Shenandoah Telecommunications Company (Exact Name of Registrant As Specified in Its Charter)
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Shenandoah Telecommunications Company
UNITED STATES OF AMERICA SECURITIES AND EXCHANGE COMMISSION Washington, D. C. 20549 FORM 10-K (Mark One) ☒ ANNUAL REPORT PURSUANT TO SECTION 13 OR 15(d) OF THE SECURITIES EXCHANGE ACT OF 1934 For the fiscal year ended December 31, 2020 ☐ TRANSITION REPORT PURSUANT TO SECTION 13 OR 15(d) OF THE SECURITIES EXCHANGE ACT OF 1934 For the transition period from__________ to __________ Commission File No.: 000-09881 SHENANDOAH TELECOMMUNICATIONS COMPANY (Exact name of registrant as specified in its charter) Virginia 54-1162807 (State or other jurisdiction of incorporation or organization) (I.R.S. Employer Identification No.) 500 Shentel Way, Edinburg, Virginia 22824 (Address of principal executive offices) (Zip Code) (540) 984-4141 (Registrant's telephone number, including area code) SECURITIES REGISTERED PURSUANT TO SECTION 12(B) OF THE ACT: Common Stock (No Par Value) SHEN NASDAQ Global Select Market 49,932,073 (The number of shares of the registrant's common stock outstanding on (Title of Class) (Trading Symbol) (Name of Exchange on which Registered) February 23, 2021) SECURITIES REGISTERED PURSUANT TO SECTION 12(G) OF THE ACT: NONE Indicate by check mark if the registrant is a well-known seasoned issuer, as defined in Rule 405 of the Securities Act. Yes ☒ No ☐ Indicate by check mark if the registrant is not required to file reports pursuant to Section 13 or Section 15(d) of the Exchange Act. Yes ☐ No ☒ Note - Checking the box above will not relieve any registrant required to file reports pursuant to Section 13 or 15(d) of the Exchange Act from their obligations under those Sections. -
Broadband to Make Key Transitions in 2020
INDUSTRY ANALYSIS Broadband to Make Key Transitions In 2020 Large incumbent telcos, independent telcos, cable operators and electric cooperatives set bold broadband plans for 2020. By Sean Buckley / Broadband Communities s the new year begins, BROADBAND FTTH PENETRATION TO RISE COMMUNITIES is asking industry AT&T, CenturyLink and Verizon furthered Acolleagues what will drive the broadband fiber to the home (FTTH) growth in 2019, a industry in 2020. trend that will continue as providers ramp up Leichtman Research Group (LRG) found new builds and increase penetration. that 82 percent of all U.S. households get internet It’s hard not to notice fiber’s influence on service, of which 96 percent is broadband. broadband. Consider the fact that in 2002, Fiber continues to become a significant only 50,000 U.S. homes had access to fiber factor in the broadband race. Market research connectivity. firm RVA revealed in its North American 2019 Fiber broadband now passes 46.5 million Advanced Broadband Report that broadband unique homes in the United States – about 37 providers had passed 49.2 million homes with percent of total homes – and connects 20.5 fiber, up 17 percent in 2019. million. Unique homes are defined as those with But a key challenge for wireline broadband at least one fiber service marketed. RVA said operators will be how to stay ahead of the this excludes estimates of redundant services impending 5G threat. available to the same home. Jeff Heynen, senior RVA reports the number of homes passed research director for market research firm by fiber has risen 16 percent since 2018. -
T-Mobile Complaint
Case 1:20-cv-10998 Document 1 Filed 05/22/20 Page 1 of 37 IN THE UNITED STATES DISTRICT COURT FOR THE DISTRICT OF MASSACHUSETTS CHICAGO INSTRUCTIONAL TECHNOLOGY FOUNDATION, INC., DENVER AREA EDUCATIONAL TELECOMMUNICATIONS CONSORTIUM, INC., INSTRUCTIONAL Case No. __________________ TELECOMMUNICATIONS FOUNDATION, INC., NORTH AMERICAN CATHOLIC EDUCATIONAL PROGRAMMING JURY TRIAL REQUESTED FOUNDATION, INC., PORTLAND REGIONAL EDUCATIONAL TELECOMMUNICATIONS CORPORATION, TWIN CITIES SCHOOLS’ TELECOMMUNICATIONS GROUP, INC., Plaintiffs, v. CLEARWIRE SPECTRUM HOLDINGS II LLC, CLEARWIRE LEGACY LLC f/k/a CLEARWIRE CORPORATION, T-MOBILE US, INC., Defendants. COMPLAINT Plaintiffs Chicago Instructional Technology Foundation, Inc., Denver Area Educational Telecommunications Consortium, Inc., Instructional