HomeMy WebLinkAbout20060526Application Part III.pdfSection 10
Ancillary Services
10.3 Rate Elements
The following rate elements apply to operator services. Operator services are provided to
CLEC for resale with resold local exchange lines at the Owest retail price less the wholesale
discount contained in Exhibit A, if any. Operator services are provided to CLEC as a facilities-
based provider at the market-based prices contained in Exhibit A.
10.Operator services are priced on a per call basis, as follows.
10.Operator Services Calls - Charges apply for each completed
call handled by operator services, including EAS/local calls and IntraLATA Toll
calls made, or received and accepted, by CLEC's End User Customer.
10.Intentionally Left Blank.
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10.1.4 Intentionally Left Blank.
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10.Busy Line Verify - Charges apply for each call where the
operator determines that conversation exists on a line.
10.Busy Line Interrupt - Charges apply for each call where the
operator interrupts conversation on a busy line and requests release of the line.
10.Operator Assistance - Charges apply for operator assistance
whether a call is completed or not, that does not otherwise generate an operator
surcharge as described in this Section. These calls include , but are not limited
to: calls given the DDD rate because of transmission problems; calls where the
operator has determined there should be no charge, such as Busy Line Verify
attempts where conversation was not found on the line; calls where CLECs' End
User Customer requests information from the operator and no attempt is made to
complete a call; and calls for quote service.
10.9 "Completed call" as used in this Section shall mean that CLEC'
End User Customer makes contact with the location, telephone number, person
or extension designated by the End User Customer.
10.Intentionally Left Blank.
10.3 GLEe-Specific Call Branding Nonrecurring Charges. Owest will charge
CLEC a nonrecurring set-up and recording fee for establishing GLEe-specific Call
Branding, and for loading CLEC's brand message in Owest's Switch(es). CLEC must
pay such nonrecurring charges prior to commencement of GLEe-specific branding. The
nonrecurring charges apply each time CLEC's brand message is changed. The
nonrecurring charge to load the Switches with CLEC's branded message will be
assessed each time there is any change to the Switch.
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10.4 Ordering Process
CLEC will order operator services by completing the "Qwest Operator Services/Directory
Assistance Questionnaire for Competitive Local Exchange Carriers.Copies of this
questionnaire may be obtained from CLEC's designated Qwest account manager.
10.5 Billing
10.Qwest will track usage and bill CLEC for the calls made and received by
CLEC's End User Customers and facilities.
10.Qwest will compute CLEC's invoice based on calls made and received by
CLEC's End User Customers.
10.3 If, due to equipment malfunction or other error, Qwest does not have
available the necessary information to compile an accurate Billing statement, Qwest may
render a reasonably estimated bill , but shall notify CLEC of such estimate and cooperate
in good faith with CLEC to establish a fair, equitable estimate. Qwest shall render a bill
reflecting actual billable quantities when and if the information necessary for the Billing
statement becomes available.
10.5.4 Qwest shall provide to CLEC usage information within Qwest's control
with respect to calls originated by or terminated to CLEC's End User Customers in the
form of the actual information that is comparable to the information Qwest uses to bill its
own End User Customers. Without limiting the generality of the foregoing, Qwest shall
provide CLEC with Daily Usage Feed (DUF) billing information.
10.Qwest will provide DUF records for all usage billable to CLEC's lines
including Busy Line Verify (BLV), Busy Line Interrupt (BLI), and Qwest-ILEC-provided
intraLATA Toll. These records will be provided as Category 01 or Category 10 EMI
records.
10.If CLEC assigns Qwest the ILEC to provide IntraLATA Toll services for its
End User Customers, Qwest shall bill CLEC and CLEC shall pay Qwest for such
services in accordance with Exhibit A.
10.Access to Poles, Ducts , Conduits, and Rights of Way
10.1 Description
10.Pole Attachments - Where it has ownership or control to do so, Qwest
will provide CLEC with access to available Pole Attachment space for the placing of
facilities for the purpose of transmitting Telecommunications Services.
10.The term Pole Attachment means any attachment by CLEC to a
pole owned or controlled by Qwest.
10.Ducts and Conduits - Where it has ownership or control to do so, Qwest
will provide CLEC with access to available ducts/conduits for the purpose of placing
facilities for transmitting Telecommunications Services. A spare duct/conduit will be
leased for copper facilities only, and an innerduct for the purpose of placing fiber. CLEC
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may place innerduct in an empty duct/conduit. Control of GLEe-installed spare
innerduct shall vest in Qwest immediately upon installation; ownership of such innerduct
shall vest to Qwest if and when CLEC abandons such innerduct. Within a multiple
tenant environment (MTE), duct may traverse building Entrance Facilities, building
entrance links, equipment rooms, Remote Terminals, cable vaults, telephone closets or
building riser.
10.The terms duct and conduit mean a single enclosed raceway for
conductors, cable and/or wire. Duct and conduit may be in the ground , may
follow streets, bridges, public or private ROW or may be within some portion of a
multiple tenant environment. Within a multiple tenant environment, duct and
conduit may traverse building entrance facilities , building entrance links
equipment rooms, Remote Terminals, cable vaults , telephone closets or building
riser. The terms duct and conduit include riser conduit.
10.The term innerduct means a duct-like raceway smaller than a
duct/conduit that is inserted into a duct/conduit so that the duct may typically
carry three (3) cables.
10.The term microduct means a smaller version of innerduct. Four
(4) microducts can be placed within a 1%-inch innerduct.
10.Rights of Way (ROW) - Where it has ownership or control to do so
Qwest will provide to CLEC, via an Access Agreement in the form of Attachment 4 to
Exhibit D, access to available ROW for the purpose of placing Telecommunications
facilities. ROW includes land or other property owned or controlled by Qwest and may
run under, on , above, across , along or through public or private property or enter
multiple tenant environments.
