{"id":"26110076779","body_sha256":"84d8aac9c7b2f611981b952622c6bfb45875909a50e2c286ec834ce37cc21474","status":"text_matched","primary_topic":"school-connectivity","topics":[{"id":"school-connectivity","evidence":"Marlene Dortch: We are writing regarding the Federal Communications Commission's (FCC) Notice of Proposed Rulemaking and Further Notice of Proposed Rulemaking on the E-Rate program, and we appreciate the opportunity to comment ahead of the October 13, 2026 deadline, asking FCC to preserve the current E-rate program."},{"id":"children-schools","evidence":"Our students have reliable internet access at our school because of E-Rate."},{"id":"research-requests","evidence":"We also urge the FCC not to impose overly restrictive mandates or administrative burdens, particularly around screenuse and content-monitoring requirements proposed in this proceeding, as they will undermine the flexibility schools need to deliver high-quality, digital learning."}],"summary":"","method":"Local topic rules v1; exact supporting passages; not an AI or medical review","scope":"Captured filing text only. Attachment contents not examined."}