HomeMy WebLinkAbout20150521Qwest Corporation dba CenturyLink QC-Southern ID.pdfSID2015-002
Qwest Corporation d/b/a CenturyLink QC Access Service Catalog SECTION 6 Page 136 SOUTHERN IDAHO Release 5 Issued: May 21, 2015 Effective: July 1, 2015
6. SWITCHED ACCESS SERVICE 6.8 RATES AND CHARGES (Cont'd)
6.8.2 LOCAL SWITCHING
RATE PER ACCESS MINUTE
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MONTHLY USOC RATE •
NOTICE THE INFORMATION CONTAINED IN THIS DOCUMENT IS SUBJECT TO CHANGE.TRANSMITTAL NO. 15-01-SID
Idaho Public Utilities Commission
Office of the Secretary
ACCEPTED FOR FILING
July 1, 2015
Boise, Idaho
SID2015-002
Qwest Corporation d/b/a CenturyLink QC Access Service Catalog SECTION 15 Page 11 SOUTHERN IDAHO Release 8 Issued: May 21, 2015 Effective: July 1, 2015
15. COMMON CHANNEL SIGNALING NETWORK (CCSN)
15.8 RATES AND CHARGES
NONRECURRING MONTHLY USOC CHARGE RATE
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INTRASTATE OTHERRATERATE
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NOTICE THE INFORMATION CONTAINED IN THIS DOCUMENT IS SUBJECT TO CHANGE.TRANSMITTAL NO. 15-01-SID
Idaho Public Utilities Commission
Office of the Secretary
ACCEPTED FOR FILING
July 1, 2015
Boise, Idaho
Description of Methodology
The following narrative describes the methodology and supporting calculations utilized
by CenturyLink to implement the process of reducing terminating switched end office
rates by two-thirds of the differential between end office rates and $0.0007 as required
by 47 C.F.R. §51.907(e) which addresses changes beginning July 2015. CenturyLink’s
supporting calculations utilize the “Access Reduction Spreadsheet” template released by
the Federal Communications Commission (“FCC”) on April 15, 2015, for calculating the
July 1, 2015 intrastate access rate changes.
The FCC spreadsheet template also provides the methodology for calculating the rate
changes and identifies in detail the interstate access rates that are required to be
changed consistent with the rules. Step 4 of the USF ICC Transformation Order adjusts
Interstate Terminating End Office Access rates down by two-thirds of the difference
between the 2011 baseline composite rate and the target composite rate of $0.0007.
The interstate rates will then be mirrored on the intrastate side so that rates will remain
in parity.
Section 51.907(e) of the FCC Rules required the Access Reduction Spreadsheet to be
modified to reflect rate reductions for July 1, 2015. For Price Cap carriers that file
interstate tariffs assessing a single rate applicable in different states, the interstate
demand used shall be the sum of the demand for all of the states included in the tariff,
rather than making separate state-by-state calculations. For companies with a single
rate in multiple states, the calculations are done at the regional level and the regional
rates are mirrored in each study area1. For individual study areas, the calculations are
done at the study area level. An overview of the methodologies necessary for reducing
terminating end office access rates is as follows:
1. Establish the 2011 Baseline Composite Terminating End Office Access
Rates, which reflects interstate rates and demand.
2. Calculate the 2015 Target Composite Terminating End Office Access Rate by
reducing the 2011 Baseline Composite Terminating End Office Access Rate
by two-thirds of the difference between the 2011 Baseline Composite
Terminating End Office Access Rate and $0.0007.
3. Calculate the individual Interstate Terminating End Office Access rate levels
so that the reduced rates and demand will equal to the 2015 Target
Composite Terminating End Office Access Rate.
4. Set Intrastate Terminating End Office Access rates equal to their functionally
equivalent interstate rates.
5. Prepare intrastate and interstate tariff filing documents as required by each
tariff jurisdiction.
1 See footnote No. 27 in clarification order: Connect America Fund, et al., DA 14-434, WC Docket No. 10-90 et
al.
CERTIFICATION
I am Vice President – Regulatory Operations for CenturyLink. I hereby certify that I have
overall responsibility for supervision of the personnel who prepare all of the data supporting
the CenturyLink Operating Companies– July 1, 2015 Annual Access Charge Tariff Filing
bearing Tariff F.C.C. Nos. 1, 2, 3, 6, 7, 8, 9 and 11 for all issuing carriers and that I am
authorized to execute this certification. Based upon the information provided to me by
employees responsible for the preparation of, or for the supervision of the preparation of, the
data submitted in support of the Tariff Review Plan information contained herewith, I hereby
certify that the data has been examined and reviewed and is true, correct and complete to the
best of my knowledge and belief.
Further, based upon the information provided to me by employees responsible for the
preparation of, or for the supervision of the preparation of, the data submitted in support of
the Eligible Recovery for Price Cap Carriers and Access Recovery Charge information
contained herewith, I hereby certify that the data has been examined and reviewed and is
true, correct and complete to the best of my knowledge and belief, that the CenturyLink
Operating Companies are not seeking duplicative recovery in the state jurisdiction for any
Eligible Recovery subject to the recovery mechanism, and that CenturyLink Operating
Companies have complied with sections 51.915(d), 51.915(e) and 51.915 (f) of the
Commission's rules.
May 21, 2015
Jeff Glover
Vice President – Regulatory Operations
Contact Person: Gary Kepley
Director, Regulatory Operations
Telephone Number: (913) 353-7080