10.ROW means a real property interest in privately-owned real
property, but expressly excluding any public, governmental , federal or Native
American, or other quasi-public or non-private lands, sufficient to permit Qwest to
place Telecommunications facilities on such real property; such property owner
may permit Qwest to install and maintain facilities under, on , above , across,
along or through private property or enter multiple tenant environments. Within a
multiple tenant environment, a ROW includes a pathway that is actually used or
has been specifically designated for use by Qwest as part of its transmission and
distribution network where the boundaries of the pathway are clearly defined
either by written specifications or unambiguous physical demarcation.
10.1.4 Intentionally Left Blank.
10.The phrase "ownership or control to do so" means the legal right, as a
matter of state law, to (i) convey an interest in real or personal property, or (ii) afford
access to third parties as may be provided by the landowner to Qwest through express
or implied agreements, or through Applicable Law as defined in this Agreement.
10.6 Poles, Ducts and Rights of Way (PDR) Transfer of Responsibility refers to
the transfer of the occupancy of space for either aerial or underground facilities to
assuming CLEC from vacating CLEC.
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10.A PDR Transfer of Responsibility request received by Qwest is
irrevocable upon one hundred percent (100%) payment by assuming CLEC of
the nonrecurring transfer charge.
10.2 Terms and Conditions
Qwest shall provide CLEC non-discriminatory access to poles , ducts, conduit and Rights of Way
(ROW) on terms and conditions found in the Revised Qwest Rights of Way, Pole Attachment
and/or Duct/lnnerduct Occupancy General Information Document, attached hereto as Exhibit D.
Qwest will not favor itself over CLEC when Provisioning access to poles, ducts, conduits and
Rights of Way (ROW). Qwest shall not give itself preference when assigning space.
10.Subject to the provisions of this Agreement, Qwest agrees to issue to
CLEC authorization for CLEC to attach, operate, maintain , rearrange, transfer and
remove at its sole expense its facilities on poles/duct/innerduct or ROW owned
controlled in whole or in part by Qwest, subject to orders placed by CLEC. Any and all
rights granted to CLEC shall be subject to and subordinate to any future local , state
and/or federal requirements.
10.Qwest will rely on such codes as the National Electrical Safety Code
(NESC) to prescribe standards with respect to capacity, safety, reliability, and general
engineering principles.
10.Federal requirements, such as those imposed by Federal Energy
Regulatory Commission (FERC) and Occupational Safety and Health Administration
(OSHA), will continue to apply to the extent such requirements affect requests for
attachments or occupancy to Qwest facilities under Section 224(f)(1) of the Act.
10.2.4 CLEC shall provide access to a map of the requested
poles/duct/innerduct/ROW route , including estimated distances between major points,
the identification and location of the poles/duct/innerduct and ROWand a description of
CLEC's facilities. Qwest agrees to provide to CLEC access to relevant plats, maps,
engineering records and other data within ten (10) business days of receiving a request
for such information, except in the case of extensive requests. Extensive requests
involve the gathering of plats from more than one (1) location, span more than five (5)
Wire Centers , or consist of ten (10) or more intra-Wire Center requests submitted
simultaneously. Responses to extensive requests will be provided within a reasonable
interval , not to exceed forty-five (45) calendar Days.
10.Except as expressly provided herein, or in the Pole Attachment Act of
1934 as amended and its regulations and rules , or in any applicable state or municipal
laws, nothing herein shall be construed to compel Qwest to construct, install , modify or
place any poles/duct/innerduct or other facility for use by CLEC.
10.Qwest retains the right to determine the availability of space on
poles/duct/innerduct, conduit and ROW consistent with 47 U.C. ~ 224 and FCC
orders , rules and regulations pursuant to 47 U.C. ~ 224. In the event Qwest
determines that rearrangement of the existing .facilities on poles, duct/innerduct/conduit
and ROW is required before CLEC's facilities can be accommodated , the actual cost of
such modification will be included in CLEC's nonrecurring charges for the associated
order (Make-Ready fee). When modifications to a Qwest spare duct/conduit include the
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placement of innerduct, Qwest or CLEC will install the number of innerduct required to fill
the duct/conduit to its full capacity.
10.Qwest shall make manhole ingress and egress for duct/innerduct access
available to CLEC. Qwest will perform a feasibility study to determine whether to
provide a stub out via the pre-constructed knock out within the manhole, or to perform a
core drill of the manhole.
10.Where such authority does not already exist, CLEC shall be responsible
for obtaining the necessary legal authority to occupy ROW, and/or poles/duct/innerduct
on governmental, federal , Native American , and private rights of way. CLEC shall obtain
any permits , licenses, bonds, or other necessary legal authority and permission , at
CLEC's sole expense, in order to perform its obligations under this Agreement. CLEC
shall contact all owners of public and private rights-of-way to obtain the permission
required to perform the work prior to entering the property or starting any work thereon.
See Section 10.8.4. CLEC shall comply with all conditions of rights-of-way and permits.
Once such permission is obtained, all such work may be performed by Qwest or CLEC
at the optionof CLEC.
10.Access to a Qwest Central Office manhole will be permitted where
Technically Feasible. If space is available, Qwest will allow access through the Central
Office manhole to the POI (Point of Interconnection). There shall be a presumption that
there shall be no fiber splices allowed in the Central Office manhole. However, where
CLEC can establish the necessity and Technical Feasibility of splicing in the Central
Office manhole, such action shall be permitted.
10.8.2.10 Replacement/Modification/lnstallation - If CLEC requests Qwest to
replace or modify existing poles/duct/innerduct to increase its strength or capacity for the
sole benefit of CLEC, CLEC shall pay Qwest the total actual replacement cost, Qwest'
actual cost to transfer its attachments to new poles/duct/innerduct, as necessary, and
the actual cost for removal (including actual cost of destruction) of the replaced
poles/duct/innerduct, if necessary. Ownership of new poles/duct/innerduct shall vest to
Qwest.
10.8.2.10.Upon request Qwest shall permit CLEC to install
poles/duct/innerduct. Qwest reserves the right to reject any non-conforming
replacement pole/duct/innerduct installed by CLEC that does not conform to the
NESC, OSHA or local ordinances.
