HomeMy WebLinkAbout20060207Amendment B.pdf'" '
STOEL
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101 S. Capitol Boulevard, Suite 1900
Boise, idaho 83702
main 208389.9000
fax 208389.9040
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ATTORNEYS AT lAW If' '
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February 2006
MARYS, HOBSON
Direct (208) 387-4277
mshobson(ij)stoel.com
VIA HAND DELIVERY
Jean Jewell, Secretary
Idaho Public Utilities Commission
472 West Washington Street
O. Box 83720
Boise, Idaho 83720-0074
Re:Case No. QWE-O2-
APPLICATION FOR APPROVAL OF AMENDMENT TO THE
INTERCONNECTION AGREEMENT
New Edge Network Inc. dba New Edge Networks
Dear Ms. Jewell:
Enclosed for filing with this Commission on behalf of Qwest Corporation is an original and three
(3) copies of the Application for Approval of Amendment to the Interconnection
Agreement. Qwest respectfully requests that this matter be placed on the Commission Decision
Meeting Agenda for expedited approval.
Please contact me if you have any questions concerning the enclosed. Thank you for your
assistance in this matter.
Very truly yours~1/~~
Mary SGIobson
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Enclosurecc: Service List
Oregon
Washington
C a i i for n i a
Utah
Boise-192539.10029164-00016 Idaho
- -
Mary S. Hobson (ISB# 2142)
Stoel Rives LLP
101 South Capitol Boulevard - Suite 1900
Boise, ill 83702
Telephone: (208) 389-9000
Facsimile: (208) 389-9040
mshobson~stoel.com
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BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
APPLICATION OF QWEST
CORPORATION FOR APPROVAL OF
AN INTERCONNECTION AGREEMENT
PURSUANT TO 47 U.C. ~252(e)
CASE NO.: QWE-O2-
APPLICATION FOR APPROVAL OF
AMENDMENT TO THE
INTERCONNECTION AGREEMENT
Qwest Corporation ("Qwest") hereby files this Application for Approval of Amendment
to the Interconnection Agreement ("Amendment"), which was approved by the Idaho Public
Utilities Commission on November 21 , 2002 (the "Agreement"). The Amendment with New
Edge Network Inc. dba New Edge Networks ("New Edge ) is submitted herewith.
This Amendment was reached through voluntary negotiations without resort to mediation
or arbitration and is submitted for approval pursuant to Section 252( e) of the Communications
Act of 1934, as amended by the Telecommunications Act of 1996 (the "Act"
Section 252(e)(2) of the Act directs that a state Commission may reject an amendment
reached through voluntary negotiations only if the Commission finds that: the amendment (or
portiones) thereof) discriminates against a telecommunications carrier not a party to this
agreement; or the implementation of such an amendment (or portion) is not consistent with the
public interest, convenience and necessity.
Qwest respectfully submits this Amendment provides no basis for either of these
findings, and, therefore requests that the Commission approve this Amendment expeditiously.
This Amendment is consistent with the public interest as identified in the pro-competitive
policies of the State of Idaho, the Commission, the United States Congress, and the Federal
APPLICATION FOR APPROVAL OF AMENDMENT TO THE INTERCONNECTION AGREEMENT - Page 1
New Edge Network Inc. dba New Edge Networks
Triennial Review Order and Triennial Review Remand Order
Boise-I92538.l 0029164-00016
Communications Commission. Expeditious approval of this Amendment will enable New Edge
to interconnect with Qwest facilities and to provide customers with increased choices among
local telecommunications services.
Qwest further requests that the Commission approve this Amendment without a hearing.
Because this Amendment was reached through voluntary negotiations, it does not raise issues
requiring a hearing and does not concern other parties not a party to the negotiations.
Expeditious approval would further the public interest.
Respectfully submitted this~day of February, 2006.
Qwest Corporation
~Jt~~Stoel Rives LLP, Attorneys for Qwest
APPLICATION FOR APPROVAL OF AMENDMENT TO THE INTERCONNECTION AGREEMENT - Page 2
New Edge Network Inc. dba New Edge Networks
Triennial Review Order and Triennial Review Remand Order
Boise-I92538.10029164-00016
CERTIFICATE OF SERVICE
I hereby certify that on this ~day of February, 2006, I served the foregoing
APPLICATION FOR APPROVAL OF AMENDMENT TO THE INTERCONNECTION
AGREEMENT upon all parties of record in this matter as follows:
Jean Jewell, Secretary
Idaho Public Utilities Commission
472 West Washington Street
O. Box 83720
Boise, Idaho 83720-0074
iiewell~puc.state.id.
--X- Hand Delivery
U. S. Mail
Overnight Delivery
Facsimile
Email
Robert McMillin
New Edge Networks
3000 Columbia House Boulevard - Suite 106
Vancouver, W A 98661
Telephone: (360) 906-9703
Facsimile: (360) 737-0828
rmcmillin ~new ed genetw orks. com
Hand Delivery
U. S. Mail
Overnight Delivery
Facsimile
Email
~~A~~
Brandi L. McMahon, PLS
Legal Secretary to Mary S. Hobson
Stoel Rives LLP
APPLICATION FOR APPROVAL OF AMENDMENT TO THE INTERCONNECTION AGREEMENT - Page 3
New Edge Network Inc. dba New Edge Networks
Triennial Review Order and Triennial Review Remand Order
Boise-192538.l 0029164-00016
Triennial Review Order and Triennial Review Remand Order
TROITRRO") Amendment
to the Interconnection Agreement between
Qwest Corporation
and
New Edge Network Inc. dba New Edge Networks
for the State of Idaho
This is an Amendment ("Amendmenf') to incorporate the Triennial Review Order ("TRO") and
the Triennial Review Remand Order ("TRRO") into the Interconnection Agreement between
Qwest Corporation ("Qwest"), formerly known as U S WEST Communications , Inc., a Colorado
corporation , and New Edge Network Inc. dba New Edge Networks ("CLEC"
).
CLEC and Qwest
shall be known jointly as the "Parties
RECITALS.
WHEREAS , CLEC and Qwest entered into an Interconnection Agreement (such Interconnection
Agreement, as amended to date, being referred to herein as the "Agreement") for services in the
state of Idaho which was approved by the Idaho Public Utilities Commission ("Commission ) on
November 22, 2002; and
WHEREAS, the Federal Communications Commission ("FCC") promulgated new rules and
regulations pertaining to , among other things, the availability of unbundled network elements
("UNEs ) pursuant to Section 251 (c)(3) of the Telecommunications Act of 1996 (the "Acf') in its
Report and Order In the Matter of Review of the Section 251 Unbundling Obligations of
Incumbent Local Exchange Carriers; Implementation of the Local Competition Provisions of the
Telecommunications Act of 1996; Deployment of Wireline Services Offering Advanced
Telecommunications Capability, CC Docket Nos. 01-338 , 96-98 and 98-147, (effective October
, 2003) ("TRO"); and
WHEREAS, on February 4, 2005, the FCC released the Review of the Section 251 Unbundling
Obligations of Incumbent Local Exchange Carriers, Order on Remand (Triennial Review
Remand Order)(FCC 04-290) ("TRRO") , effective March 11 , 2005, which further modified the
rules governing Qwest's obligation to make certain UNEs available under Section 251 (c)(3) of
the Act; and
WHEREAS, the TRO and TRRO Decision, individually and together ("Decisions ) materially
modify Qwest'obligations under the Act with respect to , among other things, Qwest'
requirement to offer certain UNEs; and
WHEREAS, the Parties wish to amend the Agreement to comply with the Decisions hereby
agree to do so under the terms and conditions contained herein.
AGREEMENT
NOW THEREFORE , in consideration of the mutual terms, covenants and conditions contained
in this Amendment and other good and valuable consideration, the receipt and sufficiency of
which is hereby acknowledged , the Parties agree as follows:
I. Amendment Terms.
To the extent applicable, the Agreement is hereby amended by deleting certain UNEs or by
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changing or adding terms and conditions for certain UNEs as set forth in Attachment 1 and
Exhibit A to this Amendment, attached hereto and incorporated herein by this reference.
II.Limitations.
Nothing in this Amendment shall be deemed an admission by Qwest or CLEC concerning theinterpretation or effect of the Decisions, nor rules, regulations, interpretations, and appealsthereof, including but not limited to state rules, regulations, and laws as they may be issued or
promulgated regarding the same. Nothing in this Amendment shall preclude or estop Qwest or
CLEC from taking any position in any forum concerning the proper interpretation or effect ofDecisions or concerning whether the Decisions should be changed, vacated , dismissed, stayedor modified.
III.Conflicts.
In the event of a conflict between this Amendment and the terms and conditions of theAgreement, this Amendment shall control, provided , however, that the fact that a term orprovision appears in this Amendment but not in the Agreement shall not be interpreted as, or
deemed a grounds for finding, a conflict for purposes of this Section III.
IV.Scope.
This Amendment shall amend, modify and revise the Agreement only to the extent the UNEslisted in Attachment 1 are included in the Agreement and, except to the extent set forth inSection I and Section II of this Amendment, the terms and provisions of the Agreement shallremain in full force and effect after the execution date.
Effective Date.
This Amendment shall be deemed effective upon approval by the Commission, except wherethe change of law provision in CLEC's Interconnection Agreement specifies a different effective
date. The Parties agree to implement the provisions of this Amendment upon executionexecution date
VI.Further Amendments.
The provisions of this Amendment, including the provisions of this sentence , may not beamended, modified or supplemented, and waivers or consents to departures from the provisionsof this Amendment may not be given without the written consent thereto by both Parties
authorized representative. No waiver by any Party of any default, misrepresentation , or breachof warranty or covenant hereunder, whether intentional or not, will be deemed to extend to any
prior or subsequent default, misrepresentation, or breach of warranty or covenant hereunder or
affect in any way any rights arising by virtue of any prior or subsequent such occurrence.
