AFFORDABLE CONNECTIVITY PROGRAM (ACP)

The Affordable Connectivity Program (ACP), formerly the Emergency Broadband Benefit (EBB), is a broadband affordability program that provides a discount of up to $30 per month toward internet service for eligible households and up to $75 per month for households on qualifying Tribal lands. ACP is administered by the Universal Service Administrative Company (USAC) with oversight from the Federal Communications Commission (FCC). Eligible households can also receive a one-time discount of up to $100 to purchase a laptop, desktop computer, or tablet from participating providers. 

For more information, see NDIA blog posts and this resource published by Common Sense. The full legislative text relevant to ACP can be found in the Consolidated Appropriations Act, which establishes EBB, and the Infrastructure Investment and Jobs Act, which directs the transition to ACP. Finally, please see below a list of frequently asked questions from the NDIA community, answered by NDIA policy experts.

Affordable Connectivity Program Frequently Asked Questions

Questions in the below FAQ came from the NDIA community — through webinars, emails, and community listserv conversation. Questions about ACP? Send them to 

If you’d like to be part of ongoing conversations, get insight from the community, or be invited to an ACP working group for subscribers, please join the community here

Eligibility

 

Eligible households on “qualifying Tribal lands” can receive an ACP discount of up to $75 per month. What is the definition of “qualifying Tribal lands?”

ACP uses the same definition for Tribal lands as the FCC’s Lifeline program (as defined in 47 CFR §54.400 (e)). Qualifying Tribal lands include: 

A nationwide map is available showing Tribal lands eligible for enhanced support. See here for more information on the enhanced Tribal benefit and more resources regarding qualifying Tribal lands.

 

Can individuals residing in homeless shelters receive an ACP benefit? 

Yes. The FCC clarifies: 

We note that with respect to homeless shelters, the affordable connectivity benefit is limited to one-per-economic-household, and household is defined as “any individual or group of individuals who are living together at the same address as one economic unit.” An economic unit is further defined as “all adult individuals contributing to and sharing in the income and expenses of a household.” See 47 CFR § 54.1600(l). This definition of household recognizes that more than one economic household can reside at the same address, including in group living facilities such as shelters for unhoused individuals. We note that those living in a group facility such as a homeless shelter who do not share expenses could be considered an individual household that would be eligible for the Affordable Connectivity Program. (Footnote 309 in the Report and Order)

 

Is an applicant who only resides in the community served by a school in the USDA Community Eligibility Provision eligible for ACP? 

No. The applicant needs to have a child enrolled in that school to be eligible for ACP through the USDA Community Eligibility Provision. You can read more about the Community Eligibility Provision in the ACP and the corresponding verifying documentation requirements in items 52 and following in the Report and Order.

Eligible Services & Devices

 

Can consumers “stack” Lifeline and ACP benefits? 

Yes, consumers are allowed to ‘stack’ Lifeline and ACP benefits. These benefits can be applied to the same qualifying service or separately to a Lifeline service and an Affordable Connectivity Program service with the same or different providers.  For example, an eligible household could have a Lifeline-supported mobile phone service and a separate home internet service that is supported through the Affordable Connectivity Program. Consumers can also combine Lifeline and ACP benefits with other state and local benefits where available.

 

Can consumers use their ACP discount on bundled services? 

Yes. The ACP discount can be applied to the cost of a bundle of services that include voice, texting, or associated equipment in addition to internet. However, if your bundle also includes a TV service, you will be responsible for that portion of your bill, as well as any services that are above the monthly discount.  

 

Can consumers apply their ACP discount to grandfathered or legacy internet service plans that they are currently on? 

Yes, eligible consumers can apply their ACP benefit to any broadband internet plan in which they are currently enrolled, even if it is a legacy or grandfathered plan. However, participating providers are not required to offer legacy or grandfathered plans to consumers, including ACP-eligible consumers, that are not already on such plans.

 

Can an ACP consumer use their one-time device benefit on a device offered by a provider other than the provider through which that consumer receives ACP-discounted internet service? 

No. An ACP consumer can only use their one-time device benefit on a device offered by the same provider through which that consumer receives ACP-discounted internet service. Unfortunately, if the provider through which a consumer receives ACP-discounted internet service does not offer a device option, then that consumer cannot use their one-time device benefit. 

 

Under the Affordable Connectivity Program, eligible households can receive a one-time discount of up to $100 to purchase a laptop, desktop computer, or tablet from participating providers if they contribute more than $10 and less than $50 toward the purchase price. Does this mean that the maximum price point for an eligible ACP device would be $149.99? 