10.10.To the extent that a modification is incurred for the benefit of
multiple parties, CLEC shall pay a proportionate share of the total actual cost
based on the ratio of the amount of new space occupied by the facilities of CLEC
to the total amount of space occupied by all parties including Qwest or its
Affiliates participating in the modification. Parties who do not initiate, request or
receive additional space from a modification , are riot required to share in the cost
of the modification. CLEC, Qwest or any other party that uses a modification as
an opportunity to bring its facilities into compliance with applicable safety or other
requirements will be deemed to be sharing in the modification and will be
responsible for its share of the modification cost. Attaching entities will not be
responsible for sharing in the cost of governmentally mandated pole or other
facility modification. Qwest does not and will not favor itself over other Carriers
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when Provisioning access to poles, innerduct and rights-of-way.
10.10.The modifying party or parties may recover a proportionate
share of the modification costs from parties that later are able to obtain access as
a result of the modification. The proportionate share of the subsequent attacher
will be reduced to take account of depreciation to the pole or other facility that
has occurred since the modification. The modifying party or parties seeking to
recover modification costs from parties that later obtain attachments shall be
responsible for maintaining all records regarding modification costs. Qwest shall
not be responsible for maintaining records regarding modification costs on behalf
of attaching entities.
10.11 Notification of modifications initiated by or on behalf of Qwest and at
Qwest's expense shall be provided to CLEC at least sixty (60) calendar Days prior to
beginning modifications. Such notification shall include a brief description of the nature
and scope of the modification. If CLEC does not respond to a requested rearrangement
of its facilities within sixty (60) Days after receipt of written notice from Qwest requesting
rearrangement, Qwest may perform or have performed such rearrangement and CLEC
shall pay the actual cost thereof. No such notice shall be required in emergency
situations or for routine maintenance of poles/duct/innerduct completed at Qwest'
expense.
10.12 Qwest reserves the right to make an on-site/final construction inspection
of CLEC's facilities occupying the poles/duct/innerduct system. CLEC shall reimburse
Qwest for the actual cost of such inspections except where specified in this Section.
10.13 When final construction inspection by Qwest has been completed, CLEC
shall correct such non-complying conditions within the reasonable period of time
specified by Qwest in its written notice. If corrections are not completed within thespecified reasonable period occupancy authorizations for the ROW
poles/duct/innerduct system where non-complying conditions remain uncorrected shall
suspend forthwith, regardless of whether CLEC has energized the facilities occupying
said poles/duct/innerduct or ROW system and CLEC shall remove its facilities from said
poles/duct/innerduct or ROW in accordance with the provisions of this Section, provided,
however, if the corrections physically cannot be made within such specified time, and
CLEC has been diligently prosecuting such cure, CLEC shall be granted a reasonable
additional time to complete such cure. Qwest may deny further occupancy authorization
to CLEC until such non-complying conditions are corrected or until CLEC's facilities are
removed from the poles/duct/innerduct system where such non-complying conditions
exist. If agreed between both Parties, Qwest shall perform or have performed such
corrections and CLEC shall pay Qwest the actual cost of performing such work.
Subsequent inspections to determine if appropriate corrective actions have been taken
may be made by Qwest.
10.14 Once CLEC's facilities begin occupying the poles/duct/innerduct or ROW
system, Qwest may perform a reasonable number of inspections. Qwest shall bear the
cost of such inspections unless the results of the inspection reveal a material violation or
hazard, or that CLEC has in any other way failed to comply with the provisions of
Section 10.20; in which case CLEC shall reimburse Qwest the costs of inspections
and re-inspections, as required. CLEC's representative may accompany Qwest on such
field inspections. The cost of periodic inspection or any special inspections found
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necessary due to the existence of sub-standard or unauthorized occupancies shall be
billed separately.
10.15 The costs of inspections made during construction and/or the final
construction survey and subsequent inspection shall be billed to CLEC upon completion
of the inspections.
10.16 Final construction , subsequent, and periodic inspections or the failure to
make such inspections, shall not relieve CLEC of any responsibilities, obligations, or
liability assigned under this Agreement.
10.17 CLEC may use individual workers of its choice to perform any work
necessary for the attaching of its facilities so long as such workers have the same
qualifications and training as Qwest's workers. CLEC may use any contractor approved
by Qwest to perform make-ready work.
10.18 If Qwest terminates an order for cause, or if CLEC terminates an order
without cause, subject to 10.8.4.4.4, CLEC shall pay termination charges equal to the
amount of fees and charges remaining on the terminated order(s) and shall remove its
facilities from the poles/duct/innerduct within sixty (60) calendar Days, or cause Qwest to
remove its facilities from the poles/duct/innerduct at CLEC's expense; provided,
however, that CLEC shall be liable for and pay all fees and charges provided for in this
Agreement to Qwest until CLEC's facilities are physically removed. "Cause" as used
herein shall include CLEC's use of its facilities in material violation of any Applicable Law
or in aid of any unlawful act or making an unauthorized modification to Qwest'
poles/duct/innerduct, or, in the case of ROW, any act or omission that violates the terms
and conditions of either (a) the Access Agreement by which Qwest conveys a right of
access to the ROW to CLEC, or (b) the instrument granting the original ROW to Qwest
or its predecessor.
10.19 Qwest may abandon or sell any poles/duct/innerduct/conduit or ROW at
any time by giving written notice to CLEC. Any poles/duct/innerduct/conduit or ROW
that is sold, will be sold subject to all existing legal rights of CLEC. Upon abandonment
of poles/duct/innerduct/conduit or ROW, and with the concurrence of the other joint
user(s), if necessary, CLEC shall, within sixty (60) calendar Days of such notice, either:
1) continue to occupy the poles/duct/innerduct/conduit or ROW pursuant to its existing
rights under this Agreement if the poles/duct/innerduct/conduit or ROW is purchased by
another party; 2) purchase the poles/duct/innerduct/conduit or ROW from Qwest at the
current market value; or 3) remove its facilities there from. Failure to explicitly elect one
of the foregoing options within sixty (60) calendar Days shall be deemed an election to
purchase the poles/duct/innerduct/conduit or ROW at the current market value if no
other party purchased the poles/duct/innerduct/conduit or ROW within this sixty (60) Day
period.
