
official also said that the in the past few years, the local service 
provider had raised its recurring monthly charges, resulting in an 
annual bill to the tribe of $325,000, an increase of $50,000 in annual 
costs, which was difficult for the tribal government to afford. 

Geographic: While many tribal residents in the more heavily populated 
areas have access to telephone service, the tribal official told us 
that the tribe's service provider has not built additional 
infrastructure to reach less populated areas and has no plans to do so 
in the near future. In addition, the tribal member told us that the 
service provider had established calling zones that make calls from one 
part of the reservation to another long distance. This has increased 
the cost of telephone service for both residents and the tribal 
government. 

Lack of Tribal Technical Capacity: The tribal official stated that the 
tribe does not have a sufficient number of technically knowledgeable 
tribal members to develop and maintain needed telecommunications 
systems. 

Approaches: 

The Yakama Nation is addressing these barriers by developing its own 
telecommunications system that will provide wireless telephone service 
and high-speed Internet access to the tribal government and the 
community at large. The tribal official told us that seven years ago, 
the tribe determined that it could improve telecommunications services 
by forming its own company, offering telecommunications services to 
tribal residents and tribal businesses as well as other homes and 
businesses, both on and off tribal lands. This official also said the 
tribe has developed a business plan to receive its license from the 
state of Washington to operate as a competitive local exchange carrier, 
allowing it to sell its services. The tribal official told us the 
system will improve education by providing high-speed Internet access 
to tribal schools and offer residents greater access to jobs and 
business opportunities. The tribal official also told us that although 
the system is not yet complete, the Yakama Tribal Government buildings 
are now connected to each other through a Local Area Network (LAN) and 
have high-speed Internet access. This level of service has reduced the 
fees the tribe pays to the local service provider, allowing the tribe 
to increase the funding available for developing its own telephone 
telecommunications system. 

To overcome the funding barrier, the tribe put together a long-range 
plan that required the tribe to reduce its use of the current 
provider's services and then use the savings to develop its own system. 
Since 1998, the tribe has used annual savings from reduced telephone 
services and funds from other services to establish a 
telecommunications company and then purchase needed equipment. The 
technically trained tribal member who headed the planning and 
development of this system told us that because of the downturn in the 
telecommunications sector in the past few years and the long-range 
plans the tribe had made, the tribe was able to purchase surplus fiber 
at 25 percent of its retail price. In addition, the tribe was also able 
to negotiate with a local contractor for installation of the fiber at a 
price far below market rates. The tribal official told us that long- 
range financial planning and careful budgeting have been important to 
the tribe's success and that infrastructure has been purchased or 
installed each year based on what the tribe could afford. 

The tribe is addressing its lack of technical capacity in a number of 
ways. The tribe has proposed to connect a local university to its 
telecommunications system in exchange for technical training. In 
addition, the tribe plans to train residents in computer and Internet 
use at an existing tribal technology center. The tribal official 
emphasized that determining how the tribe could afford the cost of 
trained staff to manage and maintain the system once it is operational 
was a very important part of their planning. The tribe determined that 
the system could produce revenue to pay for technically trained staff 
and necessary maintenance by offering wireless telephone and high-speed 
Internet access to areas adjacent to tribal lands. 

The tribe plans to erect additional towers; offer homes and businesses 
the opportunity to purchase equipment to connect to the system; and 
connect the tribally-owned system to the public switched 
network.[Footnote 59] The tribal official told us that several 
locations are available to connect to the public switched network and 
they will select the location that offers the tribe the best price. The 
tribal official estimates that the system will be complete in 1 to 2 
years. 

Eastern Band of Cherokee Partnered with Local Business to Install, Own 
and Operate Telecommunications Networks for High-Capacity Transmission 
Services: 

The Eastern Band of Cherokee, whose tribal lands cover about 82 square 
miles in the Smoky Mountains of western North Carolina, has improved 
telecommunications infrastructure and services, particularly high- 
capacity transmission and Internet-based services, by deploying two 
fiber networks --a tribally-owned fiber-optic ring within the 
reservation area, and a jointly-owned fiber optic network in three 
states. To build these networks, Eastern Band of Cherokee partnered 
with a local business, provided part of the funding, and is applying 
for a USDA RUS loan jointly with their partner company. 

Background: 

The Eastern Band of Cherokee's tribal lands are located about 33 miles 
from Asheville, North Carolina, the nearest population center of 50,000 
or more inhabitants. According to the 2000 Census, there were 6,132 
Native Americans living on Eastern Band of Cherokee's tribal land. The 
estimated per capita income for Native Americans on Eastern Band of 
Cherokee lands was $12,248, somewhat more than half the national 
estimate of $21,587, while the poverty level was 24 percent, 11.6 
percent above the national estimate of 12.4 percent. The unemployment 
level was 9 percent, or 3.2 percent above the national unemployment 
level of 5.8 percent. 

