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HomeMy WebLinkAbout20130716ITA Comments in Support of Request.pdfCYNTHIA A.MELILLO PLLC 8385 W.EMERALD STREET BOISE,IDAHO 83704 (208)577-5747 •cam@camlawidaho.com jj3Jj JL I 5 P1 2:33 r.”-1-, I 1.I C July 16,2013 Via Hand Delivery Ms.Jean Jewell Idaho Public Utilities Commission PD Box 83720 Boise,ID 83720-0074 Re:Comments in Support of CenturyLink’s Request for Partial Waiver of theRequirementsofIPUCOrderNo.29841 (Case Nos.QWE-T-13-03,CENT-13-03,and CGS-T-13-03 Dear Ms.Jewell: Enclosed for filing in the above matter,please find an original and seven copiesofIdahoTelecomAlliance’s Comments in Support of CenturyLink’s Request for PartialWaiveroftheRequirementsofIPUCOrderNo.29841. If you have any questions or require further information,please contact me at(208)577-5747 or by e-mail at cam(camlawidaho.com. Sincerely,eg Cynthia A.Melillo CAM Enclosures cc:Mary S.Hobson Lisa A.Anderl (all via electronic mail,WI end.) Cynthia A.Melillo (ISB #5819) Cynthia A.Melillo PLLC 2fl!JUL P 2:288385W.Emerald Street Boise,ID 83704 Telephone:(208)577-5747 Facsimile:(208)361-3441 Email:cam(ãcamlawidaho.com Attorney for Idaho Telecom Alliance BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION )CASE NOS. IN THE MATTER OF THE REQUEST FOR )QWE-T-13-03 PARTIAL WAIVER OF THE )CEN-T-13-03 REQUIREMENTS OF IPUC ORDER NO.)CGS-T-13-03 29841 ) )COMMENTS OF THE IDAHO )TELECOM ALLIANCE The Idaho Telecom Alliance (“ITA”),by and through its attorney of record, Cynthia A.Melillo PLLC,hereby files these Comments in response to the Notice of Application and Notice of Modified Procedure in Case Nos.QWE-T-13-03,CEN-T-13- 03 and CGS-T-13-03 issued on July 3,2013.ITA is a state telephone association,and its members include both commercial companies and cooperatives.The fourteen (14) members of hA provide advanced telecommunications and broadband services in rural Idaho.All of the members (or affiliates of the members)are designated Eligible Telecommunications Carriers (“ETC”)in Idaho and claim a direct and substantial interest in this proceeding. COMMENTS OF IDAHO TELECOM ALLIANCE -QWE-T-13-03,CEN-T-13-03 and CGS-T-13-03 I On June 7,2013,Qwest Corporation (dba CenturyLink QC),CenturyTel of Idaho, Inc.,and CenturyTel of the Gem State,Inc.,(dba CenturyLink)(hereinafter “Petitioners”) filed a Petition for Partial Waiver of the Requirements of IPUC Order 20841,seeking a waiver of the requirement to file a two-year improvement plan as set forth in Order 20841. On July 3,2013,the Commission issued Order No.32844,Notice of Application and Notice of Modified Procedure in Case Nos.QWE-T-13-03,CEN-T-13-03 and CGS T-13-03,inviting comments on the use of Modified Procedure in this matter and inviting comments in support of or in opposition with the matters set forth in the Petition and/or Order No.32844. Petitioners very clearly present the position that the requirement to file a two-year network improvement plan in connection with the 2013 annual ETC recertification under Order 20841 would serve little purpose.The Federal Communications Commission (“FCC”)has been revising its rules regarding ETC reporting requirements and in light of the fact that the rules are currently not finalized,the FCC has waived its requirement for the filing of a five-year network improvement plan for 2013.Because the two-year network improvement plan was intended by the Commission to take the place of the FCC’s five year network improvement plan on the state level for state-certified ETCs, Petitioners argue that until the FCC requirements are clearly established,ETCs would not be able to produce a network improvement plan with any certainty and as such, such plans would be meaningless. COMMENTS OF IDAHO TELECOM ALLIANCE -QWE-T-13-03,CEN-T-13-03 and CGS-T-13-03 2 ITA is in agreement with Petitioners and if the Commission deems it appropriate to grant the waiver to Petitioners,ITA respectfully requests that the Commission grant such waiver to all ETCs so certified by the Commission,subject to all the same terms and conditions as the Commission would make applicable to Petitioners in connection with such waiver. ITA believes the use of Modified Procedure to be appropriate in this matter.In the event the Commission elects to hold hearings in this mailer,ITA reserves the right to file a Petition to Intervene. Respectfully submitted this 16th day of July 2013. By:6hcx )JJL ynthia A.Melil o CYNTHIA A.MELILLO PLLC Attorney for Idaho Telecom Alliance COMMENTS OF IDAHO TELECOM ALLIANCE -QWE-T-13-03,CEN-T-13-03 and CGS-T-13-03 3 CERTIFICATE OF SERVICE I hereby certify that on this 16th day of July 2013,I caused to be served a true and correct copy of the foregoing by the method indicated below1 and addressed to the following: Jean Jewell El U.S.Mail Idaho Public Utilities Commission El Overnight Mail 472 West Washington Street Hand Delivery Boise,ID 83702 El Fax jean.jewellpuc.ldaho.qov El Electronic Mail Mary S.Hobson El U.S.Mail Attorney &Counselor El Overnight Mail 999 Main,Suite 1103 El Hand Delivery Boise,Idaho 83702 El Fax Marv.HobsoncCenturyLink.com Electronic Mail Lisa A.Anderl El U.S.Mail Associate General Counsel,CenturyLink El Overnight Mail 1600 7”Avenue El Hand Delivery Seattle,WA 98191 El Fax Lisa.Anderl(CenturyLink.com Electronic Mail Cyn hia A.Melillo COMMENTS OF IDAHO TELECOM ALLIANCE -QWE-T-13-03,CEN-T-13-03 and CGS-T-13-03 4