10.20 CLEC's facilities shall be placed and maintained in accordance with the
requirements and specifications of the current applicable standards of Telcordia Manual
of Construction Standards, the National Electrical Code, the National Electrical Safety
Code, and the rules and regulations of the Occupational Safety and Health Act, all of
which are incorporated by reference, and any governing authority having jurisdiction.
Where a difference in specifications exists, the more stringent shall apply.
Notwithstanding the foregoing, CLEC shall only be held to such standard as Qwest, its
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Affiliates or any other Telecommunications Carrier is held. Failure to maintain facilities
in accordance with the above requirements or failure to correct as provided in Section
10.13 shall be cause for termination of the order. CLEC shall in a timely manner
comply with all requests from Qwest to bring its facilities into compliance with these
terms and conditions.
10.21 Should Qwest under the provisions of this Agreement remove CLEC'
facilities from the poles/duct/innerduct covered by any order, Qwest will deliver the
facilities removed upon payment by CLEC of the cost of removal, storage and delivery,
and all other amounts due Qwest. If CLEC removes facilities from poles/duct/innerductfor other than repair or maintenance purposes, no replacement on the
poles/duct/innerduct shall be made until all outstanding charges due Qwest for previous
occupancy have been paid in full. CLEC shall advise Qwest in writing as to the date on
which the removal of facilities from the poles/duct/innerduct has been completed.
10.22 If any facilities are found attached to poles/duct/innerduct for which no
order is in effect, Qwest, without prejudice to its other rights or remedies under this
Agreement, may assess a charge and CLEC agrees to pay the lesser of (a) the annual
fee per pole or per innerduct run between two (2) manholes for the number of years
since the most recent inventory, or (b) five (5) times the annual fee per pole or per
innerduct run between two (2) manholes. In addition , GLEC agrees to pay (a) interest
on these fees at a rate set for the applicable time period by the Internal Revenue Service
for individual underpayments pursuant to Section 6621 of the Internal Revenue Service
Code (25 U.C. ~ 6621 , Rev. Rul. 2000-, 2000-25 IRS 1262), and (b) the cost of any
audit required to identify unauthorized CLEC attachments. Qwest shall waive half the
unauthorized attachment fee if the following conditions are met: (1) CLEC cures such
unauthorized attachment (by removing it or submitting a valid order for the attachment in
the form of Attachment 2 of Exhibit D, within thirty (30) Days of written notification from
Qwest of the unauthorized attachment; and (2) the unauthorized attachment did not
require Qwest to take curative measures itself (e., pulling additional innerduct) prior to
cure by CLEC, (3) CLEC reimburses Qwest for cost of audit, or portion thereof, which
discovered the unauthorized attachment. Qwest shall also waive the unauthorized
attachment fee if the unauthorized attachment arose due to error by Qwest rather than
CLEC. CLEC is required to submit in writing, within ten (10) business days after receipt
of written notification from Qwest of the unauthorized occupancy, a poles/duct/innerduct
application. If such application is not received by Qwest within the specified time period
CLEC will be required to remove its unauthorized facility within thirty (30) calendar Days
of the final date for submitting the required application , or Qwest may remove CLEC'
facilities without liability, and the cost of such removal shall be borne by CLEC.
10.8.2.23 No act or failure to act by Qwest with regard to an unauthorized
occupancy shall be deemed as the authorization of the occupancy. Any subsequently
issued authorization shall not operate retroactively or constitute a waiver by Qwest of
any of its rights or privileges under this Agreement or otherwise. CLEC shall be subject
to all liabilities of the Agreement in regard to said unauthorized occupancy from its
inception.
10.24 Qwest will provide CLEC non-discriminatory access
poles/ducts/innerducts/conduits and ROW pursuant to 47 U.C. ~ 224 and FCC orders
rules and regulations pursuant to 47 U.C. ~ 224. In the event of a conflict between this
Agreement, on one hand , and 47 U.C. ~ 224 and FCC orders, rules and regulations
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pursuant to 47 U.C. 9 224, on the other, 47 U.C. 9224 and FCC orders, rules and
regulations pursuant to 47 U.C. 9 224 shall govern. Further, in the event of a conflict
between Exhibit D, on one hand , and this Agreement or 47 U.C. 9 224 and FCC
orders, rules and regulations pursuant to 47 U.C. 9224, on the other, this Agreement
or 47 U.C. 9224 and FCC orders , rules and regulations pursuant to 47 U.C. 9 224
shall govern , provided however, that any Access Agreement that has been duly
executed, acknowledged and recorded in the real property records for the county in
which the ROW is located shall govern in any event pursuant to its terms.
10.25 Nothing in this Agreement shall require Qwest to exercise eminent
domain on behalf of CLEC.
10.2.26 Qwest will not enter into ROW agreements for the provision of
Telecommunications Services, including agreements relating to ROW within multiple
tenant environments, that preclude CLEC from using ROW over which Qwest has
ownership or control. Upon CLEC request, Qwest will certify to a landowner with whom
Qwest has an ROW agreement, the following:
10.26.that the ROW agreement with Qwest does not preclude the
landowner from entering into a separate ROW agreement with CLEC; and
10.2.26.that there will be no penalty under the agreement between the
landowner and Qwest if the landowner enters into a ROW agreement with CLEC.
10.27 For purposes of permitting CLEC to determine whether Qwest has
ownership or control over duct/conduit or ROW, including duct/conduit or ROW within a
specific multiple tenant environment, if CLEC requests a copy of an agreement between
Qwest and the owner of a duct/conduit or ROW, including duct/conduit or ROW within a
specific .multiple tenant environment, that grants Qwest access to, ownership of, or
control of duct/conduit or ROW within a specific multiple tenant environment, Qwest will
provide the agreement to CLEC pursuant to the terms of this Section. CLEC will submit
a completed Attachment 1.A from Exhibit D that identifies a specific multiple tenant
environment or route for each agreement.