Yes. A consumer using the $100 ACP discount on a device must contribute more than $10 but less than $50, making the maximum price point for an eligible ACP device $149.99 (100 + 49.99).

 

Are initial service installation charges waived for ACP consumers? Are there any limits to the amount ACP participating providers can charge for initial service installation? 

No, the ACP rules do not waive the initial service installation charges. However, if the provider charges an ACP household an initial installation fee, it must be charged on the same terms available to households that are not eligible for the ACP.

 

Can the ACP benefit be applied to the initial installation charge?

No. Assuming that the initial service installation fee is a one-time charge, the ACP benefit cannot be applied to the initial installation charge. The ACP benefit can only be applied to a recurring monthly charge. 

 

What if the cost of the initial installation is amortized over monthly payments? Would it then be an eligible cost under ACP?

No. The ACP benefit is a monthly discount off an internet service offering, including taxes and other governmental fees. The Commission’s Order also allows the benefit to be applied to monthly rental costs for associated equipment. The FCC does not read the Commission’s Order or the statute as allowing the ACP benefit to be applied to an initial installation fee that is amortized and appears as a separate monthly charge to consumers.

Application & Enrollment

 

How do I apply for ACP? 

ACP enrollment is generally a two step process. 

First, you need to apply for the ACP by verifying your eligibility for the program. You can 1) complete an eligibility application online through the National Verifier at ACPBenefit.org, 2) print out and mail in a paper eligibility application, or 3) apply directly through a participating internet service provider. 

Second, if your eligibility is approved, you should contact your preferred participating provider to select an eligible plan (and eligible device if that provider offers a device option) and have the discount applied to your bill.

If you are currently enrolled in the Lifeline program, you do not have to apply again for the ACP. Rather, they should reach out to their internet company directly to enroll in ACP and apply your ACP benefit. 

If you do not participate in Lifeline but receive service from a participating provider that has its own low-income program, you may not need to apply for the ACP benefit and should talk to your provider. (Note: This option is only available if the provider obtained approval for its application process from the FCC).

For more resources and information on how to apply for the ACP, see here and here.

 

The list of valid identification verification documents for the National Verifier includes “passport” but does not specify whether the passport must be a US passport. Would a non-expired foreign passport be acceptable proof of identity?

Yes. A non-expired foreign passport should count as proof of identification. 

 

How can households without a conventional postal address indicate their address on the ACP application? 

Consumers who are applying for ACP online will be prompted to create a National Verifier account. When creating a National Verifier account, consumers will need to enter an address. Consumers who do not have a conventional postal address should enter a descriptive address that describes the location of their residence to the best of their ability. Consumers experiencing houselessness can either enter a mailing address of a residence where they are able to receive mail addressed to them, or they can enter a descriptive address that describes the location where they live to the best of their ability. 

An example could look something like this:

” Red house at the intersection of Route 7 and Route 49

Winslow, IL 12345 “

These descriptive addresses will always fail the address check built into the ACP application. Therefore, after creating their National Verifier account and starting an ACP application, consumers must resolve the address error. Consumers can resolve the address error in two ways: 

  1. Online: Consumers applying online can use the tool in the ACP application (see below) to drop a pin on a map to verify the physical location of where they live. Consumers can zoom in on the map and drop the pin to locate where they live. The latitude and longitude coordinates will automatically populate. Alternatively, consumers can enter in their coordinates if they know them.
  2. Mail: Consumers can also verify where they live by mailing in any of the following materials to the address below: 
  • A printed map (such as an image from Google maps) that contains a pin and latitude and longitude coordinates identifying the location of the consumer’s primary residence.
  • Any available map that makes the consumer’s location identifiable to USAC, with a circle around the location of the primary residence. If coordinates are known, write them on the map.  Otherwise, USAC will determine coordinates based on the map.
  • A hand-drawn document that identifies the consumer’s primary residence by identifying the nearest crossroads (or mile markers), identifiable landmarks, and distance between the locations. If coordinates are known, write them on the map. Otherwise, USAC will determine coordinates based on the map.
  • *USAC has developed a mapping tool in the NLAD for service providers to use to determine if a Lifeline applicant resides on Tribal lands. Tribal consumers can use the Tribal Mapping Tool (available only to service providers in NLAD) and print the results.

USAC recommends mailing in materials that allow USAC to acquire the consumer’s latitude and longitude coordinates. Coordinates are required to resolve an AMS error if the consumer will be seeking the enhanced Tribal benefit.