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VII.Entire AJ:ueement.
The Agreement as amended (including the documents referred to herein) constitutes the full
and entire understanding and agreement between the Parties with regard to the subjects of the
Agreement as amended and supersedes any prior understandings, agreements, or
representations by or between the Parties, written or oral , to the extent they relate in any way to
the subjects of the Agreement as amended.
The Parties intending to be legally bound have executed this Amendment as of the dates set
forth below, in multiple counterparts, each of which is deemed an original, but all of which shall
constitute one and the same instrument.
New Edge Network Inc.
dba New Edge Networks
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LT. Christensen
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Title
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Amendment to CDS-O20731-0015
TROrrRRO Amendment version 8-25-, Rev 10-31-
ATTACHMENT 1
Table of Contents
RECITALS..................................................""""............................"................... 1
TABLE OF CONTENTS............................................................................................ 4
DEFINITIONS ............................................................................................... 5
UNBUNDLED NETWORK ELEMENTS (UNE) GENERAL................................... 7
UNBUNDLED lOOp.................................................................................... 14
UNBUNDLED DEDICATED INTEROFFICE TRANSPORT (UDIT)......................... 19
UNBUNDLED lOCAL SWITCHING.......................................................... ....... 22
UNBUNDLED NETWORK ELEMENT COMBINATIONS....................................... 25
COMMINGLING ..........................................................................................
RATCHETING ............................................................................................
ROUTINE NETWORK MODIFICATIONS .......................................................... 29
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ATTACHMENT 1
Definitions
Business Line" means a Qwest-owned switched access line used to serve a business
customer, whether by Qwest itself or by CLEC that leases the line from Owest. The number ofBusiness Lines in a Wire Center shall equal the sum of all Qwest business switched access
lines, plus the sum of all UNE loops connected to that Wire Center, including UNE loops
provisioned in combination with other unbundled elements. Among these requirements
Business Line tallies (1) shall include only those access lines connecting End User Customers
with Owest end-offices for switched services; (2) shall not include non-switched special access
lines; and (3) shall account for ISDN and other digital access lines by counting each 64 kbps-
equivalent as one line. For example, a DS1 line corresponds to twenty-four (24) 64 kbps-equivalents, and therefore to twenty-four (24) Business Lines.
Commingling" means the connecting, attaching, or otherwise linking of an Unbundled Network
Element, or a Combination of Unbundled Network Elements, to one or more facilities or services
that a requesting Telecommunications Carrier has obtained at wholesale from Qwest, or the
combination of an Unbundled Network Element, or a Combination of Unbundled Network
Elements, with one or more such facilities or services.
Commingle" means the act of Commingling.
Dark Fiber" is fiber within an existing fiber optic cable that has not yet been activated through
optronics to render it capable of carrying communications services.
Dedicated Transport" is Qwest transmission facilities between wire centers or switches owned
by Owest, or between wire centers or switches owned by Qwest and switches owned by
requesting telecommunications carriers , including, but not limited to, DS1-, DS3-, and OCn-
capacity level services, as well as dark fiber, dedicated to a particular customer or carrier.
Fiber-based Collocator" means any carrier, unaffiliated with Qwest, that maintains a Collocation
arrangement in a Qwest Wire Center, with active electrical power supply, and operates a fiber-
optic cable or comparable transmission facility that (1) terminates at a Collocation arrangement
within the Wire Center; (2) leaves the Owest Wire Center premises; and (3) is owned by a party
other than Qwest or any affiliate of Qwest, except as set forth in this paragraph. Dark fiberobtained from Qwest on an indefeasible right of use basis shall be treated as non-Qwest fiber-optic cable. Two (2) or more affiliated Fiber-based Collocators in a single Wire Center shall
collectively be counted as a single Fiber-based Collocator. For purposes of this paragraph , the
term "affiliate" is defined by 47 U.C. 9 153(1) and any relevant interpretation in this Title.
Interexchange Service" means telecommunications service between stations in different
exchange areas. Ct. Modification of Final Judgment, 9 IV(K), reprinted in United States v. Am.
Tel. Tel. Co.552 F. Supp. 131 , 229 (D. D.C. 1982) (defining "interexchange
telecommunications" as "telecommunications between a point or points located in one exchange
telecommunications area and a point or points located in one or more other exchange areas or
a point outside an exchange area
Long Distance Service" (see "Interexchange Service
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ATTACHMENT 1
Mobile Wireless Service" means all mobile wireless telecommunications services, including
commercial mobile radio service (CMRS). CMRS includes paging, air-ground radio, telephoneservice and offshore radiotelephone services, as well as mobile telephony services, such as the
vice offerings of carriers using cellular radiotelephone, broadband PCS and SMR licenses.
Non-impaired Wire Center" - A Non-impaired Wire Center is a Wire Center that meets the loop
thresholds identified in CFR 47 951.319(a)(4)(i) for DS1 Loops and 951.319(a)(5)(i) for DS3
Loops. Non-impaired Wire Centers also include Tier 1 and Tier 2 Wire Centers as defined in
951.319(e)(3) and subject to the limitations of 951.319(e)(2)(ii)(A) for DS1 Dedicated Transport
951.319(e)(2)(iii)(A) for DS3 Dedicated Transport and 951.319(e)(2)(iv)(A) for Dark Fiber
Transport.
Route" is a transmission path between one of Qwest's Wire Centers or switches and another of
Qwest's Wire Centers or Switches. A Route between two (2) points (e., Wire Center or Switch
A" and Wire Center or Switch ") may pass through one (1) or more intermediate Wire Centers
or Switches (e., Wire Center or Switch "
).
Transmission paths between identical end points
(e., Wire Center or Switch "A" and Wire Center or Switch ") are the same "routeirrespective of whether they pass through the same intermediate Wire Centers or Switches, if
any.
Triennial Review Remand Order" The Triennial Review Remand Order is the Commission
Order on Remand in CC Docket Nos. 01-338 and 04-313 (released February 4, 2005).
Unbundled Network Element" (UNE) is a Network Element that has been defined by the FCC
as a Network Element to which Qwest is obligated under Section 251 (c)(3) of the Act to provide
unbundled access or for which unbundled access is provided under CLEC's Agreement andunder this Amendment. Unbundled Network Elements do not include those Network Elements
Qwest is obligated to provide only pursuant to Section 271 of the Act.
Wire center" A wire center is the location of a Qwest local Switching facility containing one or
more central offices, as defined in the Appendix to part 36 of this chapter. The wire center
boundaries define the area in which all customers served by a given wire center are located.
Tier 1 Wire Centers" means those Qwest Wire Centers that contain at least four Fiber-based
Collocators, at least 38 000 Business Lines, or both. Tier 1 Wire Centers also are those Qwest
tandem Switching locations that have no line-side Switching facilities, but nevertheless serve as
a point of traffic aggregation accessible by CLEC. Once a Wire Center is determined to be a
Tier 1 Wire Center, that Wire Center is not subject to later reclassification as a Tier 2 or Tier 3
Wire Center.
Tier 2 Wire Centers" means those Qwest Wire Centers that are not Tier 1 Wire Centers, but
contain at least 3 Fiber-based Collocators, at least 24 000 Business Lines, or both. Once aWire Center is determined to be a Tier 2 Wire Center, that Wire Center is not subject to later
reclassification as a Tier 3 Wire Center.
Tier 3 Wire Centers" means those Qwest Wire Centers that do not meet the criteria for Tier 1 orTier 2 Wire Centers.
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ATTACHMENT 1
Unbundled Network Elements (UNE) General
1 CLEC'Interconnection Agreement may include terms and conditions for certainNetwork Elements that Qwest is no longer required to offer on an unbundled basis pursuant toSection 251 of the Act. The FCC determined in its Decisions, that certain Unbundled Network
Elements no longer satisfy the FCC's impairment test, and as a result, Qwest is no longer
obligated to offer to CLEC those Network Elements on an unbundled basis pursuant to Section
251 of the Act. The FCC also modified certain Terms and Conditions for other UnbundledNetwork Elements.
As of the execution date of this Amendment, CLEC shall not order, and Qwest will not
provide, the following Network Elements on an unbundled basis pursuant to Section 251 of the
Act:
Unbundled Loops
Certain DS1 Loops subject to the requirements of Section 3.0 following
Certain DS3 Loops subject to the requirements of Section 3.0 following
OCn Loops
FTTH & FTTC Loops subject to the requirements of Section 3.
following
Dark Fiber Loops subject to the requirements of Section 3.5 following
Hybrid Loops (non-copper distribution Loops) except as identified in
Section 3.7 following
Line Sharing
Feeder-Sub-Loop
Shared Distribution Loops
Transport
UDIT (Extended Unbundled Dedicated Interoffice Transport); Transport
from a CLEC's Premises to a Qwest Wire Center;
UDF (Extended Unbundled Dark Fiber); Transport from a CLEC'
Premises to a Qwest Wire Center;
OCn UDIT; including Remote Node/Remote Port and SONET add/drop
multiplexing
UDIT and UDF as a part of a Meet-Point arrangement;
Certain DS1 Transport (UDIT) subject to the requirements of Section 4.
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following
Certain DS3 Transport (UDIT) subject to the requirements of Section 4.
following
Certain Dark Fiber Transport (UDF-IOF) subject to the requirements of
Section 4.7 following
Multiplexing associated with UDIT and Loop/Mux Combo
Unbundled Switching
Packet Switching
Tandem Switching
Mass Market Switching, including UNE-P and related services as
identified in Section 2.
Enterprise Local Switching, including UNE-P and related services as
identified in Section 2.