Telecommunications Foundation, Inc., North American Catholic Educational Programming Foundation, Inc., Portland Regional Educational Telecommunications Corporation, and Twin Cities Schools’ Telecommunications Group, Ind. by and through their undersigned attorneys, allege upon personal knowledge and belief as follows: NATURE OF THE ACTION 1. Plaintiffs seek injunctive relief to stop Defendants from unlawfully pirating their spectrum and damages from Defendant T-Mobile US, Inc. (“T-Mobile”) for its wrongful taking of Case 1:20-cv-10998 Document 1 Filed 05/22/20 Page 2 of 37 that spectrum. Plaintiffs are six nonprofit organizations that have been granted more than 60 licenses by the Federal Communications Commission (“FCC”) to operate Educational Broadband Service (“EBS”) channels in the 2.5 GHz spectrum band for educational purposes in markets across the country. In furtherance of their educational purposes, Plaintiffs agreed in July 2006 to lease their excess EBS spectrum capacity (“Spectrum”) to Defendants Clearwire Spectrum Holdings II LLC and Clearwire Legacy LLC (together, “Clearwire”) for commercial use over a thirty-year term. -
United States Securities and Exchange Commission Washington, D
“We recognized that a shift was occuring in consumer mindset from some of the extravagances of the previous few years to a focus on value.” 1 Virgin Mobile USA 2008 Annual Report 2008 WAS A TRANSFORMATIONAL YEAR AT VIRGIN MOBILE USA. In late 2007 we began to see early signs of the global recession in our customer base. As gas prices began to rise and budgets tightened, our customers cut back on their mobile usage in order to optimize spending. We recognized that a shift was occuring in consumer mindset from some of the extravagances of the previous few years to a focus on value. At Virgin Mobile USA, we have always focused on providing value and fl exibility to our customers, allowing them to change plans according to their budgetary needs so they can get the most from their wireless service. We realized that now more than ever, we needed to emphasize our value proposition and focus our message on the value we off er to consumers. And so we began to implement a number of strategic and operational initiatives in 2008 that focused on value – on the value we bring to consumers, as well as putting the right operational initiatives in place to build shareholder value. Virgin Mobile USA 2008 Annual Report 2 1. CHANGE THE DIRECTION OF OUR HEADLINE NUMBERS 2. DRAMATICALLY IMPROVE OUR COST STRUCTURE 3. OFFER OUR CUSTOMERS A FULL SUITE OF SERVICES, INCLUDING A POSTPAID PRODUCT 4. IMPROVE OUR BALANCE SHEET AND LIQUIDITY As many of our customers had reduced their usage 2008. These initiatives showed an immediate impact due to the emerging economic challenges, we began in the third quarter, helping to improve our gross add 2008 with negative trend lines in many metrics, trend lines from a decline of 10% year over year in including revenues, customer acquisition and Adjusted Q1, to positive 8% growth in Q3 and fl at gross adds in Earnings Before Interest, Taxes, Depreciation and Q4 within a diffi cult retail environment. -
West Virginia Broadband Enhance Council 2020 Annual Report
2020 West Virginia Broadband Enhancement Council 2020 ANNUAL REPORT TO THE WEST VIRGINIA LEGISLATURE Table of Contents 1. Executive Summary ............................................................................................................................... 1 2. Existing, Continuing and New Initiatives ............................................................................................... 2 3. Broadband Mapping ............................................................................................................................. 4 Key Components of the Interactive Mapping System .................................................................. 4 Broadband Advertised Speed Ranges Interactive Map ................................................................ 5 Broadband Development Hub ...................................................................................................... 6 Public Wi-Fi Map ........................................................................................................................... 6 Public Project Development ......................................................................................................... 7 Speed Tiers by County ................................................................................................................... 8 Speed Tiers Statewide ................................................................................................................... 8 Providers Statewide ..................................................................................................................... -
