BEAD Funding FAQ
The Broadband Equity, Access, and Deployment (BEAD) Program is a federal initiative aimed at expanding high-speed internet access to underserved and unserved communities across the United States.
The Broadband, Equity, Access and Deployment Program (BEAD) is a $42.5 billion federal initiative providing grants to US states and territories, to provide internet access, bridge the digital divide, and ensure that all Americans have the opportunities that the digital economy provides.
BEAD was established by Congress in 2022, and is administered through the National Telecommunications and Information Administration (NTIA). BEAD is a multi-year program, and is still evolving. It is now at the point where states are receiving funding. The total funding amount for states reached over $42 billion in 2024.
Being federal legislation, the program is very complex, and uses a lot of legal language. We created this FAQ to help explain the program, the terms it uses, and rules for allocating funding.
In addition to bridging the digital divide, it’s a major infrastructure project that will involve local ISPs and carriers, educators, and nonprofits, and jobs across the US.
Check our latest news on BEAD funding here, and blog posts about BEAD here.
The Broadband Equity, Access, and Deployment (BEAD) Program is a federal initiative aimed at expanding high-speed internet access across the United States. Administered by the National Telecommunications and Information Administration (NTIA), the program seeks to address digital disparities by providing funding to underserved and unserved areas. The ultimate goal of the BEAD Program is to ensure that all Americans, regardless of their geographic location, have access to reliable and affordable broadband services, thus fostering economic growth, educational opportunities, and civic engagement.
The BEAD Program is open to various entities, including local governments, non-profit organizations, and private sector companies. Eligibility extends to those who demonstrate a commitment to expanding broadband infrastructure and services to areas that currently lack adequate internet access. Specific eligibility criteria and application procedures can be found on the program’s official website.
The BEAD Program funds a broad range of projects designed to improve internet connectivity. This includes infrastructure projects like laying fiber-optic cables and building wireless networks, as well as initiatives aimed at increasing digital literacy and providing affordable internet services to low-income households. The program prioritizes projects that demonstrate significant potential for long-term community impact and sustainability.
The Broadband Equity, Access & Deployment Program (BEAD) offers federal funding for grants to US states and territories. These grants support broadband planning, deployment, mapping, equity, and adoption projects.
Eligible entities are U.S. states and territories, and the District of Columbia.
BEAD funds, following the prioritization scheme in the NOFO, can be used for the following purposes.
An unserved location is identified by its lack of reliable broadband service or internet speeds below 25 Mbps for downloads and 3 Mbps for uploads, with latency of 100 milliseconds or less. Reliable broadband includes services delivered via fiber-optic, cable modem/hybrid fiber-coaxial, digital subscriber line, or terrestrial fixed wireless using licensed or a combination of licensed and unlicensed spectrum. Locations dependent on satellite or exclusively unlicensed spectrum are also considered unserved.
An underserved location is defined as having broadband services with speeds ranging from at least 25 Mbps downstream and 3 Mbps upstream to less than 100 Mbps downstream and 20 Mbps upstream, with latency at or below 100 milliseconds. The criteria for reliable broadband are consistent with those for unserved locations, covering fiber-optic, cable modem/hybrid fiber-coaxial, digital subscriber line, or terrestrial fixed wireless technologies using either entirely licensed spectrum or a mix of licensed and unlicensed spectrum. Before granting subgrants for broadband deployment, Eligible Entities must conduct a challenge process, allowing local governments, nonprofits, or broadband service providers to contest the determined service level of a specific location.
A Community Anchor Institution (CAI) encompasses organizations such as schools, libraries, health clinics, health centers, hospitals, public safety entities, institutions of higher education, public housing organizations, or community support organizations. These entities enhance broadband access for vulnerable populations, including but not limited to low-income individuals, the unemployed, children, the incarcerated, and the elderly.
A Community Anchor Institution that lacks access to Gigabit-level broadband service qualifies as an eligible service location under the BEAD Program.
An Unserved or Underserved Service Project can include Middle Mile Infrastructure if it is necessary to reach interconnection points or to ensure the technical feasibility and financial sustainability of a project serving an unserved or underserved location, or an eligible CAI.
The FCC Broadband DATA Maps, created by the Federal Communications Commission (FCC), will be used by NTIA to allocate funding for each Eligible Entity in the BEAD program.
These maps will detail broadband service availability at the individual location level, offering more granular data than previous FCC maps, which provided information at the census block level. For more details on the FCC maps, refer to the FCC’s Second Report and Order on Establishing the Digital Opportunity Data Collection.