Signaling Networks (stand alone)
1 Related services
Transition
Customized Routing
Signaling
AIN Database Services
Line Information Database (LlDB)
8XX Database Services
InterNetwork Calling Name (ICNAM)
Local Number Portability (LNP) Database
Shared Transport
2.4.Transition plans for embedded Network Elements identified in the
above lists are identified in the following sections.
After execution of this Amendment, Qwest shall back bill the FCC ordered rate increases
to March 11 , 2005, for existing Non-Impaired DS1 Loop and Transport, DS3 Loop andTransport, Dark Fiber Loop and Transport and Mass Market Switching Services pursuant toTransition rate increases identified in Sections 3., 3., 3., 4., 4.2 and 5.3. Such back billing shall not be subject to billing measurements andpenalties.
2.4 So long as GLEG is offering an eligible Telecommunications Service - i.e., notexclusively long distance or mobile wireless services - over the high capacity loop or dedicated
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A IT ACHMENT 1
transport it may obtain that element as a UNE. CLEC may not access UNEs for its ownadministrative uses. If CLEC accesses and uses a UNE consistently with this section, CLECmay provide any Telecommunications Services over that UNE.
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To submit an order to obtain a high-capacity loop or transport UNE CLEC mustundertake a reasonably diligent inquiry and, based on that inquiry, self-certify that, to the best ofits knowledge, its request is consistent with the requirements discussed in parts IV, V, and VI ofthe Triennial Review Remand Order and that it is therefore entitled to unbundled access to the
particular network elements sought pursuant to section 251 (c)(3). As part of such reasonably
diligent inquiry, CLEC shall ensure that a requested unbundled DS1 or DS3100p is not in a Wire
Center identified on the list provided by Qwest of Wire Centers that meet the applicable non-
impairment thresholds specified in Sections 3.1 and 3., and that a requested unbundled
DS1 , DS3 or dark fiber transport circuit is not between Wire Centers identified on the list of Wire
Centers that meet the applicable non-impairment threshold specified in Sections 4., 4.and 4.1.7.1. CLEC shall provide a letter or other mutually agreed upon form to document its
compliance. CLEC will maintain appropriate records that document what CLEC relied upon to
support its certification.
Upon receiving a request for access to a dedicated transport or high-capacityloop UNE that indicates that the UNE meets the relevant factual criteria discussed insections V and VI of the Triennial Review Remand Order, Qwest must immediately
process the request, if the UNE is in a location that does not meet the applicable non-
impairment thresholds referred to in Section 2.8. To the extent that Qwest seeks to
challenge any other such UNEs, it subsequently can raise that issue through the dispute
resolution procedures provided for in CLEC's Interconnection Agreement.
If it is determined by CLEC and Qwest that CLEC's access to or use of UNEs is
inconsistent with Existing Rules, except due to change in law, CLEC has thirty (30)calendar Days to convert such UNEs to alternate service arrangements and GLEC is
subject to back billing for the difference between rates for the UNEs and rates for the
Qwest alternate service arrangements. CLEC is also responsible for all non-recurring
charges associated with such conversions.
3 When CLEC submits an order to convert a special access circuit to a UNE and
that circuit has previously been exempt from the special access surcharge pursuant to
47 CFR 69.115, GLEC shall document in its certification when and how the circuit was
modified to permit interconnection of the circuit with a local exchange subscriber line.
8.4 Additional Non-Impaired Wire Centers. If additional Qwest Wire Centers are
found to meet the relevant factual criteria discussed in Sections V and VI of the FCC'
Triennial Review Remand Order under which Qwest is no longer is required to offer
Unbundled DS1 or DS3 Loops , and/or if additional Qwest Wire Centers are reclassified
as Tiers 1 or 2, thus impacting the availability of Unbundled DS1 , DS3 , or Dark Fiber
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ATTACHMENT 1
transport, Owest shall provide notice to CLEC. Thirty (30) Days after notification from
Qwest, CLEC will no longer order impacted high capacity or Dark Fiber UNEs in orbetween those additional Wire Centers. CLEC will have ninety (90) Days to transition
exiting DS1 and DS3 UNEs to an alternative service. CLEC will have one hundred
eighty (180) Days to transition Dark Fiber transport to an alternative service. Qwest and
CLEC will work together to identify those circuits impacted by such change. Absent
CLEC transition of impacted UNEs within the transition period above, Qwest will convertfacilities to month-to-month service arrangements in Qwest's Special Access Tariff or
begin the disconnect process of Dark Fiber facilities. CLEC is subject to back billing forthe difference between the UNE and Tariff rates beginning on the ninety-first (91 st) Day
as well as for all applicable nonrecurring charges associated with such conversions.
Service Eligibility Criteria
The following Service Eligibility Criteria apply to combinations and/orCommingling of high capacity (DS1 and DS3) Loops and interoffice transport (highcapacity EELs). This includes new UNE EELs, EEL conversions (including commingled
EEL conversions), or new commingled EELs (e., high capacity loops attached to
special access transport).
Except as otherwise provided in this Section 2., Owest shall
provide access to Unbundled Network Elements and Combinations of Unbundled
Network Elements without regard to whether CLEC seeks access to theUnbundled Network Elements to establish a new circuit or to convert an existing
circuit from a service to Unbundled Network Elements.
CLEC must certify that the following Service Eligibility Criteria are
satisfied to: (1) convert a Special Access Circuit to a high capacity EEL, (2) to
obtain a new high capacity EEL; or (3) to obtain at UNE pricing any portion of a
Commingled circuit that includes a high capacity Loop and transport facility or
service. Such certification shall be in accordance with all of the following
Sections.
State Certification. CLEC has received state certification
to provide local voice service in the area being served or, in the absenceof a state certification requirement, has complied with registration
tariffing, filing fee, or other regulatory requirements applicable to the
provision of local voice service in that area.
Per Circuit Criteria. The following criteria are satisfied for
each combined circuit, including each DS1 circuit, each DS1 EEL, and
each DS1-equivalent circuit on a DS3 EEL:
Telephone Number Assignment. Each circuit to beprovided to each End User Customer will be assigned a local telephonenumber prior to the provision of service over that circuit. This requires
that each DS1 circuit must have at least one (1) local telephone number
and each DS3 circuit has at least twenty-eight (28) local telephone
numbers. The origination and termination of local voice traffic on each
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ATTACHMENT 1
local telephone number assigned to a circuit shall not include a toll charge
and shall not require dialing special digits beyond those normally required
for a local voice call. CLEC will provide local telephone number
assignments by circuit;
911 or E911. Each circuit to be provided to each End User
Customer will have 911 or E911 capability prior to the provision of service
over that circuit. CLEC will provide evidence of 911 or E911 capability for
each circuit to be provided to each End User Customer.
Collocation. CLEC will provide evidence that each circuit
terminates in a Collocation arrangement by providing the associated CFA.
In addition:
Each circuit to be provided to each End
User Customer will terminate in a Collocation arrangement
that is established pursuant to Section 251 (c)(6) of the Act
and located at Qwest's Premises within the same LATA as
the End User Customer s premises, when Qwest is not the
collocator, and cannot be at an Interexchange Carrier POP
or ISP POP location;
Each circuit to be provided to each End
User Customer will terminate in a Collocation arrangement
that is located at the third party's premises within the same
LATA as the End User Customer s premises, when Qwest
is the collocator; and
When a DS1 or DS3 EEL Loop is
connected to a multiplexed facility, the multiplexed facility
must be terminated in a Collocation arrangement that is
established pursuant to Section 251 (c)(6) of the Act and
located at Qwest's Premises within the same LATA as the
End User Customer s premises, when Qwest is not the
collocator, and cannot be at an Interexchange Carrier POP
or ISP POP location.
Interconnection Trunking. CLEC must arrange for the
meaningful exchange of traffic which must include hand-offs of local voice
calls that flow in both directions. Where CLEC does not arrange for a
meaningful exchange of traffic, those arrangements cannot be attributedtowards satisfaction of this criterion. CLEC will identify the
Interconnection trunk(s) satisfying this criterion. At a minimum, each DS1
circuit must be served by a DSO equivalent LIS trunk in the same LATA
as the End User Customer served by the circuit. For each twenty-four
(24) DS1 circuits, CLEC must maintain at least one (1) active DS1 LIS
trunk in the same LATA as the End User Customer served by the circuit.
Calling Party Number. Each circuit to be provided
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to each End User Customer will be served by an Interconnection
trunk over which CLEC will transmit the Calling Party Number
connection with calls exchanged over the trunk. For each twenty-
four (24) DS1 EELs or other facilities having equivalent capacity,
CLEC will have at least one (1) active DS1 LIS trunk over which
CLEC will transmit the Calling Party Number in connection withcalls exchanged over the trunk. If the Calling Party Number is not
exchanged over an Interconnection trunk, that trunk shall not be
counted towards meeting this criteria. For each circuit, CLEC will
identify the Interconnection trunk satisfying this criterion.
End Office Switch. Each circuit to be provided to each End
User Customer will be served by an End Office Switch capable of
Switching local voice traffic. CLEC must certify that the Switchingequipment is either registered in the LERG as a Class 5 Switch or that it
can switch local voice traffic. CLEC will provide written documentation of
the Switch type and CLLI code for the Switch satisfying this criterion.
With each order, CLEC must provide certification and theidentified supporting information to Qwest through a certification letter, or othermutually agreed upon communication , that each individual high capacity loop in
combination, or Commingled, with a Owest-provided high capacity transport
facility or service, meets the Service Eligibility Criteria set forth above beforeQwest will provision or convert the high capacity facility in combination orCommingled.
1.4 CLEC's high capacity combination or Commingled facility Service
Eligibility shall remain valid only so long as CLEC continues to meet the Service
Eligibility Criteria set forth above. If CLEC's Service Eligibility on a given high
capacity combination or Commingled facility is no longer valid CLEC must
submit a service order converting the facility to the appropriate PrivateLine/Special Access service within thirty (30) Days.