Wireless Emergency Alerts Mobile Penetration Strategy
WIRELESS EMERGENCY ALERTS MOBILE PENETRATION STRATEGY August 2013 Task Lead Daniel Gonzales Task Staff Edward Balkovich Brian Jackson Jan Osburg Andrew Parker Evan Saltzman Ricardo Sanchez Shoshana Shelton Chuck Stelzner Dulani Woods Henry H. Willis Director, Homeland Security and Defense Center National Defense Research Institute Jack Riley Vice President and Director, National Security Research Division Director, National Defense Research Institute Acknowledgments The National Defense Research Institute, a division of the RAND Corporation, performed this analysis for the Department of Homeland Security Science and Technology Directorate. The NDRI team extends its deep appreciation to members of the emergency response and wireless communications communities for their cooperation, information, and feedback; their contributions are the foundation of this report. Further, the NDRI team offers its gratitude to the emergency responders whose dedication and commitment ensure the safety of our families, our communities, and our nation. This report is a tribute to their service. In addition, we would like to extend our appreciation for constructive peer reviews provided by Marvin Sirbu of Carnegie Mellon University and by David Senty. NDRI Publication Number: PR-594-OSD iii Preface The objective of this analysis, performed for the Department of Homeland Security (DHS), Science and Technology Directorate, was to independently assess the coverage and penetration of the Wireless Emergency Alert (WEA) system, and to offer recommendations to improve the availability, coverage, and penetration of WEA to the U.S. public. The intended audience of this report is U.S. government decision makers; commercial mobile service providers; mobile wireless device manufacturers; and federal, state, local, and tribal alert originators. -
HNI Entity 310-010 Verizon Wireless 310-012 Verizon
HNI Entity 310-010 Verizon Wireless 310-012 Verizon Wireless 310-013 Verizon Wireless 310-014 TEST IMSI HNI 310-016 Cricket Communications 310-020 Union Telephone Company 310-030 AT&T Mobility 310-035 ETEX Communications, LP (d/b/a) ETEX Wireless 310-050 Alaska Communications 310-060 Consolidated Telcom 310-070 AT&T Mobility 310-080 AT&T Mobility 310-090 Cricket Communications, LLC 310-100 New Mexico RSA 4 East Limited Partnership 310-110 Pacific Telecom Inc. 310-120 SPRINTCOM, INC. 310-130 Carolina West Wireless 310-140 GTA Wireless LLC 310-150 AT&T Mobility 310-160 T-Mobile USA 310-170 AT&T Mobility 310-180 West Central Wireless 310-190 Alaska Wireless Communications, LLC 310-200 T-Mobile USA 310-210 T-Mobile USA 310-220 T-Mobile USA 310-230 T-Mobile USA 310-240 T-Mobile USA 310-250 T-Mobile USA 310-260 T-Mobile USA 310-270 T-Mobile USA 310-280 AT&T Mobility 310-290 NEP Cellcorp, Inc. 310-300 Blanca Telephone Company 310-310 T-Mobile USA 310-320 Smith Bagley, Inc. dba CellularOne 310-330 Wireless Partners LLC 310-340 Limitless Mobile, LLC 310-350 Verizon Wireless 310-360 Cellular Network Partnership dba Pioneer Cellular 310-370 Docomo Pacific, Inc. 310-380 AT&T Mobility 310-390 TX-11 Acquisition, LLC 310-400 Wave Runner LLC 310-410 AT&T Mobility 310-420 Cincinnati Bell Wireless, LLC 310-430 GCI Communications Corp 310-440 Numerex Corp 310-450 North East Cellular Inc. 310-460 Newcore Wireless 310-470 Sprint 310-480 Wave Runner LLC 310-490 T-Mobile USA 310-500 Public Service Cellular, Inc. -
Spinco to Be Known As Greatland Connections Inc