Barrier: 

Tribal officials told us that the major barrier to improved 
telecommunication services the Eastern Band of Cherokee faced was: 

Geographic: Tribal lands are geographically isolated by the Smokey 
Mountains and there is low population density in the area. According to 
a tribal telecommunications company official, prices for fiber-optic 
transmission networks and high-speed Internet access points are many 
times higher than in major metropolitan areas, where such connections 
are plentiful and competitively priced. A major contributor to the high 
cost of service is the transmission of data. This official said that 
voice, data, and Internet traffic from this rural mountain community 
must be hauled long distances for aggregation and connection to the 
national backbones of telecommunications and Internet service 
providers. The carriage provided by the local telephone company is 
priced at rates that are distance sensitive, making them some of the 
highest in the state. However, according to a tribal official, despite 
the local provider's prices, the provider's current telecommunications 
infrastructure on Eastern Band of Cherokee's tribal lands is out of 
date and malfunctions frequently, causing interruptions in service. 

Approach: 

To improve access to fiber-optic infrastructure and to lower the cost 
of transmission for Internet service providers, as well as for schools, 
hospitals, rural clinics, government agencies and residents on tribal 
lands, the tribe constructed two fiber-optic networks. The first is a 
network that provides access within the reservation; the second is a 
network that provides an interconnecting network through parts of three 
states and is referred to as a middle-mile network. According to one of 
the tribal telecommunications company officials we interviewed, the 
middle-mile network is a very high-capacity network that can move large 
amounts of information at high speeds with plenty of capacity for 
future growth. This official told us that to deploy this middle-mile 
network, the tribe partnered with a private firm, one of the largest 
electronic tax filers in the United States and one of the largest 
employers in the region after the tribe. Together, they formed a joint 
venture company to construct, own, and operate the network. The company 
official also told us that the joint venture company leases dark fiber 
[Footnote 60] and also operates as a certificated competitive local 
exchange carrier and interexchange carrier in three states. The 
networks support very high capacities for real-time, interactive 
applications such as three-dimensional modeling and simulation. The 
company also offers open access to its dark fiber on short-term and 
long-term leases (up to 20 years) to any requesting entity and sells 
its fiber and services at rates pegged to the wholesale rates being 
charged in large metropolitan areas. 

The company official stated that system deployment began in September, 
2003, with completion expected by the end of 2005 and will consist of 
about 257 miles of underground fiber optic cable. A tribal official 
told us the tribe wanted to help attract new businesses to the area as 
well as help existing companies modernize and expand. Of equal 
importance to the tribe are improvements and enhancements in government 
services, health care and education, and residential Internet access. A 
telecommunications company official told us the joint venture has 
already begun providing wide-area data and Internet transmission 
services for a four-site hospital system in the area, greatly reducing 
the hospital system's costs and providing throughput speeds of only 6 
seconds for transmission of x-ray images between sites. 

Officials of the tribe and the company told us that the tribe will use 
its ownership in these networks and future planned deployment of cable 
and wireless infrastructure to ensure that all residents of tribal 
lands can receive high-speed Internet, VoIP (Voice over Internet 
Protocol), and other information and content applications at costs and 
quality levels comparable to or better than metropolitan areas. The 
tribe is currently planning facilities and programs for computer 
training laboratories for tribal members to learn about computers, 
networks, and the Internet, and is also planning for workforce 
retraining programs. 

The Mescalero Apache Purchased the Local Telecommunications Company and 
Improved Services Using RUS Loans: 

The Mescalero Apache reservation covers 719 square miles and is located 
in south eastern New Mexico. The Mescalero Apache addressed their 
telecommunications issues by purchasing the local telephone company 
with the help of RUS loans and developing initiatives to improve the 
tribe's technical capacity to provide telephone service and high-speed 
Internet access. 

Background: 

According to the 2000 Census, there were 2,932 Native American 
residents living on Mescalero Apache land. The estimated per capita 
income for Native American residents was $7,417, slightly more than one-
third the national estimate of $21,587, while the level of poverty was 
37 percent, 24.6 percent above the national estimate of 12.4 percent. 
The unemployment level was 17 percent, 11.2 percent above the national 
unemployment level of 5.8 percent. 

Barriers: 

According to tribal officials, before the Mescalero Apache purchased 
the local telecommunications company, the tribes' major barriers to 
improving telecommunications service included the following: 

Geographic: The size of the reservation makes the deployment of 
wireline infrastructure expensive and the small number of tribal 
residents limits the ability of the service providers to recoup their 
investment. Tribal officials told us that the former local service 
provider was unwilling to upgrade the telecommunications network on the 
Mescalero Apache reservation to provide high-quality voice or data 
services. 

Lack of Tribal Technical Capacity: In 1995, the tribal Council passed a 
resolution stating the tribe's intention to purchase the former 
telephone service provider's network. However, the tribe did not have a 
sufficient base of technically knowledgeable tribal members to operate 
the former provider's telephone network. 

Approaches: 

To overcome these barriers, the tribal government purchased the former 
wireline service provider's network on the reservation. The tribal 
government then formed the company, Mescalero Apache 
Telecommunications, Inc. (MATI), to develop this network to provide 
higher quality telecommunications services than previously available. 
MATI then rebuilt the network by installing more than 1,000 route miles 
of fiber optic cable to provide high-speed Internet access as well as 
local and long distance telephone service. According to a MATI 
official, telephone and high-speed Internet access are now nearly 
universally available within the reservation and Gigabit Ethernet, 
which is nearly 1,000 times faster than DSL, has been deployed to the 
Mescalero casino. In addition, this MATI official told us that the 
number of residential telephone subscribers on the Mescalero Apache 
tribal lands has increased from 10 per cent to 97 percent since these 
improvements were made to the network. 