Service Eligibility Audits. In order to confirm reasonable
compliance with these requirements, Owest may perform Service Eligibility
Audits of CLEC'records. Service Eligibility Audits shall be performed inaccordance with the following guidelines: '
Qwest may, upon thirty (30) Days written notice to CLEC
that has purchased high capacity combination and Commingled facilities
conduct a Service Eligibility Audit to ascertain whether those highcapacity facilities were eligible for UNE treatment at the time of
Provisioning or conversion and on an ongoing basis thereafter.
CLEC shall make reasonable efforts to cooperate with any
Service Eligibility Audit by Owest and shall maintain and provide Qwest
with relevant records (e., network and circuit configuration data, localtelephone numbers) which demonstrate that CLEC'high capacitycombination and Commingled facilities meet the Service Eligibility
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Criteria.
An independent auditor hired and paid for by Qwest shall
perform any Service Eligibility Audits, provided, however, that if a ServiceEligibility Audit reveals that CLEC's high capacity combination andCommingled facility circuit(s) do not meet or have not met the Service
Eligibility Criteria, then CLEC shall reimburse Qwest for the cost of the
audit. To the extent the independent auditor s report concludes that
CLEC complied in all material respects with the Service Eligibility Criteria
Qwest shall reimburse CLEC for its costs associated with the Service
Eligibility Audit.
5.4 An independent auditor must perform its evaluation inaccordance with the standards established by the American Institute for
Certified Public Accountants (AI CPA) and during normal business hours
unless there is a mutual agreement otherwise.
Qwest shall not exercise its Service Eligibility Audit rights
with respect to CLEC (excluding Affiliates), more than once in any
calendar year, unless an audit finds non-compliance. If a ServiceEligibility Audit does find non-compliance, Qwest shall not exercise its
Service Eligibility Audit rights for sixty (60) Days following that audit, and ifany subsequent Service Eligibility Audit does not find non-compliance
then Qwest shall not exercise its Service Eligibility Audit rights for theremainder of the calendar year.
At the same time that Qwest provides notice of a ServiceEligibility Audit to CLEC under this paragraph, Qwest shall send a copy ofthe notice to the Federal Communications Commission.
Service Eligibility Audits conducted by Qwest for thepurpose of determining compliance with Service Eligibility Criteria shallnot effect or in any way limit any audit or Dispute Resolution rights that
Qwest may have pursuant to other provisions of this Agreement.
Qwest shall not use any other audit rights it may have
under this Agreement to audit for compliance with the Service EligibilityCriteria of this Section. Qwest shall not require a Service Eligibility Audit
as a prior prerequisite to Provisioning combination and Commingledfacilities.
CLEC shall maintain appropriate records to support its
Service Eligibility Criteria. However, CLEC has no obligation to keep any
records that it does not keep in the ordinary course of its business.
10 If a Service Eligibility Audit demonstrates that a highcapacity combination and Commingled facilities do not meet the ServiceEligibility Criteria above, the CLEC must convert all non-compliant circuits
to Private Line/Special Access circuits and CLEC must true-up any
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difference in payments within thirty (30) days.
Unbundled Loop
Unbundled Loops are available pursuant to CLEC's Agreement and the following terms
and conditions.
DS1 Unbundled Loops. Subject to the cap described in Section 3.1 .1 ,Qwest shall provide CLEC with non-discriminatory access to a DS1 loop on an
unbundled basis to any building not served by a Wire Center with at least 60 000Business Lines and at least four (4) Fiber-based Collocators. Once a Wire Centerexceeds both of these thresholds, no future DS1 loop unbundling will be required in that
Wire Center.
Cap on Unbundled DS1 Loop Circuits. CLEC may obtain a
maximum of ten (10) unbundled DS1 Loops to any single building in which DS1Loops are available as Unbundled Loops.
Transition period for DS1 loop circuits. For a twelve (12)month period beginning March 11 , 2005, any DS1 loop UNEs that a CLECleases from Owest as of that date, but which Owest is not obligated to unbundle
pursuant to Sections 3.1 or 3.1 , shall be available for lease from Owest at a
rate equal to the higher of (1) 115% of the rate the requesting carrier paid for the
loop element on June 15, 2004, or (2) 115% of the rate the state commission has
established or establishes, if any, between June 16, 2004, and the effective dateof the Triennial Review Remand Order, for that Loop element. Where Qwest is
not required to provide unbundled DS1 loops pursuant to Sections 3.1 or, CLEC may not obtain new DS1 loops as unbundled network elements.
Owest and CLEC will work together to identify those circuits impacted in Non-
Impaired Wire Centers.
Billing. The 15% transitional rate increment will be applied toCLECs bill as a manual adjustment on the following bill cycle. The first billadjustment will be applied to each account based on the Billing TelephoneNumber (BTN) and/or Circuit (CKT) per Billing Account Number (BAN) with an
effective bill date of March 11 , 2005 on the first or second bill cycle following the
contract execution date.
DS3 Unbundled Loops. Subject to the cap described in Section 3.Qwest shall provide CLEC with non-discriminatory access to a DS3 loop on an
unbundled basis to any building not served by a Wire Center with at least 38 000Business Lines and at least four (4) Fiber-based Collocators. If a Wire Center exceedsboth of these thresholds, no future DS3 Loop unbundling is required in that Wire Center.
Cap on Unbundled DS3 Loop Circuits. CLEC may. obtain amaximum of a single unbundled DS3 Loop to any single building in which DS3Loops are available as unbundled loops.
Transition period for DS3 loop circuits. For a twelve (12)month period beginning March 11 , 2005J. any DS3 loop UNEs that a CLEC
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leases from the Qwest as of that date, but which the Qwest is not obligated to
unbundle pursuant to Sections 3.2 or 3., shall be available for lease from
the Qwest at a rate equal to the higher of (1) 115% of the rate the requesting
carrier paid for the loop element on June 15, 2004, or (2) 115% of the rate the
state commission has established or establishes, if any, between June 16, 2004and the effective date of the Triennial Review Remand Order, for that loop
element. Where Qwest is not required to provide unbundled DS3 loops pursuant
to Sections 3.2 or 3., CLEC may not obtain new DS3 loops as unbundled
network elements. Qwest and CLEC will work together to identify those circuits
impacted in Non-Impaired Wire Centers.
Billing. The 15% transitional rate increment will be applied toCLECs bill as a manual adjustment on the following bill cycle. The first bill
adjustment will be applied to each account based on the BTN and/or CKT per
BAN with an effective bill date of March 11 , 2005 on the first or second . bill cyclefollowing the contract execution date.
Failure To Convert Non-Impaired Services - DS1 and DS3 Loops. AbsentCLEC Transition of DS1 and DS3 Loops by March 10, 2006, Qwest will convert facilitiesto month to month service arrangements in Qwest's Special Access Tariff. CLEC is
subject to back billing for the difference between the rates for the UNEs and rates for the
Qwest alternative service arrangements to March 11 , 2006. All appropriate tariffcharges in Section 5 of FCC No.1 associated with such conversions shall apply.
Qwest shall make available to CLEC a list of those Non-Impaired Wire Centersthat satisfy the above criteria and update that list as additional Wire Centers meet these
criteria.
Dark Fiber Loops Including Fiber Sub-loop. Qwest is not required to provide
CLEC with access to a Dark Fiber Loop on an unbundled basis except for UDF-MTE
Subloop below. Dark fiber is fiber within an existing fiber optic cable that has not yet
been activated through optronics to render it capable of carrying communicationsservices.
Transition period for Dark Fiber Loop circuits. For an
18-month period beginning March 11 , 2005, any Dark Fiber Loop UNEs that a
CLEC leases from Qwest as of that date shall be available for lease from Qwest
at a rate equal to the higher of (1) 115% of the rate the requesting carrier paid for
the loop element on June 15, 2004, or (2) 115% of the rate the state commission
has established or establishes, if any, between June 16, 2004, and the effectivedate of the Triennial Review Remand Order, for that Loop element. CLEC maynot obtain new Dark Fiber Loops as Unbundled Network Elements. Qwest and
CLEC will work together to identify those circuits impacted.
Failure To Convert Non-Impaired Network Elements - DarkFiber Loops including Fiber Sub-loop. Absent CLEC transition of Dark FiberLoops as of September 10, 2006, Qwest will, or maintains the right to, begin thedisconnection process of CLEC Dark Fiber Loops.
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UDF MTE Subloop begins at or near an MTE to provide access to
MTE premises wiring.
1 .Access to Dark Fiber MTE Subloops at or near an MTE
Terminal within a non-Qwest owned MTE is done through an MTE-POI.
Collocation is not required to access Subloops used to access the
network infrastructure within an MTE, unless CLEC requires the
placement of equipment in a Qwest Premises. The termination and
placement of CLEG fiber facilities at an MTE is solely the responsibly of
CLEC. CLEC is responsible for all negotiations with the End User
Customer and or premises owner for such placement of CLEC facilities.
Termination at an MTE. CLEC shall access the UDF MTE
Subloop on the MTE premises at a technically feasible point if possible.
If access is not technically feasible on the MTE premises, then CLEC
may request access to UDF MTE Subloop at a technically feasible point
near the MTE premises. Qwest will prepare and submit to CLEC a
quote along with the original Field Verification Quote Preparation form
(FVQP) within the interval set forth in Exhibit C. Quotes are on an
Individual Case Basis (ICB) and will include costs and an interval in
accordance within the interval set forth in the Agreement.
A complex IRI is used to determine if a UDF MTE Subloop
is available to gain access to network infrastructure within an MTE.
Quotes are on an Individual Case Basis (ICB) and may include costs in
addition to any installation charges specified in Exhibit A. of your
Agreement.