Examples of how an BEAD funds to digital equity initiatives include:
a “high-cost area” as an unserved region where the expense of establishing broadband service is greater than the average cost in other unserved areas in the U.S. This determination is made by the Assistant Secretary, in collaboration with the Federal Communications Commission, and considers factors such as:
For the definition of “high-cost area,” an “unserved area” is one where at least 80% of broadband-serviceable locations lack service. NTIA will provide additional details on identifying high-cost areas for BEAD funding allocations later.
The Broadband Equity, Access & Deployment Program (BEAD) offers federal funding for grants to US states and territories. These grants support broadband planning, deployment, mapping, equity, and adoption projects.
BEAD funds, following the prioritization scheme in the NOFO, can be used for the following purposes.
A BEAD subgrantee is an entity that receives funding from the Broadband Equity, Access, and Deployment (BEAD) program to support projects aimed at expanding high-speed internet access in underserved areas. Subgrantees can include local governments, non-profits, or private organizations that have demonstrated the capacity to implement broadband initiatives effectively.
Each Eligible Entity must establish fair, open, and competitive processes for selecting subgrantees. This selection is crucial as it determines the providers bringing service to unserved and underserved locations and CAIs.
These processes must be transparent to potential subgrantees and clearly outlined in the Eligible Entity’s Initial and Final Proposals. The NTIA acknowledges that there are various competitive processes that Eligible Entities might employ and does not mandate a specific approach. Further guidance and technical assistance on subgrantee selection will be provided by the NTIA.
Eligible Entities must not exclude cooperatives, nonprofit organizations, public-private partnerships, private companies, public or private utilities, public utility districts, or local governments (“potential providers”) from eligibility for grant funds.
When evaluating an Eligible Entity’s Initial or Final Proposal, the NTIA will assess whether the entity, following the enactment of the Infrastructure Act, has implemented any laws, regulations, policies, procedures, or other rules that, in the NTIA’s judgment, aim to exclude or effectively exclude potential providers from subgrant eligibility. This includes new laws that might prevent providers from offering broadband services or hinder their ability to compete effectively for subgrants.
Certain pre-existing laws within Eligible Entities related to broadband, utility services, or related topics may disqualify specific public sector providers from subgrant competition or impose particular requirements on them. These requirements might include limitations on financing sources, mandatory imputation of costs not actually incurred, or restrictions on the services a public sector entity can offer. The NTIA encourages Eligible Entities to waive such laws for Program purposes.
If an Eligible Entity opts not to do so, it must identify all such laws in its Initial Proposal and explain how these laws will be applied in the subgrant competition. In its Final Proposal, the Eligible Entity must disclose each unsuccessful application affected by these laws and articulate how these laws influenced the decision to deny the application.
Eligible Entities must comply with the reporting obligations outlined in Section VII.E.1. of the NOFO. Specifically, these include:
Within 90 days of receiving any Program grant funds, Eligible Entities must submit an initial report to the Assistant Secretary. This report should:
And semiannually thereafter until all funds are expended, Eligible Entities must submit a semiannual report to the Assistant Secretary. This report should cover the preceding six-month period and must:
The semiannual report must also include an SF-425 and a Federal Financial Report, meeting the criteria described in 2 C.F.R. §§ 200.328 and the Department of Commerce Financial Assistance Standard Terms and Conditions, as well as the information prescribed in 2 C.F.R. § 200.329.
Eligible Entities must submit a final report to the Assistant Secretary. This report should:
Subgrantees must comply with the reporting obligations detailed in Section VII.E.2. of the NOFO. These obligations include:
Subgrantees are required to submit regular reports to the Eligible Entity at least semiannually throughout the subgrant period. These reports should assess the effectiveness of the allocated funds and provide a comprehensive description of the projects undertaken with the subgrant.
Should funds remain unallocated to an Eligible Entity, they may be redistributed among other Eligible Entities according to the proportion of unserved locations within each. Detailed information about the handling of unallocated funds can be found in Section II.D. of the NOFO.
If an Eligible Entity fails to utilize its full allocation by the specified deadline, NTIA may reassign the leftover funds to other Eligible Entities with approved Final Proposals, again based on the proportion of unserved locations. Further details on the management of unused funds are available in Section II.D. of the NOFO.
Yes, under certain conditions. NTIA may extend deadlines for both Eligible Entities and subgrantees under the following circumstances:
Section II.B.1. of the NOFO allows an Eligible Entity to extend the four-year network deployment deadline for subgrantees by up to one year if:
Extensions for Eligible Entities at any stage in the process may be granted at the sole discretion of the Assistant Secretary, particularly when extenuating circumstances suggest that additional time will advance the overall goals of the BEAD Program.
If an Eligible Entity seeks an extension beyond what the Act authorizes it to grant independently, it must submit a written request to NTIA, explaining the rationale for the extension.