⚖ Registered Caller Agent · FCC Reassigned Numbers Database

A third of your docket
can't be reached.

You won't find out which third until a paralegal spends two weeks dialing — or until a stranger who now owns an old client's number files a TCPA claim. Upload your docket once. We check every number every 30 days and tell you exactly which ones still reach your client.

One CSV, four columns No medical data, ever Cancel any time
Docket scan — July 2026
4,182 numbers across 3,640 matters · last run 2 days ago
3,847
Good
291
Reassigned
44
No data
MatterClientPhoneRetainedStatus
TLC-100412Alvarez, R.(407) 555-011811 Apr 2016Checking…
TLC-100518Chen, M.(312) 555-029402 Sep 2017Checking…
TLC-100704Whitfield, D.(205) 555-016324 Nov 2015Checking…
TLC-100811Okafor, N.(713) 555-044115 Feb 2018Checking…
TLC-100926Brennan, K.(617) 555-087230 Jul 2016Checking…
TLC-101260Duplessis, Y.(504) 555-093703 Oct 2014Checking…
TLC-101384Halvorsen, E.(612) 555-012826 Mar 2020Checking…
Every number is submitted with the date that client signed your retainer. That date is what makes the answer meaningful — and what the FCC safe harbor is built around.

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Two problems, one file

Old numbers cost you twice.

A number that no longer reaches your client is a client you can't sign a release with. The same number in a stranger's hands is a lawsuit against your firm.

The number now belongs to someone else

Carriers reassign millions of numbers a year. A client who retained you in 2016 may have changed carriers three times since. When your team dials that number today, they may be calling a stranger who never consented to hear from you — and wrong-number claims are the most common TCPA exposure a firm faces.

Query the FCC database before you dial and get a documented "no" on reassignment, with the query stored and retrievable years later.

You can't reach the client at all

Settlements arrive with deadlines measured in days, not months. When a participation window opens, the firms that move are the ones who already know which clients are reachable. The ones still working off a 2016 contact list burn the window discovering their list is stale.

Know your reachable count before the deadline exists, not after — and see which matters need attention while there's still time to fix them.
What we need

Four columns. Nothing else.

Export from Filevine, Litify, SmartAdvocate, CASEpeer, or a spreadsheet. If a client has three numbers, give us three rows with the same matter ID.

📄 docket-sample.csv
matter_id,client_name,phone,consent_date
TLC-100412,Alvarez R,4075550118,2016-04-11
TLC-100412,Alvarez R,4075550377,2016-04-11
TLC-100518,Chen M,3125550294,2017-09-02
TLC-100704,Whitfield D,2055550163,2015-11-24
TLC-100811,Okafor N,7135550441,2018-02-15
TLC-100926,Brennan K,6175550872,2016-07-30
TLC-101033,Sandoval P,5205550219,2019-01-08
TLC-101147,Petrosyan A,8185550654,2017-05-19
TLC-101260,Duplessis Y,5045550937,2014-10-03
TLC-101384,Halvorsen E,6125550128,2020-03-26
consent_date is the day the client signed your retainer. client_name is optional and only appears on your report — initials are fine.

What we never ask for

  • × Medical records or diagnosis
  • × Social Security numbers
  • × Case value or settlement posture
  • × Attorney notes or work product
  • × Anything about the merits
Our agreement states this as an affirmative limit, not an omission. We contractually cannot accept medical data, and we don't enrich any outside database from your file.
How it works

Three steps, then it runs itself.

Step two is a federal requirement, not our paperwork. We query as your agent, so the database administrator has to approve your authorization before your first scan.

01

Upload your docket

Drop in the CSV and map your columns. Most firms are done in under ten minutes, including the ones exporting from a case management system for the first time.

02

Sign the authorization

We send a one-page Letter of Authorization naming your firm as the caller and us as your agent. The database administrator approves it, typically within a few business days. We'll tell you the moment it clears.

03

Get your report every 30 days

Every number is re-checked against the current database each month, because that's what keeps the answer good. You get a report, a CSV you can push back into your system, and a stored record of every query.

Pricing

Priced by docket size.
Nothing else.

No per-lookup billing, no setup fee, no seats to manage. Move up or down a tier whenever your docket does.

Firm
$99/mo
Up to 10,000 numbers
120,000 checks a year
Start on Firm
Most mass tort firms
Practice
$229/mo
Up to 25,000 numbers
300,000 checks a year
Start on Practice
Docket
$449/mo
Up to 50,000 numbers
600,000 checks a year
Start on Docket

Every plan includes

  • Every number re-checked monthly, automatically
  • Unlimited users at your firm
  • Unlimited matters and unlimited uploads
  • Monthly report plus a CSV built to import back in
  • Every query stored with its date and result, kept five years
  • Exportable audit log for your file
  • We handle the Letter of Authorization end to end
  • Cancel any time, keep your records

Over 50,000 numbers? Tell us your count and we'll quote it the same day. No setup fee on any plan.

Straight answers

What this does and doesn't do.

Does this make my firm TCPA-proof?

No, and be careful of anyone who says otherwise. The FCC's safe harbor covers one specific failure: you had consent from the person who held the number, the number was reassigned without your knowledge, and you checked the database and got back a "no." It does not cover consent that was never valid, consent that was revoked, or do-not-call issues. It covers the wrong-number problem, which happens to be the most common one.

Why does it have to run every month?

The database is rebuilt every 30 days, and the protection depends on having checked the current version. A scan from four months ago tells you what was true four months ago. Monthly re-checking isn't our pricing model — it's how the rule works.

Can't I just subscribe to the database myself?

You can, and some firms should. You'd buy your own subscription tier, build the query and storage workflow, and re-run it monthly. We aggregate volume across many firms, which puts us in pricing tiers a single firm can't reach, and we keep the audit record in a form you can actually produce later.

Is this the same as the TCPA scrub my dialer already does?

Probably not. Most commercial scrub products run against private reassignment data. The safe harbor requires the FCC's own database specifically. Worth asking your vendor which one they query.

What does "no data" mean on my report?

It means the database has no disconnection record covering that number and date. It isn't a yes and it isn't a no. We flag those separately so you can decide how to treat them rather than burying them in a good count.

Who at my firm has to do anything?

Someone pulls the export and someone with authority signs the one-page authorization. After that it runs on its own and a report lands in your inbox.

Find out how much of your docket you can still reach.

Send us a client count and we'll tell you what your first report will cover. No CSV required to start the conversation.