To address the geographic issue, the MATI official said that the tribal 
government instructed MATI to focus on providing services to the 
reservation rather than maximizing profit, which could limit investment 
in services. 

Additionally, MATI utilizes various approaches to improve its technical 
capacity to offer higher quality services. Specifically, it developed 
strategic relationships and training to improve the staff's technical 
capabilities to operate telecommunications technologies. For example, 
the MATI official told us that when MATI was starting to provide 
service, MATI was able to borrow a switch from a manufacturer. 
Currently, MATI has an agreement with a VoIP equipment manufacturer to 
deliver voice calls over the Internet. This agreement has allowed MATI 
to begin to deploy this technology to customers outside the reservation 
over a shared spectrum wireless network. The MATI official said that 
this relationship has also allowed MATI to train their personnel on the 
use of this equipment. 

The MATI official also told us that MATI created a technical mentoring 
program to build tribal telecommunications capacity. Although about 
half of MATI's staff consists of non-tribal members, tribal officials 
expect to hire more tribal members as they receive technical training 
and non-tribal members retire. Newer tribal staff are paired with 
experienced non-tribal staff for the purpose of learning 
telecommunications technologies. The MATI official said that the goal 
is to create a self-sufficient tribal knowledge base to understand and 
operate the telecommunications network. This official said that MATI's 
development of its technical capabilities has also allowed it to offer 
technical consulting services to other tribes that are interested in 
providing their own telecommunications network. For example, Coeur 
d'Alene tribal officials told us that they plan to use MATI staff to 
train some of their telecommunications staff and increase the tribe's 
technical capacity to operate a telecommunications network. The MATI 
official also told us that MATI hosts an annual telecommunications 
conference for tribes and municipal governments to inform them about 
the basics of telecommunications finance and technology. 

The Oglala Sioux Partnered With a Wireless Provider to Create 
Competition and Increase Telephone Subscribership: 

Oglala Sioux lands cover approximately 3,150 square miles and are 
located in southwestern South Dakota. To improve telecommunications 
services on their tribal lands, the Oglala Sioux partnered with Western 
Wireless Corporation (now merged with Alltel), a wireless service 
provider, to offer wireless phone service on their lands in competition 
with the wireline provider. According to tribal and Western Wireless 
officials, access to the Universal Service High Cost Fund and Enhanced 
Link-Up and Lifeline programs allows Western Wireless to recover some 
infrastructure deployment costs and offer discounted telephone service 
to residents of the Oglala Sioux's Pine Ridge Indian Reservation. 

Background: 

The Oglala Sioux tribal lands are located in southwestern South Dakota, 
about 80 miles south of Rapid City, South Dakota, the nearest 
population center of 50,000 or more inhabitants. According to the 2000 
Census, 14,334 Native Americans were living on these tribal 
lands.[Footnote 61] The estimated per capita income for Native 
Americans was $5,624, slightly more than one-quarter the national 
estimate of $21,587, while the poverty level was 55 percent, more than 
40 percent above the national estimate of 12.4 percent. The 
unemployment level was 37 percent, or 32.2 percent above the national 
unemployment level of 5.8 percent.[Footnote 62] 

Barriers: 

According to tribal and industry officials, the tribe's major barriers 
to improved telecommunications services included the following: 

Financial: According to a tribal official, tribal members have limited 
financial resources to purchase telecommunications services. Census 
data indicate that the Pine Ridge Indian Reservation is one of the most 
economically distressed tribal lands in the United States. Over one 
half the population falls below the federal poverty line while 
unemployment is more than six times the national estimate. 

Geographic: The Pine Ridge Indian Reservation is geographically 
isolated and has a low population density, which according to the 
tribal official, has limited the number of companies interested in 
providing telecommunications services. According to the 2000 Census, 
approximately 14,000 Oglala Sioux were living on the 3,150 square mile 
reservation, an area about one and half times the size of Delaware. The 
tribal official also told us that geographic isolation of the Pine 
Ridge Indian Reservation also meant that it was difficult for tribal 
members to reach public safety services when traveling through remote 
areas of the reservation. 

Approaches: 

To overcome these barriers, the Oglala Sioux partnered with a wireless 
service provider to offer wireless phone service to residents of the 
Pine Ridge Indian Reservation. The Oglala Sioux Tribe and the wireless 
provider signed a service agreement to formalize this partnership. The 
agreement defined the provider's responsibilities to provide wireless 
phone service and the tribe's responsibilities and rights to advertise 
the service and receive leasing fees for the wireless towers on its 
land.[Footnote 63] 

According to a tribal official and provider officials, the key to 
deploying wireless service on the Pine Ridge reservation was the 
provider's ability to access federal universal service funds to 
subsidize its network costs (High Cost fund) and offer discounted 
telephone service (Enhanced Link-Up and Lifeline). In order to access 
these funds, the provider, with consent from the Oglala Sioux Tribe, 
applied for and received an eligible telecommunications carrier (ETC) 
designation from FCC in 2001. This enabled the provider to access High 
Cost funds as well as the Enhanced Link-Up and Lifeline programs, which 
lower the costs of telephone service for low-income customers. 