Filed by Charter Communications Inc. Pursuant to Rule 425 under the Securities Act of 1933 and deemed filed pursuant to Rule 14a-12 under the Securities Exchange Act of 1934 Subject Company: Charter Communications Inc. Commission File No. 001-33664 The following is a joint press release that was issued on September 3, 2014 by Charter Communications, Inc. and Comcast Corporation: SpinCo to be known as GreatLand Connections Inc. STAMFORD, Conn. and PHILADELPHIA - September 3, 2014 - Charter Communications, Inc. (NASDAQ:CHTR) and Comcast Corporation (NASDAQ: CMCSA, CMCSK) today announced the name of the new cable company that will be spun off from Comcast upon completion of the Comcast - Time Warner Cable merger and the Comcast - Charter transactions. The company referred to as “SpinCo” or “Midwest Cable LLC” will be known as GreatLand Connections Inc. “We are pleased to publicly announce the name of this exciting new company we are building,” said Michael Willner, President and Chief Executive Officer of GreatLand Connections. “The name GreatLand Connections pays homage to the rich history and striking geographies of the diverse communities in which the company will operate. It brings to mind our commitment to connecting people and businesses with terrific products and excellent service in the almost 1000 historic communities - large and small - across the 11 states we will serve.” GreatLand Connections Inc., a new, independent, publicly-traded company, will own and operate former Comcast systems serving approximately 2.5 million customers across the Midwest and Southeast. At its inception, it is expected to be the fifth largest cable company in the United States. -
Spectrum Charter Communications, Inc
A Progressive Digital Media business COMPANY PROFILE Charter Communications, Inc. REFERENCE CODE: BD033134-503A-4198-A5F6-FE42651EF54C PUBLICATION DATE: 13 Sep 2017 www.marketline.com COPYRIGHT MARKETLINE. THIS CONTENT IS A LICENSED PRODUCT AND IS NOT TO BE PHOTOCOPIED OR DISTRIBUTED Charter Communications, Inc. TABLE OF CONTENTS TABLE OF CONTENTS Company Overview ........................................................................................................3 Key Facts.........................................................................................................................3 SWOT Analysis ...............................................................................................................4 Charter Communications, Inc. Page 2 © MarketLine Charter Communications, Inc. Company Overview Company Overview COMPANY OVERVIEW Charter Communications Inc. (Charter or "the company") is a cable service provider offering entertainment, information and communications solutions to residential and commercial customers. The company primarily operates in the US. Charter headquartered in Stamford, Connecticut, the US. The company reported revenues of (US Dollars) US$29,003 million for the fiscal year ended December 2016 (FY2016), compared to a revenue of US$9,754 million in FY2015. In FY2016, the company’s operating margin was 11.2%, compared to an operating margin of 10.1% in FY2015. The net profit of the company was US$3,522 million in FY2016, compared to a net loss of US$271 million in FY2015. The company reported revenues of US$10,164 million for the first quarter ended March 2017, a decrease of 1.1% over the previous quarter. Key Facts KEY FACTS Head Office Charter Communications, Inc. 12405 Powerscourt Drive St. Louis Missouri St. Louis Missouri USA Phone 1 314 9650555 Fax 1 302 6365454 Web Address www.charter.com Revenue / turnover (USD Mn) 29,003.0 Financial Year End December Employees 91,500 NASDAQ Ticker CHTR Charter Communications, Inc. -
Memorandum Opinion and Order, Declaratory Ruling, and Order on Reconsideration