Here’s a guide USAC put together for address resolution for Lifeline applications. The information applies to consumers applying to ACP as well.  

Consumers should mail in any paper forms to this address:

 

USAC

ACP Support Center

P.O. Box 7081

London, KY 40742

Outreach & Enrollment Assistance

 

How much will the FCC spend on advertising and outreach?

The FCC is prepared to spend $100 million for ACP outreach activities over the next 5 years. The funding will be apportioned for different uses, including to stand up and implement an outreach grant program. 

 

What is the “Navigator Pilot Program”? 

The Navigator Pilot Program is a FCC pilot program announced in the ACP Report and Order that involves granting trusted, neutral third-party entities, including schools and school districts, or other local or state government entities, access to the National Verifier for purposes of assisting consumers with completing and submitting an ACP application. The FCC often refers to this program as the “Navigator Pilot Program.” You can find more information about the Navigator Pilot Program in Item 70 of the Report and Order. Note: The Navigator Pilot Program is not to be confused with the Federal Public Housing Assistance (FPHA) Pilot Program, which is discussed starting in Item 281 of the Report and Order. 

 

Have trusted, neutral third party entities for the Navigator Pilot Program been selected? 

No. The Report and Order states that “The Bureau shall determine the scope of this Pilot, and the process for identifying potential participants” and that “The Bureau may issue public notices or engage with stakeholders as needed to obtain information necessary to establish this Pilot.” The Report and Order does not provide any details about the pilot program’s timeline. We will remain engaged and will make sure to relay information regarding this pilot program to the community as we receive it. You can read more about this pilot program in item 70 of the Report and Order and submit relevant inquiries to [email protected]cc.gov

 

What is the timeline surrounding the Navigator Pilot Program? What is the application process like? 

As of 3/24/22, there is no concrete information regarding the timeline of the Navigator Pilot Program or its application process. All we know is that the FCC’s planning for the pilot is well under way. At some point, the FCC will release more information regarding the pilot. NDIA will update the community as new information arises. 

 

Will nonprofits and/or Federal Public Housing Authorities (FPHAs) be considered trusted, neutral third-party entities in the Navigator Pilot Program? 

No. Nonprofits and FPHAs are not eligible “navigators” in the Navigator Pilot Program. Eligible “Navigators” are limited to schools, school districts, local government entities, and state government entities.

However, Item 70 of the Report and Order states that “government entities participating in this Pilot, for example schools, may seek to partner with neutral non-profit organizations for purposes of raising awareness about the Affordable Connectivity Program and increasing the enrollment of eligible households.” Granted “access to the National Verifier through the Pilot is limited to actual representatives of the participating government entity,” and “enrollment activities through the National Verifier must take place in the government entity’s facility or other location maintained or operated by the government entity.”

 

Is the FCC open to feedback for the development of the Navigator Pilot Program? From organizations such as NDIA, or from states?

The Report and Order / Further Notice of Proposed Rulemaking (FNPRM)  does not seek comment on the Navigator Pilot Program. The planning for the Navigator Pilot Program is well underway. NDIA recommends that organizations interested in providing comments about granting access to the National Verifier to groups for the purpose of ACP enrollment assistance refer to Item 285 of the Report and Order / FNPRM. Item 285 seeks comment on whether USAC should provide partner agencies in the FPHA Pilot Program with access to the National Verifier to assist applicants in ACP enrollment. 

 

What is the FPHA Pilot Program? 

The FPHA Pilot Program is a FCC pilot program focused on expanding ACP participation amongst FPHA beneficiaries, including increasing awareness and assisting with navigating the enrollment process. The FCC provides more details and seeks comment on the implementation of this pilot program starting in Item 281 of the Report and Order / Further Notice of Proposed Rulemaking

 

What is the timeline surrounding the FPHA pilot program? 

As of 3/24/22, there is no concrete information regarding the timeline of this pilot program’s implementation. The window for organizations to file reply comments regarding the FPHA pilot program is open until 4/15/22. (Reply comments are comments that are submitted in response to others’ comments, usually supporting or disagreeing with them). The FCC will take those comments into account in further developing the FPHA pilot program. NDIA will update the community as new information arises.

 

Are 3rd party organizations/individuals allowed to charge individuals for helping them fill out ACP enrollment/sign-up forms?

There does not seem to be any rules against this. We would not recommend charging people for helping them with ACP enrollment, as many ACP enrollees have lower incomes. 

Data

 

What kind of ACP data does the FCC/USAC release? 