The provider deployed several towers in diverse areas of the 
reservation to provide wide-spread coverage. The tribe also worked with 
the provider to create an expanded local calling area for its customers 
that included all areas of the reservation as well as Rapid City, South 
Dakota. According to a tribal official, the addition of Rapid City as 
part of the local calling area was an important cost-saving measure for 
the tribe because a significant number of Oglala Sioux live in the 
Rapid City area. 

A tribal official told us that wireless telephone service has improved 
public safety and the general quality of telecommunications service on 
the Pine Ridge reservation. According to tribal and provider officials, 
tribal members can reach public safety services, such as 911, from 
nearly any location on the reservation. According to a tribal official, 
this is particularly important due to the summer and winter temperature 
extremes on the reservation. The wireline service provider officials 
also noted that the wireless provider's presence as a competitor has 
helped to sharpen their focus on providing high-quality services. A 
tribal official told us that the wireless provider initially 
anticipated having about 300 customers on Oglala Sioux tribal lands, 
but had about 4,000 customers within 1 year of offering service. 

The Navajo Nation is Addressing Telecommunications Barriers by 
Streamlining Tribal Government Processes, Encouraging Competition, and 
Emphasizing Wireless Technologies: 

The Navajo Nation is the largest federally recognized tribe and tribal 
land in the United States. According to the 2000 Census, the Navajo 
Nation covers over 24,000 square miles, an area roughly the size of 
West Virginia, and extends into the states of Arizona, New Mexico and 
Utah.[Footnote 64] To improve telecommunications on their lands, the 
Navajo are streamlining the tribal rights-of-way process to aid service 
providers; encouraging competition in order to improve prices and 
service quality; and emphasizing wireless technologies better suited to 
the geography of the tribal land. 

Background: 

The Navajo Nation's tribal lands are not located near any major 
metropolitan area. According to the 2000 Census, 176,256 Native 
Americans were living on Navajo tribal lands. The estimated per capita 
income for Native Americans on Navajo lands was $6,801, less than one- 
third the national estimate of $21,587, while the poverty level was 44 
percent, 31.6 percent above the national estimate of 12.4 percent. The 
unemployment level was 26 percent, or 21.2 percent above the national 
unemployment level of 5.8 percent. 

Several telecommunications providers, both wireline and wireless, serve 
the Navajo Nation; however, not all areas within the reservation have 
access to voice or data service. Two providers provide high-speed 
Internet connectivity on parts of the reservation. One of them offers 
DSL to households at various places on the reservation. However, an 
official from this company noted that DSL works best if deployed within 
15,000 feet of the central office, while many residents live beyond the 
15,000-foot limit. The other provider offers high-speed Internet 
connections through satellite at 110 Navajo Nation chapter houses. 
However, one tribal official told us that the tribal chapter house 
connections are not financially sustainable in the long term. All three 
states (Arizona, New Mexico, and Utah) granted a library designation to 
the 110 chapter houses, and all chapter houses were approved by USAC 
for library E-rate funds. This official also stated that the tribe uses 
E-rate funds to pay for about 85 percent of the annual $3 million cost 
for satellite connectivity. However, the official told us that the 
tribe must pay the remaining 15 percent of the cost, or about $450,000, 
and that Navajo officials consider this amount to be a high cost. 

Barriers: 

According to tribal officials, the tribe's major barriers to improving 
telecommunications services include the following: 

Geographic: Geographic isolation has increased the cost of providing 
service on Navajo lands and limited the number of companies interested 
in providing telecommunications services. The distances needed to 
connect communities and homes with copper wires or fiber optic cable 
make wireline telecommunications systems expensive. For example, the 
tribe estimated in 1999 that it cost about $5,000 to connect a new 
wireline subscriber. The installation of wireless infrastructure is 
also expensive due to the vast network of towers and power access 
needed to relay signals around the rugged landscape. Service providers 
have told us the cost of deploying telecommunications infrastructure on 
Navajo lands impedes the provision of services. 

Rights-of-way: According to tribal officials, several factors combine 
to make obtaining rights-of-way across Navajo trust lands difficult, 
and serve as deterrents to extending and improving the tribe's 
telecommunications infrastructure. Both service provider and tribal 
officials told us that the tribal government's process for approving 
rights-of-way across trust lands is time-consuming and expensive. In 
addition, tribal officials told us that obtaining approval of rights- 
of-way from BIA across Indian allotments within tribal boundaries can 
also be very time-consuming and expensive because ownership of these 
lands has been divided among a large number of heirs, and at least 51 
percent of the heirs must approve any change in the status of the land. 
In some cases, the location of many of these heirs is unknown. 