10.27.Upon receipt of a completed Attachment 1.A, Qwest will prepare
and return an MTE matrix or ROW matrix, as applicable, within ten (10) Days
which will identify (a) the owner of the duct/conduit or ROW or multiple tenant
environment as reflected in Qwest's records, and (b) whether or not Qwest has a
copy of an agreement that provides Qwest access to duct/conduit or ROW or
multiple tenant environment in its possession. Qwest makes no representations
or warranties regarding the accuracy of its records, and CLEC acknowledges that
the original property owner may not be the current owner of the property.
10.27.2 Qwest grants a limited waiver of any confidentiality rights it may
have with regards to the content of the agreement, subject to the terms and
conditions in Section 10.27.3 and the Consent to Disclosure form. Qwest will
provide to CLEC a copy of an agreement listed in the MTE matrix or ROW
matrix, as applicable, that has not been publicly recorded after CLEC obtains
authorization for such disclosure from the third party owner(s) of the real property
at issue by presenting to Qwest an executed version of the Consent to
Disclosure form that is included in Attachment 4 to Exhibit D of this Agreement.
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In lieu of submission of the Consent to Disclosure form, CLEC must comply with
the indemnification requirements in Section 10.8.4.
10.27.As a condition of its limited waiver of its right to confidentiality in
an agreement that provides Qwest access to a multiple tenant environment that
Qwest provides to CLEC or that CLEC obtains from the multiple tenant
environment owner or operator, Qwest shall redact all dollar figuresfrom copies
of agreements that have not been publicly recorded that Qwest provides to CLEC
and shall require that the multiple tenant environment owner or operator make
similar redaction s prior to disclosure of the agreement.
10.27.4 In all instances, CLEC will use agreements only for the following
purposes: (a) to determine whether Qwest has ownership or control over duct
conduits, or rights-of-way within the property described in the agreement; (b) to
determine the ownership of wire within the property described in the agreement;
or (c) to determine the Demarcation Point between Qwest facilities and the
owner facilities in the property described in the agreement. CLEC further
agrees that CLEC shall not disclose the contents, terms, or conditions of any
agreement provided pursuant to Section 10.8 to any CLEC agents or employees
engaged in sales , marketing, or product management efforts on behalf of CLEC.
10.28 In cities where Qwest has deployed microduct technology but no
vacant microduct is available on the specified route, CLEC may request Qwest to place
microduct along the desired route or CLEC can choose to place microduct that must
meet Qwest specifications.
10.2.29 In cities where Qwest has not deployed microduct and CLEC
wishes to use this technology, CLEC must lease an innerduct. In these locations CLEC
will be required to furnish and place the microduct. At the conclusion of the lease, CLEC
and Qwest will make a joint decision whether or not CLEC will be required to remove
CLEC's microduct from the innerduct.
10.30 If any microduct is found occupying facilities for which no order
is in effect, Qwest, without prejudice to its other rights or remedies , may assess a charge
and CLEC agrees to pay the lesser of (a) the annual fee per microduct run between two
(2) manholes for the number of years since the most recent inventory, or (b) five (5)
times the annual fee per microduct run between two (2) manholes.
10.30.In addition , CLEC agrees to pay (a) interest on these fees at a
rate set for the applicable time period by the Internal Revenue Service for
individual underpayments pursuant to Section 6621 of the Internal Revenue
Service Code (25 U.C 6621 , Rev. Rul. 2000-, 2000-25 IRS 1262), and (b)
the cost of any audit required to identify unauthorized CLEC occupancy.
10.30.Qwest shall waive half the unauthorized occupancy fee if the
following conditions are met:
10.30.1 CLEC cures such unauthorized occupancy by removing it
or submitting a valid order for the attachment within thirty (30) days of
written notification from Qwest.
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10.30.2 The unauthorized occupancy did not require Qwest to take
curative measures (e., pulling additional microduct) prior to cure by
CLEC.
10.30.3 CLEC reimburses Qwest for cost of audit, or portion
thereof, which discovered the unauthorized occupancy. Qwest shall also
waive the unauthorized occupancy fee if the unauthorized occ~pancy
arose due to error by Qwest rather than CLEC. CLEC is required to
submit in writing, within ten (10) business days after receipt of written
notification from Qwest of the unauthorized occupancy, a
Poles/Duct/lnnerduct/Microduct Application. If such application is not
received by Qwest within the specified time period, CLEC will be required
to remove its unauthorized facility within thirty (30) calendar Days of the
final date for submitting the required application, or Qwest may remove
CLEC's facilities without liability, and the cost of such removal shall beborne by CLEC.
10.31 To be eligible for PDR Transfer of Responsibility of the
occupancy of space for poles or conduit, vacating CLEC must have a valid Agreement in
place for those facilities specified for transfer.
10.31.The assuming CLEC is required to have an Agreement with
Qwest that includes all elements involved in the transfer.
10.31.The Agreement referenced in the PDR Transfer of
Responsibility request will be transferred either in its entirety or portion thereof as
specified in the PDR Transfer of Responsibility Application Form and Transfer
Authorization Agreement.
10.31.The PDR Transfer of Responsibility includes changing the
following Qwest items: Customer name, Access Carrier Name Abbreviation
(ACNA), Master Customer Number (MCN), customer address, telephone
number, billing and contact information, and contact telephone number. The
eight (8) character CLEC CLLl1M code will remain the same.
10.31.4 If vacating CLEC has filed for bankruptcy, assuming CLEC must
comply with 11 U.C. 9365.61. The negotiation of the terms and conditions
between vacating CLEC and assuming CLEC is the responsibility of those two
parties. Qwest does not participate in these discussions. Qwest manages the
database and records the transfer.
10.31.
facilities.
Qwest is not responsible for the physical condition of CLEC'
10.31.Prior to submission of a PDR Transfer of Responsibility request
all work in progress must be negotiated between vacating and assuming CLEC.
10.31.Prior to submitting a Transfer of Responsibility request
assuming CLEC's financial obligations to Qwest must be in good standing. If
vacating CLEC is unable to meet its financial obligations, assuming CLEC will be
required to assume the financial obligations of vacating CLEC.
