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877.688.2200
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"A
Major Positive Impact on Your Profit"
The
FCC’s latest payphone compensation rules require that the completing
carrier (also referred to as SBR) establish a call-tracking system,
and compensate PSP’s for completed, coinless payphone calls and . .
.
The
SBR is required to hire in independent, third-party auditor, attest
that the system accurately tracks payphone calls to completion.
Calls
that are delivered to a switch
but not completed (answered)
are not compensable.
Unfortunately,
many SBR’s are paying inflated amounts for calls delivered but not
completed. Furthermore, both informal complaints to the FCC, suits in
small claims courts, and more serious legal actions have been launched
by PSP billing clearinghouses in their attempts to insure and maximize
revenue for their PSP’s.
Fortunately,
the DAC Audit, while a requirement, has actually solved the overcharge
problem for many carriers.
1.
Critical tool in negotiating settlements w/reduced payments.
2.
Lower PSP payments looking forward
3.
Eliminate the threat of costly actions
Examples
$400,000
in overcharges identified. While
actively engaged in recovery efforts, the carrier now saves $400k/yr
looking forward.
$250,000
PSP invoice reduced by over $100,000.
The
independently produced DAC audit may be a requirement, but it is often
very beneficial to the SBR in terms of expense and liability
reduction.
Contact
us today to discuss your DAC needs. 877.688.2200
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