Approaches: 

To address these barriers and improve telecommunications services on 
the reservation, tribal leaders formed the Navajo Nation 
Telecommunications Regulatory Commission (NNTRC). The Navajo Nation 
requires service providers to supply the NNTRC with information about 
their intended service areas, service offerings, and network buildout 
plans. This information allows the NNTRC to review providers' plans for 
providing services and then holds them accountable for fulfilling those 
plans. The NNTRC encourages providers to attend hearings to comment on 
the barriers they encounter to providing telecommunications services. 
As a result, the NNTRC works with the service providers to reduce or 
remove barriers. 

The NNTRC is addressing geographic barriers by encouraging providers to 
deploy wireless telecommunications systems that are more appropriate 
for the Nation's large geographic area. NNTRC is also addressing the 
cost of services on the Navajo Nation by encouraging multiple providers 
to offer services, thus creating competition. NNTRC officials told us 
that competition is the best method to lower prices and improve 
services. Currently, NNTRC works with wireless companies to encourage 
them to extend their service throughout the Navajo Nation. Officials 
from wireless companies serving and seeking to serve the Navajo Nation 
told us that access to universal service program funds combined with 
their use of less costly wireless technologies provides a viable 
business case for their entry onto Navajo lands. 

Tribal officials told us that the NNTRC drafted a rights-of-way policy 
that includes new procedures to make the tribe's process for approving 
rights-of-way more efficient and timely for service providers. 
According to a Navajo official, this policy is currently being reviewed 
for approval by several of their tribal government departments. 
Following this approval process, NNTRC intends to implement this 
policy. 

[End of section] 

Appendix IV: Comments from the Department of the Interior, Bureau of 
Indian Affairs: 

United States Department of the Interior: 
OFFICE OF THE SECRETARY: 
Washington, DC 20240: 

DEC 21 2005: 

Mr. Mark L. Goldstein: 
Director, Physical Infrastructure Issues: 
United States Government Accountability Office: 
441 G. Street, NW: 
Washington, DC 20548: 

Dear Mr. Goldstein: 

The Department of the Interior appreciates the opportunity to provide 
comments on the Government Accountability Office draft report entitled 
Telecommunications: Challenges to Assessing and Improving 
Telecommunications for Native Americans on Tribal Lands (Report No. GAO-
06-189). 

As noted in the report, the Department of the Interior, Bureau of 
Indian Affairs (BIA) grants or approves actions affecting title, 
including rights-of-way, on Indian lands. The BIA recognizes the need 
to update its rights-of-way regulations to include advanced 
telecommunications infrastructure. The BIA is presently working to 
include this in its trust related regulations. In order to ensure 
consistent application of existing regulations, the BIA has developed a 
Rights-of-Way Handbook, which will be issued in March 2006. 

If you require additional information, please contact Mr. Arch Wells, 
Director, Office of Trust Services, Bureau of Indian Affairs, at (202) 
208-5831. 

Sincerely, 

Signed by the: 

Associate Deputy Secretary: 

[End of section] 

Appendix V: Comments from the Institute of Museum and Library Services: 

Institute of Museum and Library Services: 

December 2, 2005: 

Mark L. Goldstein: 
Director, Physical Infrastructure Issues: 
United States Government Accountability Office: 
Washington, DC 20548: 

Re: GAO-06-189 (draft): 

Dear Mr. Goldstein: 

Thank you for providing the institute of Museum and Library Services 
with a copy of GAO's draft report entitled, "Telecommunications: 
Challenges to Assessing and Improving Telecommunications for Native 
Americans on Tribal Lands," We appreciated having an opportunity to 
review the drag and to provide you with our comments. 

On behalf of IMLS, I wanted to let you know that we have reviewed the 
draft and believe it accurately reflects our understanding of the 
relevant issues and concerns. We appreciate the efforts taken by GAO's 
staff to understand and provide recommendations on the matters raised 
in this report.  

If you have any questions, please do not hesitate to contact me. I can 
be reached at 202-(53-4640. 

Sincerely yours, 

Signed by: 

Nancy I. Weiss: 
General Counsel: 

cc: 

Mary L. Chute, Acting Director, IMLS: 
Mamie Bittner, Director of Public and Legislative Affairs, IMLS: 

[End of section] 

Appendix VI: GAO Contact and Staff Acknowledgments: 

GAO Contact: 

Mark L. Goldstein (202) 512-2834 or [Hyperlink, goldsteinm@gao.gov]: 

Acknowledgments: 

In addition to the contact named above, Carol Anderson-Guthrie and John 
Finedore, Assistant Directors; Edda Emmanuelli-Perez, Michele Fejfar, 
Logan Kleier, Michael Mgebroff, John Mingus, Mindi Weisenbloom, Alwynne 
Wilbur, Carrie Wilks, and Nancy Zearfoss made key contributions to this 
report. 

(543112): 

FOOTNOTES 

[1] The national poverty level in 2000 was 12.4 percent. 

[2] 47 U.S.C. § 254. 

[3] S. 535, 109TH Congress (2005). 

[4] OTSAs are statistical entities identified and delineated by the 
U.S. Census Bureau in consultation with federally recognized tribes in 
Oklahoma that do not currently have a reservation, but once had a 
reservation in that state. 