6 mH and FTTC Loops. For purposes of this Section, a Fiber-to-the-Home(mH) loop is a local Loop consisting entirely of fiber optic cable, whether dark or litand serving an End User Customer s Premises, or, in the case of predominantlyresidential multiple dwelling units (MDUs), a fiber optic cable, whether dark or lit, thatextends to the MDU's minimum point of entry (MPOE). For purposes of this Section , aFiber-to-the-Curb (me) loop is a local loop consisting of fiber optic cable connecting to
a copper distribution plant loop that is not more than 500 feet from the End UserCustomers Premises or, in the case of predominantly residential MDU, not more than
500 feet from the MDU's MPOE. The fiber optic cable in a mc must connect to a
copper distribution plant loop at a serving area interface from which every other copper
distribution subloop also is not more than 500 feet from the respective End UserCustomers Premises.
FTTH/FTTC New Builds. Qwest shall have no obligation to
provide access to an mH/mC loop as an Unbundled Network Element in any
situation where Qwest deploys such a loop to an End User Customer s Premises
that had not previously been served by any loop facility prior to October 2 2003.
mH/FTTC Overbuilds. Qwest shall have no obligation to
provide access to an mH/mC loop as an Unbundled Network Element in any
situation where Qwest deploys such a loop parallel to, or in replacement of, an
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existing copper loop facility. Notwithstanding the foregoing, where Qwest
deploys a FTTH/mC loop parallel to, or in replacement of, an existing copper
loop facility:
Qwest shall: (i) leave the existing copper loop connected
to the End User Customer s Premises after deploying the mH/mC
loop to such Premises, and (ii) upon request provide access to such
copper loop as an Unbundled Network Element Notwithstanding theforegoing, Qwest shall not be required to incur any expense to ensure
that any such existing copper loop remains capable of transmitting signals
prior to receiving a request from CLEC for access, as set forth above, in
which case Qwest shall restore such copper loop to serviceable condition
on an Individual Case Basis. Any such restoration shall not be subject to
Performance Indicator Definition or other performance service
measurement or intervals. Qwest's obligations under this subsection
1 .shall terminate when Qwest retires such copper Loop in
accordance with the provisions of Section 3.3 below.
In the event Qwest, in accordance with the provisions of
Section 3.3 below, retires the existing copper loop connected to the
End User Customer s Premises, Qwest shall provide access, as an
Unbundled Network Element, over the FTTH/mC loop to a 64 kbps
transmission path capable of voice grade service.
Retirement of Copper Loops or Copper Subloops andReplacement with FTTH/mC Loops. In the event Qwest decides to replace
any copper loop or copper Subloop with a FTTH/mC Loop, Qwest will: (i)provide notice of such planned replacement on its web site
(www.qwestcom/disclosures); (ii) provide e-mail notice of such planned
retirement to CLECs; and (iii) provide public notice of such planned replacement
to the FCC. Such notices shall be in addition to any applicable state Commission
notification that may be required. Any such notice provided to the FCC shall be
deemed approved on the ninetieth (90th) Day after the FCC's release of its publicnotice of the filing, unless an objection is filed pursuant to the FCC's rules. In
accordance with the FCC's rules: (i) a CLEC objection to a Qwest notice that it
plans to replace any copper Loop or copper subloop with a FTTH/mC Loopshall be filed with the FCC and served upon Qwest no later than the ninth (9th
business day following the release of the FCC's public notice of the filing and (ii)
any such objection shall be deemed denied ninety (90) Days after the date on
which the FCC releases public notice of the filing, unless the FCC rulesotherwise within that period.6.4 Handling of embedded FTTH/mC Loops. All embedded CLECservices over FTTH/FTTC Loops in place prior to the signature on this
Amendment will be 'grandfathered' subject to re-classification upon change of
service.
Hybrid Loops. A "Hybrid Loop" is an Unbundled Loop composed of both fiber
optic cable, usually in the feeder plant, and copper wire or cable, usually in the
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distribution plant.
Broadband Services. When CLEC seeks access to a Hybrid Loop
for the provision of broadband services, including DS1 or DS3 capacity, but not
DSL, Qwest shall provide CLEC with non-discriminatory access on an unbundled
basis to time division multiplexing features, functions, and capabilities of that
Hybrid Loop, only where impairment has been found to exist to establish a
complete transmission path between Qwest's Central Office and an End User
Customer s premises. This access shall include access to all features, functionsand capabilities of the Hybrid Loop that are not used to transmit packetized
information.
Narrowband Services. When CLEC seeks access to a Hybrid
Loop for the provision of narrowband services, Qwest may either:
Provide non-discriminatory access, on an unbundled basis
to an entire Hybrid Loop capable of voice-grade service (Le., equivalent to
DSO capacity), using time division multiplexing technology; or
Provide nondiscriminatory access to a spare home-run
copper loop serving that End User Customer on an unbundled basis.
Subloop Unbundling. An Unbundled Sub loop is defined as the distributionportion of a copper Loop or hybrid Loop comprised entirely of copper wire or copper
cable that acts as a transmission facility between any point that it is Technically Feasible
to access at terminals in Qwest's outside plant (originating outside of the Central Office),
including inside wire owned or controlled by Qwest, and terminates at the End User
Customer premises. An accessible terminal is any point on the Loop wheretechnicians can access the wire within the cable without removing a splice case to reach
the wire within. Such points may include, but are not limited to, the pole, pedestalNetwork Interface Device minimum point of entry, single point of Interconnection
Remote Terminal, Feeder Distribution Interface (FDI), or Serving Area Interface (SAI).CLEC shall not have access on an unbundled basis to a feeder subloop defined asfacilities extending from the Central Office to a terminal that is not at the End UserCustomers premises or multiple tenant environment (MTE). CLEC shall have access tothe feeder facilities only to the extent it is part of a complete transmission path , not asub loop, between the Central Office and the End User Customer s premises or MTE.This section does not address Unbundled Dark Fiber MTE Subloop which is addressedin Section 3.
1 Qwest's obligation to construct a Single Point of Interface (SPOI)
is limited to those MTEs where Qwest has distribution facilities to that MTE and
owns , controls, or leases the inside wire at the MTE. In addition, Qwest shallhave an obligation to construct a SPOI only when CLEC indicates that it intends
to place an order for access to an unbundled Subloop Network Element via a
SPOI.
Access to Distribution Loops or Intrabuilding Cable Loops at an
MTE Terminal within a non-Qwest owned MTE is done through an MTE-POI.
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Collocation is not required to access Subloops used to access the network
infrastructure within an MTE, unless CLEC requires the placement of equipment
in a Qwest Premises. Cross-Connect Collocation , refers to creation of a cross
connect field and does not constitute Collocation. The terms and conditions of
Collocation do not apply to Cross-Connect Collocation if required at or near an
MTE.
Failure To Convert Non-Impaired Services - Feeder Subloops.Absent CLEC Transition of Feeder SubLoop, within ninety (90) Days
Execution of this Amendment, Qwest will convert facilities to month to month
service arrangements in Qwest's Special Access Tariff. CLEC is subject to back
billing for the difference between the rates for the UNEs and rates for the Qwest
alternative service arrangements to the 9151 day. CLEC is also responsible for all
non-recurring charges associated with such conversions.
Line Sharing. Qwest shall not be required to provide Line Sharing unless the
Agreement has been amended with a Qwest Commercial Line Sharing Amendment.
10 Shared Distribution Loop. Qwest shall not be required to provide Shared
Distribution Loop unless the Agreement has been amended with a Qwest Commercial
Shared Distribution Loop Amendment.
Unbundled Dedicated Interoffice Transport (UDIT)
Qwest is not obligated to provide CLEC with unbundled access to dedicated
transport that does not connect a pair of Qwest Wire Centers.
All transport services, when combined with high capacity Loops, are subject tothe Service Eligibility Criteria as outlined in Section 2.9 of this Amendment.
UDIT is available pursuant to CLEC's Agreement and the following terms and conditions.
DS1 UDIT. Qwest shall unbundle DS1 transport between any pair of Qwest Wire
Centers except where, through application of "Tier" classifications, as defined in Section
0 of this Amendment, both Wire Centers defining the Route are Tier 1 Wire Centers.
As such, Qwest must unbundle DS1 transport if a Wire Center at either end of arequested Route is not a Tier 1 Wire Center, or if neither is a Tier 1 Wire Center.
CLEC may obtain a maximum of ten (10) unbundled DS1
dedicated transport circuits on each Route where DS1 dedicated transport isavailable on an unbundled basis.
Transition period for DS1 transport circuits. For a twelve (12)
month period beginning March 11 , 2005, any DS1 dedicated transport UNE that
a CLEC leases from Qwest as of that date, but which Qwest is not obligated tounbundle pursuant to Sections 4.1 or 4.1 ., shall be available for lease from
Qwest at a rate equal to the higher of (1) 115 percent of the rate the requestingcarrier paid for the dedicated transport element on June 15, 2004, or (2) 115percent of the rate the state commission has established or establishes, if any,
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between June 16, 2004, and the effective date of the Triennial Review Remand
Order, for that dedicated transport element. Where Qwest is not required to
provide unbundled DS1 transport pursuant to Sections 4.1 or 4., CLECmay not obtain new DS 1 transport as unbundled network elements. Qwest and
CLEC will work together to identify those circuits impacted between Non-
Impaired Wire Centers.
Billing. The 15% transitional rate increment will be applied toCLECs bill as a manual adjustment on the following bill cycle. The first billadjustment will be applied to each account based on the BTN and/or CKT per
BAN with an effective bill date of March 11 , 2005 on the first or second bill cycle
following the contract execution date.
DS3 UDIT - Owest shall unbundle DS3 transport between any pair of Owest Wire
Centers except where, through application of "Tier" classifications, as defined in Section0 of this Amendment, both Wire Centers defining the Route are either Tier 1 or Tier 2
Wire Centers. As such, Owest must unbundle DS3 transport if a Wire Center on either
end of a requested Route is a Tier 3 Wire Center.
