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HomeMy WebLinkAbout20180618Frontier Communications CAF ICC Data.pdfFroniier RTC E IVE D 2010 JUli lB pi,t 3: 35 li'1 t l /- -:! Iilt lAl:-r i.i-i,.r' l'UULlt,: j': tr.i-.rt:.., (lOh4MlSSl0N COMMUNICATIONS 7979 N. Belt Line Rd Irving, Texas 75063 June 18,2018 Phone 972-9084415 Email: kimberlv.a.douslass(arllr.com Ms. Diane Hanian Commission Secretary Idaho Public Utilities Commission 47 2 W est Washington Sheet Boise, Idaho 83720 fua -T- ta-ot Re: Annual Reporting Requirements for High - Cost Recipients Pursuant to 47 C.F.R. $ 5 L915 (d) (3) and 47 C.F.R. $sa.3Oa(c) (l) Dear Ms. Hanian: The Federal Communications Commission's ("FCC") November 18, 201 I USF/ICC Transformation Order, FCC 11-16l (WC Docket No. 10-90) requires carriers seeking to obtain recovery through the federal mechanisms established in that Order to make certain certifications to the FCC and to state commissions regarding their eligibility for, and their compliance with the rules applicable to, such recovery. Specifically, 47 C.F.R. S5l.9l5(dX3) requires Price Cap Carriers to certiff annually to the FCC and to relevant state commissions that the carrier is not seeking duplicative recovery in the state jurisdiction for any Eligible Recovery subject to the federal recovery mechanisms. In compliance with that requirement, Frontier Communications Corporation (Frontier Communications) hereby submits a copy of the certification that was filed with the Federal Communications Commission on June 18, 2018. Please refer to Attachment "A". The FCC's November l8,20ll USFflCC Transformation Order, FCC ll-16l (WC Docket No. 10-90) also requires price cap carriers seeking CAF ICC support to file data establishing the amount of the price cap carrier's eligible CAF ICC funding per 47 C.F.R. $5a30a(c)(l). Please refer to Attachment "B" for Frontier Communications anticipated CAF ICC support and Access Recovery Charge Revenue amounts submitted with its Annual 201 8 Access Tariff Filing. If you have any questions, please call me at 972-908-44 1 5 or email me at kimberly.a.douglass@ftr.com. Sincerely, Kim Douglass Manager Compliance - Regulatory Affairs Attachments cc: Carl Erhart /1* {h,,,y,,,-- ATTACHMENTA t . t t t la.a Frontier COMM U N ICATIONS mvw.Frontier.com CERTIFICATTON I am Group Vice Presiden! Regulatory Affairs for Frontier Communications Corporation. I hereby certifr that I have overall responsibility for the preparation of all data for Frontier Telephone Companies which supports the 2018 Annual Access TariffFiling and that I am authorized to execute this certification. Based on 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 rates contained in the proposed tariffs, I hereby certift that all data have been examined and reviewed and are tue, correct and complete. I also certiff that Frontier Communications Corporation and its price cap regulatcd subsidiaries are not seeking duplicative recovery in the state jurisdiction for any Eligible Recovery subject to the recovery mechanism described in $51.915 and have complied wiflt $$51.915(d) and (e) of the Federal Communications Commission's rules, but are not eligible to receive the CAF ICC support pursuant to $51.915(f) of the Commission's rules beoause all of Frontier's Eligible Recovery can be reoovered through oharges assessed pursuantto $51.915(e) as of July 3,2018. Date: June 18,2018 Kenneth Mason Group Vice President, Regulatory Affairs t ATTACHMENT B Frontier Communications Corporation Summary -7(L(ZOLB FCC TRP Annual Filing Eligible Recovery, Tariffed ARC Revenue, ICC-CAF Support Holdlng Company Eligible Recovery Holding Company Tariffed ARC Revenues Holdlng Company ICC- CAF Support s 99,928,876 s 89,999,809 s