[5] The Census 2000 data in this report are for the American Indian and 
Alaska Native alone or in combination with one or more other races. 
Households are classified by the race of the householder. When the term 
Native American households is used, it refers to the total number of 
occupied housing units where the race of the householder is American 
Indian and/or Alaska Native alone or in combination with one or more 
other races. 

[6] For this report, GAO has defined tribal lands as lands that include 
any federally recognized Indian tribe's reservation, off-reservation 
trust lands, pueblo, or colony, and Alaska Native regions established 
pursuant to the Alaska Native Claims Settlement Act, Pub. L. No. 92- 
203, 85 Stat. 688 (1971) (codified as amended at 43 U.S.C. §§ 1601 et 
seq.) Tribal lands do not include Oklahoma Tribal Statistical Areas, 
and the population figure of 588,000 does not include the 325,000 
Native Americans living on OTSAs. The source of the data that GAO used 
throughout this report was the Census 2000 American Indian and Alaska 
Native Summary File. The term "Native Americans" is used to refer to 
people who identified themselves as American Indians and/or Alaska 
Natives alone or in combination with one or more races. 

[7] In addition, a thirteenth corporation was established later for 
nonresident Alaska Natives. See, 43 U.S.C. § 1606. 

[8] College of Engineering, New Mexico State University, Assessment of 
Technology Infrastructure in Native Communities, prepared at the 
request of the Department of Commerce, Economic Development 
Administration. 

[9] 47 U.S.C. §151. 

[10] Bureau of the Census, Housing of American Indians on Reservations-
-Equipment and Fuels, Statistical Brief, SB/95-11, (Washington, D.C.: 
April 1995). This statistical brief evaluated American Indian 
households on reservations with 500 or more American Indian Households 
that lacked telephone service. 

[11] Federal-State Joint Board on Universal Service; Promoting 
Deployment and Subscribership in Unserved and Underserved Areas, 
Including Tribal and Insular Areas, CC Docket No. 96-45, Twelfth Report 
and Order, Memorandum Opinion and Order, and Further Notice of Proposed 
Rulemaking, 15 FCC Rcd 12208 (2000). 

[12] All telephone subscribership rates in this report are estimates 
derived from a sample collected through the Census 2000. Within most 
American Indian and Alaska Native areas, 1 in every 2 households was 
asked detailed questions on population and housing characteristics, 
such as availability of telephone service. 

[13] Census 2000 data product, American Indian and Alaska Native 
Summary File, includes tabulations of the population and housing data 
collected from a sample of the population (within most American Indian 
and Alaska Native areas, 1 in every 2 households). In these areas, 
there must be at least 100 people in a specific group, including 
American Indian and Alaska Native tribal groupings, before data will be 
shown. As a result of this threshold, even though as of March 2000, 
there were over 550 federally recognized tribes, Census 2000 data shows 
198 lower 48 tribal lands and 131 Alaska Native Villages for people who 
indicated their race, alone or in combination, as American Indian 
and/or Alaska Native. 

[14] The calculations in this section of the report do not include 
Native American households located in Oklahoma Tribal Statistical 
Areas. 

[15] For Census 2000, as in several previous decennial census, two 
forms were used, a short form and a long form. The short form was sent 
to every household, and the long form, containing questions about 
population and housing characteristics, was sent to only a limited 
number of households. The American Community Survey replaced the long 
form questionnaire in the decennial census. The next decennial census 
will only consist of the short form questionnaire. For more information 
on the American Community Survey see GAO, Legal Authority for American 
Community Survey, B-289852 (Washington, D.C.: April 4, 2002), The 
American Community Survey: Accuracy and Timeliness Issues, GAO-02-956R 
(Washington, D.C.: September 30, 2002), American Community Survey: Key 
Unresolved Issues, GAO-05-82 (Washington, D.C.: November 8, 2004). 

[16] Estimates will be based on 5-year average data for tribal lands 
with less than 20,000 people (available in 2010) and 3-year average 
data for tribal lands with populations between 20,000 and 64,999 
(available in 2008). Most tribal lands have less than 20,000 people. 
Tribal lands with populations of 65,000 people or more will have annual 
estimates (available in 2006). 

[17] National Telecommunications and Information Administration, U.S. 
Department of Commerce, A Nation Online: Entering The Broadband Age, 
(Washington, D.C.: September 2004). 

[18] Section 706(c)(1) of the Telecommunications Act of 1996 defines 
advanced telecommunications, without regard to any transmission media 
or technology, as high-speed, switched, broadband telecommunications 
capability that enables users to originate and receive high-quality 
voice, data, graphics, and video telecommunications using any 
technology. See, Pub. L. No. 104-104, Title VII, § 706, Feb. 8, 1996, 
110 Stat. 153, reproduced in the notes under 47 U.S.C. § 157. 

[19] Local Telephone Competition and Broadband Reporting, WC Docket No. 
04-141, Report and Order, 19 FCC Rcd 22340 (2004). Under this Order, 
all facilities-based providers of broadband connections to end users 
are required to report broadband data, all local exchange carriers are 
required to report local telephone service data, and all mobile 
telephone carriers are required to report mobile telephone data. 
Providers subject to the requirements and regulations established in 
the Order had to complete and file the amended form no later than 
September 1, 2005, and semiannually thereafter. 