CLEC may obtain a maximum of twelve (12) unbundled DS3dedicated transport circuits on each Route where DS3 dedicated transport is
available on an unbundled basis.
Transition period for DS3 transport circuits. For a twelve (12)
month period beginning March 11 , 2005, any DS3 dedicated transport UNE thata CLEC leases from the Owest as of that date, but which the Owest is notobligated to unbundle pursuant to Sections 4.2 or 4., shall be available forlease from the Qwest at a rate equal to the higher of (1) 115 percent of the rate
the requesting carrier paid for the dedicated transport element on June 15, 2004or (2) 115 percent of the rate the state commission has established orestablishes, if any, between June 16, 2004, and the effective date of the Triennial
Review Remand Order, for that dedicated transport element. Where Owest is
not required to provide unbundled DS3 transport pursuant to Sections 4.2 orCLEC may not obtain new DS3 transport as unbundled networkelements. Owest and CLEC will work together to identify those circuits impacted
between Non-I mpaired Wire Centers.
Billing. The .15% transitional rate increment will be applied toCLECs bill as a manual adjustment on the following bill cycle. The first bill
adjustment will be applied to each account based on the BTN and/or CKT per
BAN with an effective bill date of March 11 , 2005 on the first or second bill cycle
following the contract execution date.
Qwest shall make available to CLEC a list of those Non-Impaired Wire Centersthat satisfy the above criteria and update that list as additional Wire Centers meet these
criteria.
Failure To Convert Non-Impaired Services - DS1 and DS3 UDiT. AbsentCLEC transition of DS1 and DS3 Transport by March 10, 2006, Qwest will convert
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facilities to month to month service arrangements in Qwest's Special Access Tariff andCLEC is subject to back billing for the difference between the rates for the UNEs and
rates for the Qwest alternative service arrangements to March 11 , 2006. All appropriate
tariff charges in Section 5 of FCC No.1 associated with such conversions shall apply.
Failure To Convert Non-Impaired Services - OCn UDIT. Absent CLECtransition of OCn Transport within ninety (90) days of Execution of this Amendment
Qwest will convert facilities to month to month service arrangements in Qwest's Special
Access Tariff and CLEC is subject to back billing for the difference between the rates for
the UNEs and rates for the Qwest alternative service arrangements to the 9181 day Allappropriate tariff charges in Section 5 of FCC No.1 associated with such conversions
shall apply.
Failure To Convert Non-Impaired Services - DS1 and DS3 E-UDIT and M-UDIT. Absent CLEC transition of DS1 and DS3 E-UDIT and M-UDIT within ninety (90)days of Execution of this Amendment, Qwest will convert facilities to month to monthservice arrangements in Qwest'sSpecial Access Tariff and CLEC is subject to backbilling for the difference between the rates for the UNEs and rates for the Qwestalternative service arrangements to the 9181 day. All appropriate tariff charges in Section
5 of FCC No.1 associated with such conversions shall apply.
Unbundled Dark Fiber (UDF) IOF
1 Dedicated dark fiber transport shall be made available to CLEC on anunbundled basis as set forth in the Interconnection Agreement and as set forthbelow. Dark fiber transport consists of unactivated optical interofficetransmission facilities.
Qwest shall unbundle dark fiber transport between any pair
of Qwest Wire Centers except where, through application of "Tierclassifications defined in Section 1.0 of this Amendment, both WireCenters defining the Route are either Tier 1 or Tier 2 Wire Centers. As
such , Qwest must unbundle dark fiber transport if a Wire Center on either
end of a requested Route is a Tier 3 Wire Center.
Transition period for dark fiber transport circuits. For
an 18-month period beginning on the effective date of the Triennial
Review Remand Order, any dark fiber dedicated transport UNE that a
CLEC leases from Qwest as of that date, but which Qwest is notobligated to unbundle pursuant to Section 4., shall be available forlease from Qwest at a rate equal to the higher of (1) 115 percent of the
rate the requesting carrier paid for the dedicated transport element on
June 15, 2004, or (2) 115 percent of the rate the state commission has
established or establishes, if any, between June 16, 2004, and theeffective date of the Triennial Review Remand Order, for that dedicatedtransport element. Where Qwest is not required to provide unbundleddark fiber transport pursuant to Section 4.1.1; CLEC may not obtainnew dark fiber transport as unbundled network elements. Qwest and
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CLEC will work together to identify those circuits impacted in Non-
Impaired Wire Centers.
Billing. The 15% transitional rate increment will be
applied to CLECs bill as a manual adjustment on the following bill cycle.
The first bill adjustment will be applied to each account based on the BTN
and/or CKT per BAN with an effective bill date of March 11 , 2005 on the
first or second bill cycle following the contract execution date.
Qwest shall make available to CLEC a list of those Non-
Impaired Wire Centers that satisfy the above criteria and update that list
as additional Wire Centers meet these criteria.
Failure To Convert Non-Impaired Services - UDF-IOF.
Absent CLEC Transition of UDF, as of September 10, 2006, Qwest will
or maintains the right to, begin the disconnection process of CLEC Dark
Fiber Facilities.
8 E-UDF and M-UDF (Meet Point Billed-UDF) Transition Language.
Upon the Execution Date of this Amendment, CLEC will not place, and Qwest will not
accept, any ASRs for Extended Unbundled Dark Fiber (E-UDF) or M-UDF (Meet PointUDF). Qwest account representatives will work with CLECs on a plan to convert any
existing E-UDF or M-UDF to other alternative Qwest products or services, if GLEC sodesires. CLEC must convert these services by December 10, 2005. Qwest and CLEC
will work together to identify those circuits impacted.
Failure To Convert Non-Impaired Networks Elements - E-UDF
and M-UDF. Absent CLEC Transition E-UDF and M-UDF as of December 10
2005, Qwest will begin or maintain the right to begin, disconnect process of Dark
Fiber Facilities.
Unbundled Local Switching
Transition of Unbundled Local circuit Switching, including UNE-P Services
1 DSO Capacity (Mass Market)
Qwest is not required to provide access to local circuit Switching
on an unbundled basis to requesting telecommunications carriers for the purpose
of serving end-user customers using DSO capacity loops.
Each requesting telecommunications carrier shall migrate its
embedded base of end-user customers off of the unbundled local circuitSwitching element to an alternative arrangement within twelve (12) months of the
effective date of the Triennial Review Remand Order.
Notwithstanding Section 5., for a twelve (12) month periodfrom the effective date of the Triennial Review Remand Order, Qwest shallprovide access to local circuit Switching on an unbundled basis for a requesting
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carrier to serve its embedded base of end-user customers. The price for
unbundled local circuit Switching in combination with unbundled DSO capacity
loops and shared transport obtained pursuant to this paragraph shall be the
higher of: (A) the rate at which the requesting carrier obtained that combination
of network elements on June 15, 2004 plus one dollar, or (B) the rate the state
public utility commission establishes, if any, between June 16 , 2004, and the
effective date of the Triennial Review Remand Order, for that combination of
network elements, plus one dollar. CLEC may not obtain new local Switching as
an unbundled network element. Qwest and CLEC will work together to identify
those impacted accounts.1.4 Qwest shall provide a requesting telecommunications carrier with
nondiscriminatory access to signaling, call-related databases, and shared
transport facilities on an unbundled basis, in accordance with section 251 (c)(3) ofthe Act and this part, to the extent that local circuit Switching is required to be
made available pursuant to Section 5.3. These elements are defined as
follows:
1 .1.4.Signaling networks. Signaling networks include, but are
not limited to, signaling links and signaling transfer points.
1 .1.4.Call-related databases.
(1) Call-related databases include, but are not limited to
the calling name database, 911 database, E911 database
line information database toll free calling database
advanced intelligent network databases, and downstream
number portability databases by means of physical access
at the signaling transfer point linked to the unbundled
databases.
(2) Service management systems
1.1.4.Shared transport.
Failure to Convert Non-Impaired Networks Elements - Mass
Market Switching
1 .Mass Market Unbundled Switching - Stand Alone: Absent
CLEC Transition by March 10 , 2006, Qwest will disconnect any remaining
services on or after this date.
2 UNE-P POTS & UNE-Centrex 21: Absent CLECTransition by March 10, 2006, Qwest will convert services to the
equivalent Qwest Local Exchange Business Measured Resale services
g. Class of Service (COS) LMB. In the event Measured Services are
unavailable, services will be converted to the equivalent Qwest Local
Exchange Business Resale services , e.g. COS 1 FB. CLEC is subject to
back billing for the difference between the rates for the UNE-P and rates
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ATTACHMENT 1
for the Qwest Resale Service to March 11 , 2006. CLEC is also
responsible for all non-recurring charges associated with such
conversions.
All other Mass Market UNE-P services, including UNE-
Centrex Plus/Centron, UNE-P ISDN BRI, UNE-P PAL, UNE-P PBX:
Absent CLEC Transition by March 10, 2006 , Qwest will convert services
to the equivalent Qwest Local Exchange Resale services. CLEC issubject to back billing for the difference between the rates for the UNEs
and rates for the Qwest alternative service arrangements to March 112006. CLEC is also responsible for all non-recurring charges associated
with such conversions.
1 .5.4 Any UNE-services with Line Splitting: Absent CLEC
Transition by March 10, 2006, Qwest will convert services as described
above. Line Splitting will be removed from any UNE-P services with Line
Splitting.
Enterprise Switching. DS1 Capacity and above (i.enterprise market)
Qwest is not required to provide access to local circuit Switching on an unbundled basis
to requesting telecommunications carriers for the purpose of serving end-user customers
using DS1 capacity and above loops.