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10.31.Vacating and assuming CLEC must provide Qwest a signed
Qwest PDR Transfer Authorization Agreement providing the following
information: All Qwest Central Office Service Areas that may apply, PDR Billing
Authorization Numbers (BAN), requested completion date (not binding), and
state-specific charge for the transfer as indicated in Exhibit A.
10.31.Once the transfer request is accepted, Qwest will submit the
signed PDR Transfer of Responsibility Request Consent Form to vacating and
assuming CLECs and the transfer will be completed.
10.3 Rate Elements
Qwest fees for attachments are in accordance with Section 224 of the Act and FCC orders
rules and regulations promulgated thereunder, as well as the rates established by the
Commission including the following rates, are reflected in Exhibit A.
10.Inquiry Fee. A non-refundable pre-paid charge used to recover the costs
associated with performing an internal record review to determine if a requested route
and/or facility is available, or with respect to ROW, to determine the information
necessary to create the MTE matrix or ROW matrix, as applicable, which identifies, for
each ROW , the name of the original grantor and the nature of the ROW (i.e., publicly
recorded and non-recorded) and the MTE matrix or ROW matrix, as applicable, which
identifies each requested legal agreement between Qwest and a third party who has a
multiple tenant environment in Qwest's possession that relates to Telecommunications
Services provided to or through real property owned by the third party (MTE Agreement)
and, for each such MTE Agreement, the name of the third party. Separate Inquiry Fees
apply for ROW, poles and duct/conduit/innerduct.
10.Field Verification Fee/Access Agreement Preparation Fee. In the case of
poles and duct/innerduct, the Field Verification Fee is a non-refundable pre-paid charge
which recovers the estimated actual costs for a field survey verification required for a
route and to determine scope of any required make-ready work. Separate Field
Verification Fees apply for poles and manholes. In the case of ROW, the Access
Agreement Preparation Fee is a non-refundable, pre-paid charge which recovers the
estimated actual costs for preparation of the Access Agreement for each ROW
requested by CLEC. Field Verification and Access Agreement Preparation Fees shall bebilled in advance.
10.3 Make-Ready Fee. A pre-paid non-refundable (other than true-up) charge
which recovers the cost of necessary work required to make the requested facility/ROW
available for access. For innerduct, this could include, but is not limited to, the placing of
innerduct in conduit/duct systems or core drilling of manholes. For Pole Attachment
requests, this could include, but is not limited to, the replacement of poles to meet
required clearances over roads or land. For ROW, this make-ready could include, but is
not limited to, personnel time, including attorney time. With respect to ROW, make-
ready work refers to legal or other investigation or analysis arising out of CLEC's failure
to comply with the process described in Exhibit D for ROW, or other circumstances
giving rise to such work beyond the simple preparation of one or more Access
Agreements. The estimated pre-paid fee shall be billed in advance.
10.3.4 Pole Attachment Fee. A pre-paid fee which is charged for the occupancy,
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including during any make-ready period, of one (1) foot of pole space (except for
antenna attachment which requires two (2) feet). This fee shall be annual unless CLEC
requests that it be semi-annual.
10.Innerduct Occupancy Fee. A pre-paid fee which is charged for the
occupancy, including during any make-ready period, of an innerduct on a per foot basis.
This fee shall be annual unless CLEC requests that it be semi-annual.
10.Access Agreement Consideration. A pre-paid fee which constitutes
consideration for conveying access to the ROW to CLEC. This fee shall be a one-time
(Le., nonrecurring) fee.
10.Microduct Occupancy Fee. A pre-paid fee which is charged for the
occupancy, including during any make-ready period, and billed annually per microduct
per foot.
10.PDR Transfer of Responsibility. Vacating CLEC will not incur charges for
a transfer of responsibility agreement. A PDR Transfer of Responsibility charge for
assuming CLEC will be a nonrecurring charge associated with the transfer of the
agreement.
10.4 Ordering
There are two (2) steps required before placing an order for access to ROW, duct/innerduct and
Pole Attachment: Inquiry Review and Field Verification.
10.8.4.Inquiry Reviews. Upon receipt of an inquiry regarding ROW access, Pole
Attachment or duct/innerduct occupancy, Qwest will provide CLEC with Exhibit D. CLEC
will review the documents and provide Qwest with maps of the desired area indicating
the routes and entrance points for proposed attachment, proposed occupancy or
proposed CLEC construction on Qwest owned or controlled poles, duct/innerduct and
ROW as well as the street addresses of any multiple tenant environments upon or
through which CLEC proposes construction on ROW owned or controlled by Qwest.
CLEC will include the appropriate inquiry fee with a completed Attachment 1.A from
Exhibit D.
10.8.4.Inquiry Review - Duct/Conduit/lnnerduct. Qwest will complete
the database inquiry and prepare a duct/conduit structure diagram (referred to as
a "Flatline ) which shows distances and access points (such as manholes).
Along with the Flatline will be estimated costs for field verification of available
facilities. These materials will be provided to CLEC within ten (10) calendar Days
or within the time frames of the applicable federal or state law, rule or regulation.
10.8.4.Inquiry Review - Poles. Qwest will provide the name and
contact number for the appropriate local field engineer for joint validation of the
poles and route and estimated costs for field verification on Attachment 1.B of
Exhibit D within ten (10) calendar Days of the request.
10.8.4.Inquiry Review - ROW. Qwest shall , upon request of CLEC
provide the ROW matrix, the MTE matrix and a copy of all publicly recorded
agreements listed in those matrices to CLEC within ten (10) Days of the request.
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Qwest will provide to CLEC a copy of agreements listed in the matrices that have
not been publicly recorded if CLEC obtains authorization for such disclosure from
the third party owner(s) of the real property at issue by an executed version of
the Consent to Disclosure form, which is included in Exhibit D , Attachment 4.
Qwest may redact all dollar figures from copies of agreements listed in the
matrices that have not been publicly recorded that Qwest provides to CLEC. Any
dispute over whether terms have been redacted appropriately shall be resolved
pursuant to the Dispute Resolution procedures set forth in this Agreement.