USAC publishes ACP data here, including data on newly enrolled households, enrollment by state enrollment, 5-digit zip code data, and enrollment by county. Additional ACP data can be found here, including enrollee data broken down by age, service type, and method of ACP verification. 

The FCC describes ACP enrollment data requirements in item 209 of the Report and Order. It states that USAC should publish “enrollment data including, enrollee age category, eligibility category, including households enrolled on the basis of enrollment in a provider’s existing low-income program, type of broadband service, and enrollment numbers by five-digit ZIP code areas…We further direct OEA and the Bureau to take into consideration the types of data requested by commenters when determining the additional program data, if any, that can be made available.” In item 211, the FCC also directs the Bureau and OEA, with support from USAC, “to collect as necessary appropriate data and develop metrics to determine progress towards” closing the digital divide, “such as broadband adoption by first-time subscribers, and increasing enrollments in areas with low broadband internet penetration rates.”

USAC publishes ACP-related data here—including weekly enrollment data, enrollment data by state, enrollment data by 5-digit zip code, enrollment data by county, and more. Weekly enrollment data and state enrollment data is updated weekly, zip code data is updated monthly, and county data is updated quarterly.

 

Will the ACP eligibility database be open to the public? 

There are no plans to make the ACP eligibility database open to the public. However, through the Navigator Pilot Program, the FCC will provide certain trusted, neutral third-party entities with access to the National Verifier for the purpose of ACP enrollment assistance. 

Consumer Protection

 

Are participating providers allowed to offer commissions to their employees based on the number of consumer ACP enrollments they secure? 

No. In Item 27 of the Report and Order, the Commission prohibits participating providers from offering or providing commissions to enrollment representatives and their direct supervisors based on the number of consumers who apply for, are enrolled in, or receive the affordable connectivity benefit from that provider.

Bulk Purchasing

 

How can libraries, school districts, and homeless shelters participate in the Affordable Connectivity Program as bulk purchasers? 

The Report and Order states that homeless shelters, school districts, and libraries can be considered bulk purchasers and are allowed in the Affordable Connectivity Program. However, it does not elaborate further on what exactly this means for homeless shelters, school districts, and libraries. 

The Report and Order talks about bulk purchasing arrangements through Multiple Dwelling Units more generally in item 103. It clarifies in item 104 that a household “must actually be charged an amount for broadband service prior to application of the affordable connectivity benefit. If the household is not charged for broadband prior to the application of the affordable connectivity benefit, for example, if the MDU provides broadband for free to all households or if a third party pays for the entirety of the household’s broadband leaving the household without any charge, then there is no discount to be applied to a household’s bill for which the provider can seek reimbursement, as required by the Infrastructure Act.”

We are currently following up with the FCC to receive more in-depth information about how homeless shelters, school districts, and libraries can operate as bulk purchasers under the ACP. We will share any information we receive with the community as soon as possible. 

 

Can school districts use ECF funds for bulk purchases while also participating as a bulk purchaser in the ACP? Is this double dipping allowed? 

A school could participate in both programs but could not receive reimbursement for the same device or service funded through ACP. The ACP rules (FCC 22-2) require a provider to certify that no costs for service or devices sought for reimbursement have been waived, paid, or promised to be paid by another entity, including any other federal or state program (1808(e)(16). ECF has a similar rule against duplicate support in § 54.1712. ECF duplicative funding issues are also addressed in FAQs 11.1 and 11.2 (see here). 

Therefore, for the most part, schools cannot functionally participate in both programs. However, there are some exceptions. Paragraph 125 and n. 340 of the ECF Report and Order (FCC 21-58) also explains that if a student’s household is receiving broadband services through the EBB Program (now ACP), that the student would not be eligible for broadband services though the ECF Program, but could still receive a connected device through ECF if they would otherwise lack access to a device for remote learning. Often times, a household may have multiple students and even if they were receiving broadband service through EBB/ACP, the students may still qualify for connected devices through the ECF Program.

Consumer Support & Resources

 

How can consumers get help to sign up for ACP?

If a consumer needs to talk to someone about their eligibility or application status, they can call the ACP helpline at (877) 384-2575.

 

How do I submit a complaint to the FCC?

ACP consumers who have issues with their providers or with ACP can submit a complaint through the FCC’s dedicated ACP consumer complaint process. Consumers can submit a complaint form online and/or contact the FCC via phone (Phone: 1-888-CALL-FCC (1-888-225-5322); TTY: 1-888-TELL-FCC (1-888-835-5322); ASL: 1-844-432-2275).