[20] Inquiry Concerning the Deployment of Advanced Telecommunications 
Capabilities to All Americans in a Reasonable and Timely Fashion, and 
Possible Steps to Accelerate such Deployment Pursuant to Section 706 of 
the Telecommunications Act of 1996, CC Docket No. 98-146, Third Report, 
17 FCC Rcd 2844, para. 24 (2002). 

[21] Local Telephone Competition and Broadband Reporting, 19 FCC Rcd 
22340 (2004). 

[22] RUS was established by the Federal Crop Insurance Reform and 
Department of Agriculture Reorganization Act of 1994. RUS is a 
component of the Department of Agriculture. 

[23] For additional information about these FCC programs, see GAO, 
Telecommunications: Federal and State Universal Service Programs and 
Challenges to Funding, GAO-02-187, (Washington, D.C., Feb. 4, 2002). 

[24] GSA established the Native American Business Center that is 
overseen by GSA's regional office in Denver, Colorado. The purpose of 
the center is to help tribal businesses participate as vendors in GSA 
contracts and assist tribes in accessing GSA contracts. 

[25] There are multiple levels of Lifeline and Link-Up support. The 
lowest level of Lifeline support provides up to $6.50 per month in 
financial assistance, while the highest level (Enhanced Lifeline) 
provides up to $33.25 a month in financial assistance on a monthly 
phone bill for eligible subscribers on tribal lands. There are two 
levels of Link-Up support. The first level provides up to $30 in 
financial assistance for the installation charges for phone services. 
The second level (Enhanced Link-Up) provides up to 100 dollars in 
financial assistance for eligible subscribers on tribal lands. 

[26] According to 2000 Census, the population on tribal lands in states 
with only one tribal land comprises approximately 1 percent of the 
total population on all tribal lands. 

[27] Wireline Competition Bureau Announces Delay of Effective Date for 
Revised Form 497 Used for Low-Income Universal Service Support Until 
Further Notice, WC Docket No. 03-109, Public Notice, 20 FCC Rcd 4395 
(2005). 

[28] Extending Wireless Telecommunications Services to Tribal Lands, WT 
Docket No. 99-266, Report and Order and Further Notice of Proposed 
Rulemaking, 15 FCC Rcd 11794 (2000). 

[29] These figures include the spring 2005 Broadband PCS (Personal 
Communications Services) spectrum auction, the second largest spectrum 
auction conducted in terms of auction revenue bids since the formation 
of the tribal land bidding credit program. Broadband PCS services 
encompass a variety of mobile and fixed radio services with two-way 
data capabilities that compete with existing cellular and specialized 
mobile radio services. 

[30] Eligible Telecommunications Carriers are required to offer 
services that are supported by Federal universal support mechanisms 
including services, such as local telephone service, access to 
emergency services, and operator assistance, and to advertise the 
availability of such services and charges. 47 U.S.C. § 214(e). 

[31] 47 U.S.C. § 214(e)(6). 

[32] However, FCC dismissed two of these applications because the 
applicants were in process or had already been designated as an ETC by 
a state commission. One was from a tribally-owned service provider, 
Cheyenne River Sioux Tribe Telephone Authority (CRSTTA). One was from a 
non-tribally owned provider, Smith Bagley, Inc. 

[33] CRSTTA filed a petition for ETC designation with FCC, however FCC 
dismissed it because the South Dakota Commission had already designated 
CRSTTA as an ETC. 

[34] Smith Bagley Inc. filed a petition for ETC designation to serve 
multiple tribal lands within the Arizona and New Mexico, however FCC 
dismissed it because Smith Bagley had already applied for this 
designation with the Arizona and New Mexico Commissions. 

[35] Federal-State Joint Board on Universal Service; Promoting 
Deployment and Subscribership in Unserved and Underserved Areas, 
Including Tribal and Insular Areas, 15 FCC Rcd 12208, at para. 8. 

[36] Western Wireless Corporation Petition for Designation as an 
Eligible Telecommunications Carrier for the Pine Ridge Reservation in 
South Dakota, CC Docket No. 96-45, Memorandum Opinion and Order, 16 FCC 
Rcd 18145, para. 14 (2001). 

[37] Under the first Montana exception, "[a] tribe may regulate, 
through taxation, licensing, or other means, the activities of 
nonmembers who enter consensual relationships with the tribe or its 
members, through commercial dealings, contracts, leases or other 
arrangements." Under the second Montana exception, "[a] tribe may . . . 
exercise civil authority over the conduct of non-Indians on fee lands 
within its reservation when that conduct threatens or has some direct 
effect on the political integrity, the economic security, or the health 
or welfare of the tribe." 450 U.S. 544, 565, 566 (1981). 

[38] Federal-State Joint Board on Universal Service; Promoting 
Deployment and Subscribership in Unserved and Underserved Areas, 
Including Tribal and Insular Areas, 15 FCC Rcd 12208. The Commission 
committed to resolve, within six months of the date filed, all ETC 
designation requests for non-tribal lands that are properly before it 
under section 214(e)(6). The Commission also committed to resolve 
within six months of release of an order resolving the jurisdictional 
issue, any request for ETC designation on tribal land. See, paras. 151- 
152, 114, and 121, respectively. 