Alternatively, in order to secure any agreement that has not been publicly
recorded , CLEC may provide a legally binding and satisfactory agreement to
indemnify Qwest in the event of any legal action arising out of Qwest's provision
of such agreement to CLEC. In that event, CLEC shall not be required to providean executed Consent to Disclosure form. Qwest makes no warranties
concerning the accuracy of the information provided to CLEC; CLEC expressly
acknowledges that Qwest's files contain only the original ROW instruments, and
that the current owner(s) of the fee estate may not be the party identified in the
document provided by Qwest.
10.8.4.Field Verification Poles Duct/lnnerduct and Access Agreement
Preparation (ROW). CLEC will review the inquiry results and determine whether to
proceed with field verification for poles/ducts or Access Agreement preparation for ROW.
If field verification or Access Agreement preparation is desired, CLEC will sign and
return Attachment 1.B of Exhibit D along with a check for the relevant verification fee
(Field Verification Fee or Access Agreement Preparation Fee) plus $10 (ten dollars) per
Access Agreement as consideration for the Access Agreement. Upon payment of the
relevant fee and Access Agreement consideration, if applicable , Qwest will provide, as
applicable, depending on whether the request is for poles, duct/innerduct/conduit, or
ROW: (a) in the case of duct/innerduct/conduit, a field survey and site investigation of
the duct/innerduct/conduit, including the preparation of distances and drawings, to
determine availability of existing duct/innerduct/conduit; identification of make-ready
costs required to provide space; the schedule in which the make-ready work will be
completed; and , the annual recurring prices associated with the attachment of facilities;
(b) in the case of ROW, the completed Access Agreement(s), executed and
acknowledged by Qwest. Upon completion of the Access Agreement(s) by CLEC, in
accordance with the instructions, terms and conditions set forth in Exhibit D , the Access
Agreement becomes effective to convey the interest identified in the Access Agreement
(if any). Any dispute regarding whether a legal agreement conveys a ROW shall be
resolved between CLEC and the relevant third party or parties , and such disputes shall
not involve Qwest; and/or (c) in the case of poles, estimates of make-ready costs and
the annual recurring prices associated with the attachment of facilities shall be as
provided in Exhibit A. The verification of (a), (b), and (c), above, shall be completed by
Qwest not later than forty-five (45) calendar Days after CLEC's submission of the inquiry
request. Make-ready time, if any, and CLEC review time is not part of the forty-five (45)
Day interval. The Attachment 2 quotation shall be valid for ninety (90) calendar Days.
10.8.4.1 GLEe-Performed Field Verification. At the option of CLEC, it
may perform its own field verification (in lieu of Qwest performing same) with the
following stipulations: 1) Verifications will be conducted by a Qwest approved
contractor; 2) A Qwest contractor will monitor the activity of CLEC contractor and
a current labor rate will be charged to CLEC; 3) CLEC will provide Qwest with a
legible copy of manhole butterfly drawings that reflect necessary make-ready
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effort; and 4) Qwest will use GLEe-provided butterfly drawings and
documentation to check against existing jobs and provide a final field report of
available duct/innerduct. CLEC will be charged standard rates for tactical
planner time.
10.8.4.Order - Poles and Duct/lnnerduct. The review, signing and return of
Attachment 2 of the General Information Document along with payment of the Make-
Ready and prorated recurring access charges for the current relevant period (annual or
semi-annual) shall be accepted as an order for the attachment or occupancy. Upon
receipt of the accepted order from CLEC and applicable payment for the fees identified,
Qwest will assign the requested space and commence any make-ready work which may
be required. Qwest will notify CLEC when poles/duct/innerduct are ready.
10.8.4.4 Make-Ready - Estimates of Make-Ready are used to 'cover actual Make-
Ready costs.
10.8.4.4.If Qwest requests, CLEC will be responsible for payment of the
actual Make-Ready costs determined if such costs exceed the estimate. Such
payment shall be made within thirty (30) Days of receipt of an invoice for the
costs that exceed the estimate.
10.8.4.4.Within fifteen (15) business days of a request, Qwes! will
provide CLEC copies of records reflecting actual cost of Make-Ready work;
provided , however, that, if Qwest does not possess all such records at the time of
the request, then Qwest will provide copies of such records within fifteen (15)
business days of receipt of such records. CLEC must request such records, if at
all, within sixty (60) calendar Days after written notification of the completion of
the Make-Ready work.
10.8.4.4.If the actual Make-Ready costs are less than the estimate, an
appropriate credit for the difference will be issued upon request. Such request
must be received within sixty (60) calendar Days following CLEC's receipt of
copies of records if CLEC has requested records under this paragraph, or within
sixty (60) calendar Days after written notification of the completion of Make-
Ready work if CLEC has not requested records under this paragraph. Such
credit will issue within ten (10) business days of Qwest's receipt of either all
records related to such actual costs or CLEC's request for credit, whichever
comes last, but in no event later than ninety (90) calendar Days following the
request for credit.
10.8.4.4.4 If CLEC cancels or if, due to circumstances unforeseen during
inquiry/verification, Qwest denies the request for poles, ducts or ROW, upon
CLEC request, Qwest will also refund the difference between the actual Make-
Ready costs incurred and those prepaid by CLEC, if any. Such request must be
made within thirty (30) calendar Days of CLEC's receipt of written denial or
notification of cancellation. Any such refund shall be made within ten (10)
business days of either receipt of CLEC's request or Qwest's receipt of all
records relating to the actual costs, whichever comes last, but in no event later
than ninety (90) calendar Days following the denial.
10.8.4.The PDR Transfer of Responsibility process requires the
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submission of the DPR Transfer of Responsibility Application Form containing
information for both the vacating and assuming CLECs, a signed Qwest PDR Transfer
Authorization Agreement, and full payment of the quoted PDR Transfer of Responsibility
charge.
10.8.4.The PDR Transfer of Responsibility Application Form and
Transfer Authorization Agreement are qn Qwest'web .site at:
http://www.qwest.com/whoiesale/pcat/poleductrow.htmi.
10.8.4.The PDR Transfer of Responsibility Application Form and ~n
electronic version of the Transfer Authorization Agreement with "Agreed" entered
in the designated signature blocks (this will act as your electronic signature) must
be submitted to wsst(g1qwest.com.
