HomeMy WebLinkAbout20030626ITA Reply Comments.pdfConley Ward
GIVENS PURSLEY LLP
277 North 6th Street, Suite 200
O. Box 2720
Boise, ID 83701
(208) 388-1200
(208) 388-1300 (fax)
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UTIL IT\tS-' coH'riiSSION
Attorneys for Idaho Telephone Association
s :\MACS\CEW\IT A \Clear Talk\Reply Comments,doc
IN THE MATTER OF THE PETITION OF IAT
COMMUNICATIONS , INc., d.a. NTCH-
IDAHO, INC. OR CLEAR TALK FOR
DESIGNATION AS AN ELIGIBLE
TELECOMMUNICATIONS CARRIER
BEFORE THE IDAHO PUBLIC SERVICE COMMISSION
: CASE NO.: GNR-03-
IN THE MATTER OF THE APPLICATION OF : CASE NO.: GNR-03-
NPCR, INC. DBA NEXTEL PARTNERS
SEEKING DESIGNATION AS AN ELIGIBLE : REPLY COMMENTS OF IDAHO
TELECOMMUNICATIONS CARRIER : TELEPHONE ASSOCIATION
On behalf of its member companies, the Idaho Telephone Association ("ITA") files the
following Reply Comments in accordance with Order No. 29273 in the above entitled case:
Response to Clear Talk and Nextel Responses to ITA Protest.In its original
Protest of the above-entitled Applications, the ITA pointed out that the Applicants statements
that they currently "meet" all of the requirements for ETC designation are false because the
Applicants do not serve the entirety of most of the rural companies ' study areas , as required by
47 u.S.c. 9214(e).1 Both Nextel and Clear Talk object to this characterization on the grounds
I NexteJ's Application states
, "
Nextel Par111ers meets all of the requirements for designation as an ETC in each of
these Designated Areas." Nextel Application at 2 (emphasis added), Clear Talk's Application states
, "
Clear Talkmeetsall of the Commission s requirements for E.T.C designation to serve southeast Idaho customers." Clear TalkApplication at 3 (emphasis added),
REPLV COMMENTS oFITA-
that the FCC and a number of state commissions have held that the lack of ubiquitous service
throughout an incumbent's service tenitory does not preclude an ETC designation.
The ITA is well aware of the FCC's ruling on this issue, but it stands by its original
statements that Applicants ' claims are not true. The fact is that the Applicants do not currently
meet the statutory ETC test as they claim because they do not currently provide service
throughout the rural companies' study areas. Ubiquitous service throughout the incumbent rural
telephone companies' study area is a statutory requirement that cannot be modified or ignored by
the FCC or state commissions. This statutory provision was enacted for the nu'al telephone
companies' protection and , at the very least, it requires a showing that the Applicants are fit
willing, and able to meet this requirement before ETC status is granted. Whether the Applicants
can meet this test remains to be seen, but at the moment it is clear that the Applicants have not
as a factual matter, complied with the statutory requirements for ETC designation.
Motion for a Stay. The ITA suppOlis the Motion of Citizens Telecommunications
Company ofIdaho, Potlatch Telephone Company, Century/Tel ofIdaho, and CenturyTel of the
Gem State for a stay of these proceedings lmtil the FCC issues its order in Docket No. 96-54.
That docket amounts to a complete reevaluation of both the substantive and procedural
requirements for participation in the Federal Universal Service Fund. At least one FCC
Commissioner has already raised the issue of whether applicants such as Nextel and Clear Talk
should receive ETC designations in rural telephone company study areas. See IT A Protest at 7.
Under these circumstances, it is in the public interest for the Commission to stay these
proceedings pending the FCC's decision. Doing so will spare both the Commission and the
parties from a possible waste of time and resources in litigating applications that may ultimately
prove to be balTed as a matter of law.
REI'LV COMMENTS or ITA - 2
RESPECTFULLY SUBMITTED this 26th day of June, 2003.
/;J~
REPL V COMMENTS OF ITA - 3
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that on the day of June 2003, I caused to be served a true and
correct copy of the foregoing by the method indicated below, and addressed to the following:
Jean Jewell
Idaho Public Utilities Commission
472 W. Washington Street
O. Box 83720
Boise, ID 83720-0074
- US. Mail - Fax -LByHand
Molly O'Leary, Esq.
Richardson & O'Leary, PLLC
99 E. State Street, Suite 200
Eagle, ID 83616
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Sean P. Farrell, Esq.
!AT Communications, Inc.
NTCH-Idaho Inc., dba Clear Talk
703 Pier Avenue, Suite B , PMB 813
Hermosa Beach, CA 90254
--1L U.S. Mail - Fax - By Hand
Dean J. Miller, Esq.
420 West Bannock
O. Box 2564-83701
Boise, ID 83702
--1L U.S. Mail - Fax - By Hand
Philip R. Schenkenberg, Esq.
2200 First National Banlc Building
332 Milmesota Street
Saint Paul, MN 55101
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Morgan W. Richards
Moffatt, Thomas , Barrett, Rock & Fields
101 S. Capitol Blvd., 10th Floor
O. Box 829
Boise, ID 83701-0829
--1L U.S. Mail - Fax - By Hand
REI'L V COMMENTS OF ITA - 4
Lance A. Tade, Manager
State Government Affairs
Citizens Telecommlmications
Company of Idaho
4 Triad Center, Suite 200
Salt Lake City, UT 84180
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Robert M. Nielsen
548 E Street
O. Box 706
Rupert, ID 83350
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Charles H. Creason, II.
President and General Manager
Project Mutual Telephone Cooperative Association, Inc.
507 G Street
O. Box 366
Rupeli, ID 83350
--1L U.S. Mail - Fax - By Hand
REI'LV COMMENTS or ITA - 5