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HomeMy WebLinkAbout20100310Comments.pdfNEIL PRICE DEPUTY ATTORNEY GENERAL IDAHO PUBLIC UTILITIES COMMISSION PO BOX 83720 BOISE, IDAHO 83720-0074 (208) 334-03 14 IDAHO BAR NO. 6864 t\/ f\ 2010 M~,R l 0 AM 9: 36 Street Address for Express Mail: 472 W. WASHINGTON BOISE, IDAHO 83702-5918 Attorney for the Commission Staff BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE APPLICATION OF ) BROADVIEW NETWORKS, INC. FOR A ) CERTIFICATE OF PUBLIC CONVENIENCE ) AND NECESSITY TO PROVIDE LOCAL ) EXCHANGE TELECOMMUNICATIONS ) SERVICES WITHIN THE STATE OF IDAHO ) ) CASE NO. BVN- T -09-01 COMMENTS OF THE COMMISSION STAFF The Staff of the Idaho Public Utilties Commission, by and through its Attorney of Record, Neil Price, Deputy Attorney General, in response to the Notice of Application and Notice of Modified Procedure, issued on February 17,2010, Order No. 31008, submits the following comments. BACKGROUND On November 13,2009, Broadview Networks, Inc. ("Broadview" or "Company") filed an Application for a Certificate of Public Convenience and Necessity, pursuant to Title 61 of the Idaho Code and IDAP A 31.01.01. 111, to provide local exchange telecommunications services within the State of Idaho. Broadview requests authority to allow the Company to offer its customers facilities-based and resold competitive local exchange and interexchange telecommunications services STAFF COMMENTS 1 MARCH 10,2010 throughout the entire State of Idaho, or to the extent the facilties of its underlying cariers permit. Broadview states that it does not anticipate installng physical plant, fiber optic or copper cables within the state. The Company may "collocate switching, signaling systems and other equipment ofILEC and non-ILEC collocation facilties such as carrier hotels, and may lease capacity on fiber circuits from other cariers." Broadview wil focus on providing service to small and medium-sized businesses and residential customers. Initially, the Company plans to offer basic two-way local residential and business service, supplemented by a variety of customer callng services (i.e., three-way callng, call forwarding, call waiting, distinctive ringing, and speed callng) and CLASS features (i.e., caller I.E., automatic redial/recall, and customer-originated trace). Broadview envisions an expansion of these services "to include advanced telecommunications services, data services and private line services throughout the service area of the incumbent provider(s)." Broadview's proposed Idaho service territory wil include areas being served by ILECs Qwest North, Qwest South and Verizon Northwest. The Company has yet to initiate negotiations with ILECs in Idaho. The Applicant affirms that it has reviewed all of the Commission's rules applicable to competitive local exchange telecommunications service providers and agrees to comply with those rules. STAFF ANALYSIS On November 13,2009, the Company fied its original price list with its Application. Staff attempted to contact the Company many times regarding revisions that needed to be made. On Januar 13,2010, the Company contacted Staff to discuss the revisions needed to bring the price list into compliance with Commission's Rules and Idaho Statute. On January 26, 2010, Staff sent a follow-up letter to the Company outlining each revision that was needed before any further action could take place with the filing. On Februar 3, 2010, the Company fied its final price list with instructions to replace the original price list filed on November 13,2009. Staff complied with the Company's request after reviewing the updated filing. STAFF COMMENTS 2 MARCH 10,2010 RECOMMENDATIONS Staff recommends that Broadview Networks, Inc., be granted a CPCN subject to the following conditions: 1. The granting of this Certificate wil be conditioned upon the Company complying with the Number Pool Administrator and Idaho Commission Order No. 30425, which requires NRUF and Utilzation reporting. 2. As a provider of intrastate regulated local exchange services and in accordance with the Commission's Rules of Procedure, Broadview wil be required to report and contribute, as appropriate, to the Idaho Universal Service Fund, Idaho Telecommunications Relay System, ITSAP and any requisite anual reporting that may be deemed appropriate in the future for competitive telecommunications providers. 3. Upon issuance of the Certificate, Broadview shall fie a completed and final price list with all rates, terms and conditions to have on fie with the Commission. 4. If Broadview is not actively doing business in Idaho one year after the issuance of its Certificate, the Company shall relinquish its Certificate until such time as it is ready to perform Telecommunications services in Idaho. Respectfully submitted this / D~ay of March 2010. N~ Neil Price Deputy Attorney General Technical Staff: Carolee Hall i: umisc: comments/vnt09. i npch comments STAFF COMMENTS 3 MARCH 10,2010 CERTIFICATE OF SERVICE I HEREBY CERTIFY THAT I HAVE THIS 10TH DAY OF MARCH 2010, SERVED THE FOREGOING COMMENTS OF THE COMMISSION STAFF, IN CASE NO. BVN-T-09-01, BY MAILING A COPY THEREOF, POSTAGE PREPAID, TO THE FOLLOWING: ARTGAIRO SR VICE PRESIDENT BROADVIEW NETWORKS INC 2100 RENAISSANCE BLVD KING OF PRUSSIA PA 19406 E-MAIL: agairo~broadview.net ~~ SECRETAR CERTIFICATE OF SERVICE