Consumers should describe their problem in detail, what they have already tried to do to solve it, and what can be done moving forward to solve it. Consumers should not include personal information such as their name, address, and phone or account number in the “description” box of the complaint form. There are other places in the form to enter that information. 

If a consumer files a complaint about a billing and service issue, the FCC will serve the consumer’s complaint on their provider. The provider will then have 30 days to send the consumer a response to the complaint. The FCC encourages consumers to contact their providers to attempt to resolve their issues prior to filing a complaint.

 

What informational ACP resources, handouts, and/or info sheets are available to consumers? 

The FCC has published an ACP consumer outreach toolkit that contains ACP infographics, fact sheets, and consumer handouts. You can find those materials here

When distributing consumer resources to your communities, it can help to add your own organization’s logo/heading to these resources to increase trust in ACP. 

 

What solutions does the FCC have to help consumers address issues regarding disconnection?

Consumers facing issues regarding service disconnection should contact their providers to resolve the issue. If this does not work, consumers can submit a complaint through the FCC’s dedicated ACP consumer complaint process. Consumers can submit a complaint form online and/or contact the FCC via phone (Phone: 1-888-CALL-FCC (1-888-225-5322); TTY: 1-888-TELL-FCC (1-888-835-5322); ASL: 1-844-432-2275). 

If a consumer files a complaint about a billing and service issue, the FCC will serve the consumer’s complaint on their provider. The provider will then have 30 days to send the consumer a response to the complaint.

Citizenship Status

 

Can applying for ACP jeopardize my ability to obtain a green card or sponsor a family member under the public charge test?

No. Applying for ACP will not jeopardize anyone’s ability to obtain a green card or sponsor a family member under the public charge test. 

Under the public charge test, if an immigration or consular official determines that someone is likely to become a “public charge,” the government can deny that person’s application for admission to the United States or an application for lawful permanent resident status (LPR status, also called a “green card”). However, receiving ACP benefits is not considered in the public charge test. 

Note: The public charge determination happens when people are applying for certain visas or green-card (permanent resident) status. It does NOT apply when an existing green-card holder applies for US citizenship.

High-Cost Area Enhanced Benefit

 

What is considered a high-cost area under the Affordable Connectivity Program? 

The Infrastructure Act requires the Commission to establish a mechanism by which a participating provider in a high-cost area may receive an enhanced benefit of up to $75 per month for broadband service “upon a showing that the applicability of the lower limit under subparagraph A [the $30 rate] to the provision of the affordable connectivity benefit by the provider would cause particularized economic hardship to the provider such that the provider may not be able to maintain the operation of part or all of its broadband network. In this context, the “high-cost area” is defined in a “separate section of the Infrastructure Act and to be determined by the National Telecommunications Information Administration (NTIA) in consultation with the Commission.”

Namely, “High-cost area” is defined in Section 60102 Grants for Broadband Deployment of the Infrastructure Act:

(G) HIGH-COST AREA.— 

(i) IN GENERAL.—The term ‘‘high-cost area’’ means an unserved area in which the cost of building out broadband service is higher, as compared with the average cost of building out broadband service in unserved areas in the United States (as determined by the Assistant Secretary, in consultation with the Commission), incorporating factors that include— 

  • (I) the remote location of the area; 
  • (II) the lack of population density of the area; 
  • (III) the unique topography of the area; 
  • (IV) a high rate of poverty in the area; or 
  • (V) any other factor identified by the Assistant Secretary, in consultation with the Commission that contributes to the higher cost of deploying broadband service in the area. 

(ii) UNSERVED AREA.—For purposes of clause (i), the term ‘‘unserved area’’ means an area in which not less than 80 percent of broadband-serviceable locations are unserved locations.

** “Unserved location” means a broadband-serviceable location, as determined in accordance with the broadband DATA maps, that— 

  • (i) has no access to broadband service; or 
  • (ii) lacks access to reliable broadband service offered with— 
    • (I) a speed of not less than— 
      • (aa) 25 megabits per second for downloads; and 
      • (bb) 3 megabits per second for uploads; and 
    • (II) a latency sufficient to support real-time, interactive applications.

In the Request for Comment regarding the Broadband Equity, Access, and Deployment (BEAD) Program, NTIA sought comment on the additional factors, if any, NTIA should consider in determining what constitutes a “high-cost area”. As such, we suspect that NTIA will functionally and more specifically define “high-cost areas” in the BEAD Notice of Funding Opportunity, which we expect to be released around mid-May.