Transition for DS1 Capacity Unbundled Switching; including
UNE-- Upon the Execution Date of this Amendment, CLEC will not place, and
Qwest will not accept, LSRs for Unbundled Local Switching at the DS1 or above
capacity. Qwest account representatives will work with CLEC on a plan toconvert any existing Unbundled Local Switching at the DS1 or above capacity to
other available Qwest products or services , if CLEC so desires. CLEC will
submit complete, error-free LSRs to convert or disconnect any existingUnbundled Local Switching at the DS1 or above capacity with Due Dates withinninety (90) Days of the Execution Date of this Amendment.
Failure to Convert DS1 Capacity Unbundled Switching:including UNE-
1 .Enterprise Unbundled Switching - Stand Alone: Absent
CLEC Transition by the ninety-first (9151) day or by March 10, 2006whichever is earlier, Qwest will disconnect any remaining services on or
after this date.
1 .Absent CLEC Transition pursuant to the timeline above in
1 ., Qwest will convert services to the equivalent month to monthResale arrangements. CLEC is subject to back billing for the difference
between the rates for the UNEs and rates for the Resale arrangement
to the ninety-first (9151) day. CLEC is also responsible for all non-recurring charges associated with such conversions.
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Signaling Networks
Transition for Signaling Networks - Upon the Execution Date ofthis Amendment CLEC will not place, and Qwest will not accept, ASRs forUnbundled Signaling Network Elements. Qwest account representatives will
work with GLEC on a plan to convert any existing Unbundled Signaling Network
Elements to other available Qwest products or services. CLEC will submitcomplete, error-free ASRs to convert or disconnect any existing UnbundledSignaling Network Elements with Due Dates that are within ninety (90) Days of
the Execution Date of this Amendment. Qwest and CLEC will work together to
identify those network elements.
Failure to Convert Non-Impaired Network Elements -Signaling Networks. Absent CLEC Transition of Signaling Networks withinninety (90) days of the Execution Date of this Amendment, Qwest will convertservices to alternate arrangements. CLEC is subject to back billing for the
difference between the rates for the UNEs and rates for the Qwest alternativeservice arrangements to the 9151 day. CLEC is also responsible for all non-
recurring charges associated with such conversions.
Unbundled Network Element Combinations
Enhanced Extended Loop (EEL)
EEL is available pursuant to CLEC's Agreement, the relevant loop andtransport terms and conditions of this amendment and the following terms andconditions.
The "Significant Amount of Local Exchange Traffic eligibilitycriteria for EEL is replaced by the Service Eligibility Criteria described in Section9, including the collocation requirement of Section 2.5.
1 .CLEC EEL certification process is replaced by the Certification
process described in Sections 2.
EEL Audit provisions are replaced by the Service Eligibility Audit
process described in Sections 2.1.4 Service Eligibility Criteria in Section 2.9 apply to combinations ofhigh capacity (DS1 and DS3) loops and interoffice transport (high capacityEELs). This includes new UNE EELs, EEL conversions (including commingledEEL conversions) or new commingled EELs (e., high capacity loops attachedto special access transport). CLEC cannot utilize combinations of Unbundled
Network Elements that include DS1 or DS3 Unbundled Loops and DS1 or DS3
unbundled dedicated interoffice transport (UDIT) to create high capacity EELsunless CLEC certifies to Qwest that the EELs meet the Service Eligibility Criteriain Section 2.
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Transition for EEL - CLEC must verify that all embedded EEL
meet the new Service Eligibility Criteria. Qwest account representatives will workwith CLEC on a plan to convert any non-compliant EEL to other servicearrangements.
Failure to Convert Non-Compliant EEL. Absent CLEC
Transition of non-compliant EEL within ninety (90) days of the Execution Date of
this Amendment, Qwest will convert services to alternate arrangements. CLEC
is subject to back billing for the difference between the rates for the UNEs and
rates for the Qwest alternative service arrangements to the 91 sl day. CLEC is
also responsible for all non-recurring charges associated with such conversions.
Loop-Mux Combination (LMC)
Description
Loop-mux combination (LMC) is an unbundled Loop, as defined
by CLEC's Agreement as amended , (referred to in this Section as an LMC Loop)
Commingled with a private line (PL T), or with a special access (SA), Tariffed DS1or DS3 multiplexed facility with no interoffice transport. The PL T/SA multiplexed
facility is provided as either an Interconnection Tie Pair (ITP) or Expanded
Interconnection Termination (EICT) from the high side of the multiplexer to
CLEC's Collocation. The multiplexer and the Collocation must be located in the
same Qwest Wire Center.
LMC provides CLEC with the ability to access End UserCustomers and aggregate DS1 or DSO unbundled Loops to a higher bandwidth
via a PL T/SA DS1 or DS3 multiplexer. There is no interoffice transport between
the multiplexer and CLEC's Collocation.
Qwest offers the LMC Loop as a billing conversion or as new
provisioning.
Terms and conditions
An Extended Enhanced Loop (EEL) may be commingled with the
PL T/SA multiplexed facility.
2 LMC Loops will be provisioned where existing facilities are available.
3 The PL T/SA DS1 or DS3 multiplexed facility must terminate in a
Collocation.
2.4 The multiplexed facility is subject to all terms and conditions (ordering,
provisioning, and billing) of the appropriate Tariff.
5 The multiplexer and the Collocation must be located in the same Qwest
Wire Center.
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A rearrangement nonrecurring charge may be assessed on some
requests for work to be performed by Qwest on an existing LMC Loop; or on
some Private Line/Special Access circuits when coupled with a Conversion as
Specified Request to convert to LMC Loop.
Rate Elements
The LMC Loop is the Loop connection between the End User
Customer Premises and the multiplexer in the serving Wire Center where CLEC
is Collocated. LMC Loop is available in DSO and DS1. Recurring and non-
recurring charges apply
DSO Mux Low Side Channelization. LMC DSO channel cards are
required for each DSO LMC Loop connected to a 1/0 LMC multiplexer. Channel
cards are available for analog loop start, ground start, reverse battery, and no
signaling. See channel performance for recurring charges as set forth in Exhibit
Nonrecurring charges for billing conversions to LMC Loops and
Rearrangement of existing LMC Loops are set forth in Exhibit A.
Ordering Process
Ordering processes for LMC Loop(s) are contained in this
Agreement and in Qwest's Product Catalog (PCAT). The following is a high-level
description of the ordering process:
2.4.Step 1: Complete product questionnaire for LMC
Loop(s) with account team representative.
2.4.Step 2: Obtain billing account number (BAN)
through account team representative.
2.4.Step 3: Allow two (2) to three (3) weeks from
Qwest's receipt of a completed questionnaire for accurate loading
of LMC rates to the Qwest billing system.
1.4 Step 4: After account team notification, place LMC
Loop orders via an LSR.
2.4.Prior to placing an order on behalf of each End User Customer
CLEC shall be responsible for obtaining and have in its possession a Proof of
Authorization (POA) as set forth in this Agreement
Standard service intervals for LMC Loops are in the ServiceInterval Guide (SIG) available at www.qwestcom/whoiesale.
2.4.Due date intervals are established when Qwest receives a
complete and accurate LSR made through the IMA or EDI interfaces or through
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facsimile. For LMC Loops, the date the LSR is received is considered the start of
the service interval if the order is received on a business Day prior to 3:00 p.
For LMC Loops, the service interval will begin on the next business Day for
service requests received on a non-business day or after 3:00 p.m. on a
business day. Business Days exclude Saturdays, Sundays, New Year s Day,
Memorial Day, Independence Day (4th of July), Labor Day, Thanksgiving Day and
Christmas Day.
Billing
Qwest shall provide CLEC, on a monthly basis, within seven to ten
(7 to 10) calendar Days of the last day of the most recent billing period , in an
agreed upon standard electronic billing format, billing information including (1) a
summary bill , and (2) individual End User Customer sub-account information.
Maintenance and Repair
Qwest will maintain facilities and equipment for LMC Loops
provided under this Agreement. Qwest will maintain the multiplexed facility
pursuant to the Tariff. CLEC or its End User Customers may not rearrange
move, disconnect or attempt to repair Qwest facilities or equipment, other than by
connection or disconnection to any interface between Qwest and the End User
Customer, without the prior written consent of Qwest.
Commingling
1 To the extent it is Technically Feasible, CLEC may Commingle
Telecommunications Services purchased on a resale basis with an Unbundled Network
Element or combination of Unbundled Network Elements. Notwithstanding the
foregoing, the following are not available for resale Commingling:
Non-telecommunications services;
Enhanced or Information services;
Network Elements offered pursuant to Section 271
2 CLEC may Commingle UNEs and combinations of UNEs with wholesale services
and facilities (e., Switched and Special Access Services offered pursuant to Tariff) and
request Qwest to perform the necessary functions to provision such Commingling.
CLEC will be required to provide the CFA (Connecting Facility Assignment) of CLEC'
network demarcation (e., Collocation or multiplexing facilities) for each UNE, UNECombination, or wholesale service when requesting Qwest to perform the Commingling
of such services. Qwest shall not deny access to a UNE on the grounds that the UNE or
UNE Combination shares part of Qwest's network with Access Services.
3 When a UNE and service are commingled, the service interval for each facilitybeing commingled will apply only as long as a unique provisioning process is not
required for the UNE or service due to the commingling. Performance measurements
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ATTACHMENT 1
and\or remedies are not applicable to the total commingled arrangement but do apply to
each facility or service ordered within the commingled arrangement. Work performed by
Qwest to provide Commingled services that are not subject to standard provisioning
intervals will not be subject to performance measures and remedies , if any, contained inthis Agreement or elsewhere, by virtue of that service inclusion in a requestedCommingled service arrangement. Provisioning intervals applicable to services included
within a requested Commingled service arrangement will not begin to run until CLECprovides a complete and accurate service request, necessary CFAs to Qwest, andQwest completes work required to perform the Commingling that is in addition to work
required to provision the service as a stand-alone facility or service.