Federal Communications Commission FCC 13-92 Before the Federal Communications Commission Washington, D.C. 20554 In the Matter of ) ) Applications of SOFTBANK CORP., Starburst II, ) IB Docket No. 12-343 Inc., Sprint Nextel Corporation, and Clearwire ) Corporation ) ) For Consent to Transfer Control of Licenses and ) Authorizations ) ) Petitions for Reconsideration of Applications of ) ULS File Nos. 0005480932, et al. Clearwire Corporation for Pro Forma Transfer of ) Control ) MEMORANDUM OPINION AND ORDER, DECLARATORY RULING, AND ORDER ON RECONSIDERATION Adopted: July 3, 2013 Released: July 5, 2013 By the Commission: Acting Chairwoman Clyburn and Commissioner Pai issuing separate statements. TABLE OF CONTENTS Heading Paragraph # I. INTRODUCTION.................................................................................................................................. 1 II. BACKGROUND.................................................................................................................................... 5 A. Description of the Applicants .......................................................................................................... 5 1. SoftBank Corp. and Starburst II, Inc......................................................................................... 5 2. Sprint Nextel Corporation ......................................................................................................... 8 3. Clearwire Corporation............................................................................................................ -
Website News Netflix Will Support Charter
Filed by Charter Communications, Inc. Pursuant to Rule 425 under the Securities Act of 1933 and deemed filed pursuant to Rule 14a-12 under the Securities Act of 1934 Subject Company: Time Warner Cable Inc. Commission File No. 001-33335 The following is information made available online in the Charter Resource Center on Charter’s website. WEBSITE NEWS NETFLIX WILL SUPPORT CHARTER ACQUISITION OF TIME WARNER CABLE Originally appeared in Bloomberg By: Alex Sherman July 15, 2015 Netflix Inc. said it will support Charter Communications Inc.’s $55 billion acquisition of Time Warner Cable Inc. in return for settlement-free “peering” until 2018, according to filings the companies sent to the Federal Communications Commission Tuesday. Charter filed a document with the FCC stating that it won’t charge any website to deliver its content more efficiently until at least Dec. 31, 2018. Netflix filed a separate document committing to supporting Charter’s deal for Time Warner Cable announced in May. Netflix opposed Comcast Corp.’s failed bid for Time Warner Cable after reluctantly agreeing last year to pay Comcast for faster access. Click here for more: [http://www.bloomberg.com/news/articles/2015-07-15/netflix-will-support-charter-acquisition-of-time-warner- cable] Posted on July 15, 2015 in News ### WHY NETFLIX IS GETTING BEHIND A HUGE CABLE MERGER Originally appeared in Washington Post By: Brian Fung July 15, 2015 This is huge. Charter just attracted a really important ally in its attempt to purchase Time Warner Cable, making it that much more likely that federal regulators will approve the $55 billion mega-deal. -
Website News
Filed by Charter Communications, Inc. Pursuant to Rule 425 under the Securities Act of 1933 and deemed filed pursuant to Rule 14a-12 under the Securities Act of 1934 Subject Company: Time Warner Cable Inc. Commission File No. 001-33335 The following is information made available online in the Charter Resource Center on Charter’s website. Website News NETFLIX SUPPORTS CHARTER TAKEOVER OF TIME WARNER CABLE Originally appeared in bizjournals.com By: Angela Mueller July 17, 2015 Charter Communications Inc. (NASDAQ:CHTR) has won the backing of Netflix as it seeks regulatory approval of its pending acquisition of Time Warner Cable Inc. (NYSE:TWC), a deal that would merge two of the largest cable companies in the U.S. Netflix Inc. (NASDAQ:NFLX) said in filings with the Federal Communications Commission that it will support Charter's planned acquisition of Time Warner Cable and Bright House Networks in exchange for access to Charter's customers, Bloomberg reports. Charter has announced a new "peering" policy through which it will not charge any website for faster Internet access, a pledge that is important for video-streaming services such as Netflix. In light of the new policy, Netflix has said it will support Charter's acquisition of Time Warner Cable. Netflix opposed Comcast Corp.'s (NASDAQ:CMCSA) previous failed attempt to takeover Time Warner Cable and had been seen by analysts as a potential threat to Charter's deal. Gaining the support of Netflix, a major customer of Charter and Time Warner Cable, could help Charter in its bid to win regulatory approval for its planned acquisition, The Wall Street Journal reports.