[39] Federal-State Joint Board on Universal Service; Promoting 
Deployment and Subscribership in Unserved and Underserved Areas 
Including Tribal and Insular Areas, CC Docket No. 96-45, Twenty-Fifth 
Order on Reconsideration, Report and Order, Order, and Further Notice 
of Proposed Rulemaking, 18 FCC Rcd 10958, para. 27 (2003). 

[40] The Communications Act of 1934, as amended, provides that a 
library or library consortium not eligible for assistance from a State 
library administrative agency under the Library Services and Technology 
Act (LSTA), 20 U.S.C. § 9121 et seq. would not be entitled to E-rate 
funds. 47 U.S.C. § 254(h)(4). 

[41] 20 U.S.C. § 9141 and 20 U.S.C. § 9162. The Institute of Museum and 
Library Services (IMLS) administers the Library Services and Technology 
Act. 

[42] In the case of a state library, USAC seeks third party 
verification from IMLS. 

[43] The E-rate application does not ask for a tribal designation. 

[44] Section 254 of the Telecommunications Act of 1996 required FCC to 
institute the Federal-State Joint Board on Universal Service. 47 U.S.C. 
§ 254 (a)(1). The board makes recommendations to implement the 
universal service provisions of the Act. The board is comprised of FCC 
commissioners, state utility commissioners, and a consumer advocate 
representative. 

[45] Rural Task Force, The Rural Difference: Rural Task Force White 
Paper 2, (Washington Utilities and Transportation Commission, January 
2000), http://www.wutc.wa.gov/rtf (downloaded August 25, 2005). 

[46] Digital Subscriber Line is a broadband connection that provides 
greater capacity for faster data transmission than can be provided over 
a conventional telephone line. 

[47] Shared spectrum, also known as unlicensed spectrum, allows the 
user to utilize a particular set of radiofrequency spectrum without 
obtaining a license from a spectrum license holder. 

[48] U.S. Congress, Office of Technology Assessment, Telecommunications 
Technology and Native Americans: Opportunities and Challenges, 
(Washington, D.C.: U.S. Government Printing Office, August 1995). 

[49] College of Engineering, New Mexico State University, Assessment of 
Technology Infrastructure in Native Communities, prepared at the 
request of the Department of Commerce, Economic Development 
Administration. 

[50] The term "Indian lands," which includes tribal trust lands and 
Indian allotments, is used in this discussion of rights-of-way because 
the term "tribal lands" used elsewhere in this report encompasses types 
of land not subject to BIA right-of-way approval. 

[51] The Indian Self-Determination and Education Assistance Act 
(ISDEA), as amended, directs Interior, at the request of a tribe, to 
contract with Indian tribes or tribal organizations to carry out the 
services and programs the federal government provides to Indians. 
Therefore, as authorized by the ISDEA, regional nonprofit corporations 
or tribal entities can assume management of the realty function from 
BIA to perform realty services for Indian lands. See, 25 U.S.C. § 450f. 

[52] 25 C.F.R. §169.3 (2005). 

[53] 25 C.F.R §§ 169.22(a), 169.27 (2005). 

[54] See, 25 C.F.R. § 169.3 (2005). 

[55] Voice over Internet Protocol, also called VoIP, is the routing of 
voice conversations over the Internet or any other Internet Protocol 
network. 

[56] As previously noted, shared spectrum allows the user to utilize a 
particular set of radiofrequency spectrum without obtaining a license 
from a spectrum license holder. 

[57] Some stakeholders noted that satellite service has some quality of 
service issues due to a high latency problem caused by the signal 
traveling 22,000 miles out into space to the satellite and back to 
Earth again. This signal delay can make the service unsuitable for 
certain interactive applications. 

[58] Navajo officials and service providers told us that the tribal 
consent process for telecommunications rights-of-way has been dictated 
by tribal regulations for natural resources rights-of-way. The Navajo 
Nation is able to charge a higher price for natural resource rights-of- 
way because the extraction of the resource leads to continuous and high 
revenue streams for the applicant. In contrast, telecommunications 
rights-of-way in rural areas are not likely to yield similar revenue 
streams. Several Navajo officials and service providers told us that 
Navajo's natural resource right-of-way price for a telecommunications 
right-of-way is cost prohibitive, because the service provider's 
revenue from the infrastructure will not justify the installation cost 
of the telecommunications equipment of high rights-of-way fees. 

[59] A public switched network is any common carrier network that 
provides a connection between two or more users such that the users 
have exclusive and full use of the connection. 

[60] Dark fiber refers to fiber optic cable that is in place, but not 
being used. 

[61] The tribal official with whom we spoke at Oglala Sioux told us 
that this number does not coincide with tribal figures, which indicate 
there are almost twice this number of Native Americans living on this 
land. 

[62] The tribal official with whom we spoke said the tribal 
unemployment levels were closer to 80 percent. 

[63] The agreement outlined additional items for each party such as 
revenue sharing between Western Wireless and the Oglala Sioux for 
monies generated from the service. 

[64] According to Navajo officials, based on a tribal estimate, the 
Navajo Nation covers about 27,000 square miles. 

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