3.4 Qwest will not combine or Commingle services or Network Elements that are
offered by Qwest pursuant to Section 271 of the Communications Act of 1934, asamended, with Unbundled Network Elements or combinations of Unbundled NetworkElements.
Services are available for Commingling only in the manner in which they are
provided in Qwest'applicable product Tariffs , catalogs, price lists, or otherTelecommunications Services offerings.
Entrance Facilities and mid-span meet SPOI obtained pursuant to the Local
Interconnection section of the Agreement are not available for Commingling.
7 CLEC may request Qwest to commingle DS1 or DSO analog voice gradeunbundled Loops with DS3 or DS1 multiplexed facilities ordered by CLEC from Qwest'
special access . or private line Tariffs. Terms and conditions for this Commingledarrangement are provided in Section 6.2 of this Amendment.
Ratcheting
To the extent that CLEC requests Qwest to commingle a UNE or a UNE Combinationwith one or more facilities or services that CLEC has obtained at wholesale from Qwestpursuant to a method other than unbundling under Section 251 (c)(3) of the Act, Qwest will notbe required to bill that wholesale circuit at multiple rates, otherwise known as ratcheting. Such
commingling will not affect the prices of UNEs or UNE Combinations involved.
To the extent a multiplexed facility is included in a Commingled circuit then: (1) themultiplexed facility will be ordered and billed at the UNE rate if and only if all circuits entering the
multiplexer are UNEs and (2) in all other situations the multiplexed facility will be ordered and
billed pursuant to the appropriate Tariff.
Routine Network Modifications
Qwest shall make all routine network modifications to unbundled loop and transport
facilities used by CLEC where the requested loop or transport facility has already beenconstructed. Qwest shall perform these routine network modifications to unbundled loop ortransport facilities in a nondiscriminatory fashion, without regard to whether the loop or transport
facility being accessed was constructed on behalf, or in accordance with the specifications, ofany carrier.
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A routine network modification is an activity that the Qwest regularly undertakes for its
own customers. Routine network modifications include, but are not limited to, rearranging or
splicing of cable; adding an equipment case; adding a doubler or repeater; adding a smart jack;
installing a repeater shelf; adding a line card; deploying a new multiplexer or reconfiguring an
existing multiplexer; and attaching electronic and other equipment that Qwest ordinarily attaches
to a DS1 loop to activate such loop for its own customer. They also include activities needed toenable CLEC to light a dark fiber transport facility. Routine network modifications may entail
activities such as accessing manholes, deploying bucket trucks to reach aerial cable, andinstalling equipment casings. Routine network modifications do not include the installation of
new aerial or buried cable for CLEC.
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TRO and TRRO Exhibit A
Transition Rates
IdahoAriieridment Notes
Unbundled LOODS
Diaital Capable Looos
DS1 Transitional Rate 15% Incremental adjustment applies in addition to Monthly
Rate for non-impaired wire centers, (effective 3/11/05 thru 3/10/06)
3.4.Zone 1 $12.97
Zone 2 $12.97
3.4.Zone 3 $14.99
4.4 DS3 Transitional Rate 15% Incremental adjustment applies in addition to Monthly
Rate for non-impaired wire centers. (effective 3/11/05 thru 3/10/06)
3.4.4.Zone 1 $141.29
4.4.Zone 2 $143.26
Zone 3 $189.68
Private Line / Special Access to Unbundled Loop Conversion (as is)$34.
Unbundled Dedicated Interoffice Transnort tUDI
DS1 UDIT Transitional Rate 15% Incremental adjustment between non-impaired
wire centers, in addition to Monthly Rates. (Effective 3/11/05 thru 3/10/06)
Over 0 to 8 Miles !l;.1;$0.48
Over 8 to 25 Miles $5.$0.48
Over 25 to 50 Miles $5.$0.
Over 50 Miles $5.$0.
DS3 UDIT Transitional Rate 15% Incremental adjustment between non-impaired
wire centers, in addition to Monthly Rates (Effective 3/11/05 thru 3/10/06)
Over 0 to 8 Miles $35.$8.
Over 8 to 25 Miles $36.$2.
Over 25 to 50 Miles $33.$3.
Over 50 Miles $35.$2.
Private Line / Special Access to UDIT Conversion (as is)$131.
Unbundled Dark Fiber fUDFI
UDF - Sinale Strand
1.6 UDF-IOF - Single Strand Transitional Rate 15% Incremental adjustment between
non-impaired wire centers, in addition to Monthly Rates (Effective 3/11/05 thru
9/10/06)
7.4.Fiber Transport, per Strand / Mile $7.
Termination, Fixed, per Strand / Office / Termination $0.
7.4.Fiber Cross-Connect, per Strand / Office $0.
7.4.UDF - Loop - Single Strand Transitional Rate for all wire centers (Effective 3/11/05
thru 9/10/06)
7.4.Fiber Loon, per Strand / Route $102.
Termination. Fixed, per Strand / Office $5.
Termination, Fixed, per Strand / Premise $4.
Fiber Cross-Connect, per Strand / Office $3.
UDF - per Pair
UDF-IOF - Per Pair Transitional Rate 15% Incremental adjustment between non-
impaired wire centers. in addition to Monthly Rates (Effective 3/11/05 thru 9/10/06)
1.6.Fiber Transport, per Pair / Mile $9.
Termination, Fixed, per Pair / Office / Termination $1.
1.6.Fiber Cross-Connect, per Pair / Office $0.
UDF - Loop - Per Pair Transitional Rate for all wire centers (Effective 3/11/05 thru
9/10/06)
Fiber Loon, per Route / oer Pair $151.02
Termination, Fixed, per Pair / Office $8.
Owest IdahoTRO TRRO Amendment Exhibit A Second Amended
October 14, 2005 Page 1 of 3
TRO and TRRO Exhibit A
Transition Rates
Idaho
Termination, Fixed, per Pair / Premise $7.
Fiber Cross-Connect, per Pair / Office $4.
UDF MTE Sublooo 1GB 1GB
Local Swltchlna
11.Ports
11.Analog Line Side Port Transitional Rate (REC rates effective 3/11/05 thru 3/10/06)
11.First Port $2.
...
11.Each Additional Port $2.
...
11.Digital Line Side Port Transitional Rate (Supporting BRIISDN) (REC rates effectivE $13.
**.
3/11/05 thru 3/10/06)
11.Dioital Trunk Ports
11.PBX / DID Trunk Port, per DS1 Transitional Rate (REC rate effective $3.
...
3/11/05 thru 3/10/06)
11.1.4 DSO Analog Trunk Port Transitional Rate (REC rates effective 3/11/05 thru 3/10/06)
11.1.4.First Port $15.
***
11.1.4.Each Additional Port $15.
...
UNE Combinations
23.UNE Combinations - Loop MUX CombinationslLMC
23.DS1 Caoable Loop
23.DS1 Transitional Rate 15% Incremental adjustment applies in
addition to Monthly Rate for non-impaired wire centers, (effective
3/11/05 thru 3/10/06)
23.Zone 1 $12.
23.Zone 2 $12.
23.Zone 3 $14.
23.Private Line / Special Access to LMC Conversion (as is)$34.
23.Enhanced Extended Loop (EEl)
23.EEL DS1
23.DS1 Transitional Rate 15% Incremental adjustment applies in
addition to Monthly Rate for non-impaired wire centers, (effective
3/11/05 thru 3/10/06)
23.Zone 1 ~12.
23.Zone 2 ~12.
23.Zone 3 ~14.
23.EEL DS3
23.DS3 Transitional Rate 15% Incremental adjustment applies in
addition to Monthly Rate lor non-impaired wire centers, (effective
3/11/05 thru 3/10/06)
23.Zone 1 $141.
23.Zone 2 $143.
23.Zone 3 $169.
23.Private Line / Special Access to EEL Conversion (as is)$34.
23.EEL Transport
23.DS1Transitionai Rate 15% Incremental adjustment between non-
impaired wire centers, in addition to Monthly Rates. (Effective
3/11/05 thru 3/1 0/06)
23.Over 0 to 6 Miles $5.46 $0.46
23.Over 6 to 25 Miles $5.$0.
23.Over 25 to 50 Miles $5.$0.
23.5.4 Over 50 Miles $5.$0.
23.DS3 Transitional Rate 15% Incremental adjustment between non-
impaired wire centers, in addition to Monthly Rates. (Effective
3/11/05 thru 3/10/06)
23.Over 0 to 6 Miles $35.$6.11
23.Over 8 to 25 Miles $36.$2.
Owest IdahoTRO TRRO Amendment Exhibit A Second Amended
October 14, 2005 Page 2 013
TRO and TRRO Exhibit A
Transition Rates
Idaho
NOTES:
B Cost Docket OWE-01-11 , Order No. 29408 (January 5, 2004) rates effective January 5,2004.
. Transitional Rate Increment calculated using 15% ofthe existing rate, per CC Docket Nos. 01-338 & 04-313 Order on Remand (released 2/4/05), effective
3/11/05
.. Rate includes 15% increase authorized in CC Docket Nos. 01-338 & 04-313 Order on Remand (released 2/4/05), effective 3/11/05
... Rate includes $1.00 per Port increase authorized in CC Docket Nos. 01-338 & 04-313 Order on Remand (released 2/4/05), effective 3/11/05
(1) TELRIC rates proposed in Cost Docket OWE-01-11 testimony filed on November 12, 2003. The case was bifurcated and the rates using this footnote are
proposed in Phase 2 of the cost docket.
3 1GB. Individual Case Basis pricing.
Owest IdahoTRO TRRO Amendment Exhibit A Second Amended
October 14, 2005 Page 3 of 3