10.8.4.The printed and signed PDR Transfer Authorization Agreement
and full payment is to be mailed to: Resource Allocation, 700 W. Mineral MT-
G28., Littleton CO 80120.
10.5 Billing
10.CLEC agrees to pay the following fees in advance as specified in Exhibit
A: Inquiry Fee, Field Verification Fee, Access Agreement Preparation Fee, Make-Ready
Fee, Pole Attachment Fee, Duct/lnnerduct Occupancy Fee and Access Agreement
Consideration. Make-Ready Fees will be computed in compliance with applicable local
state and federal guidelines. Usage fees for poles/duct/innerduct (Le., Pole Attachment
Fee and Duct/lnnerduct Occupancy Fee) will be assessed on an annual basis (unless
CLEC requests a semi-annual basis). Annual usage fees for poles/duct/innerduct will be
assessed as of January of each year. Semi-annual usage fees for
poles/duct/innerduct will be assessed as of January 1 and July 1 of each year. All fees
shall be paid within thirty (30) Days following receipt of invoices. All fees are not
refundable except as expressly provided herein. .
10.Vacating CLEC is obligated to pay all recurring charges until Qwest
completes the PDR Transfer of Responsibility request. Once the transfer is complete
the effective date to cease recurring billing will coincide with the same date recurring
billing starts for assuming CLEC.
10.6 Maintenance and Repair
In the event of any service outage affecting both Qwest and CLEC , repairs shall be effectuated
on a non-discriminatory basis as established by local, state or federal requirements. Where
such requirements do not exist, repairs shall be made in the following order: electrical
telephone (EAS/local), telephone (Long Distance), and cable television, or as mutually agreed
to by the users of the affected poles/duct/innerduct.
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Section 11.0 - NETWORK SECURITY
11.Protection of Service and Property. Each Party shall exercise the same degree
of care to prevent harm or damage to the other Party and any third parties, its employees,
agents or End User Customers, or their property as it employs to protect its own personnel , End
User Customers and property, etc.11.2 Each Party is responsible to provide security and privacy of communications.
This entails protecting the confidential nature of Telecommunications transmissions between
End User Customers during technician work operations and at all times. Specifically, no
employee, agent or representative shall monitor any circuits except as required to repair or
provide service of any End User Customer at any time. Nor shall an employee, agent or
representative disclose the nature of overheard conversations, or who participated in such
communications or even that such communication has taken place. Violation of such security
may entail state and federal criminal penalties , as well as civil penalties. CLEC is responsible
for covering its employees on such security requirements and penalties.
11.The Parties' Telecommunications networks are part of the national security
network, and as such, are protected by federal law. Deliberate sabotage or disablement of any
portion of the underlying equipment used to provide the network is a violation of federal statutes
with severe penalties, especially in times of national emergency or state of war. The Parties are
responsible for covering their employees on such security requirements and penalties.11.4 Qwest and CLEC share responsibility for security and network protection for
each Collocation arrangement. Each Party s employees, agents or representatives must secure
its own portable test equipment, spares, etc. and shall not use the test equipment or spares of
other parties. Use of such test equipment or spares without written permission constitutes theft
and may be prosecuted. Exceptions are the use of Qwest ladders in the Wire Center, either
rolling or track, which CLEC may use in the course of work operations. Qwest assumes no
liability to CLEC, its agents, employees or representatives, if CLEC uses a Qwest ladder
available in the Wire Center.
11.Each Party is responsible for the physical security of its employees, agents or
representatives. Providing safety glasses, gloves, etc. must be done by the respective
employing Party. Hazards handling and safety procedures relative to the Telecommunications
environment is the training responsibility of the employing Party. Proper use of tools, ladders
and test gear is the training responsibility of the employing Party.
11.In the event that one Party's employees, agents or representatives inadvertently
damage or impair the equipment of the other Party, prompt notification will be given to the
damaged Party by verbal notification between the Parties' technicians at the site or by
telephone to each Party's 24 x 7 security numbers.
11.Each Party shall comply at all times with Qwest security and safety procedures
and requirements while performing work activities on Qwest's Premises.
11.Qwest. will allow CLEC to inspect or observe spaces which house or contain
GLEC equipment or equipment enclosures at any time and to furnish CLEC with all keys, entry
codes , lock combinations, or other materials or information which may be needed to gain entry
into any secured CLEC space, in a manner consistent with that used by Qwest.
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11.Qwest will limit the keys used in its keying systems for enclosed collocated
spaces which contain or house CLEC equipment or equipment enclosures to its employees and
representatives to emergency access only. CLEC shall further have the right to change locks
where deemed necessary for the protection and security of such spaces.
11.10 Keys may entail either metallic keys or combination electronic I D/key cards. It is
solely the responsibility of CLEC to ensure keys are not shared with unauthorized personnel
and recover keys and electronic ID/keys promptly from discharged personnel , such that office
security is always maintained. Qwest has similar responsibility for its employees.
11.11 CLEC will train its employees , agents and vendors on Qwest security policies
and guidelines.
11.12 When working on Qwest ICDF Frames or in Qwest's common or CLEC
equipment line-ups, Qwest and CLEC employees , agents and vendors agree to adhere to
Qwest quality and performance standards provided by Qwest and as specified in this
Agreement.
11.13 CLEC shall report all material losses to Qwest Security. All security incidents are
to be referred directly to local Qwest Security - 1-888-879-7328. In cases of emergency, CLEC
shall call 911 and 1-888-879-7328.
11.14 Qwest and CLEC employees agents and vendors will display the
identification/access card above the waist and visible at all times.
11.15 Qwest and CLEC shall ensure adherence by their employees, agents and
vendors to all applicable Qwest environmental health and safety regulations. This includes all
fire/life safety matters, OSHA, EPA, Federal , State and local regulations, including evacuation
plans and indoor air quality.
11.
and gates.
Qwest and CLEC employees, agents and vendors will secure and lock all doors
11.17 CLEC will report to Qwest all property and equipment losses immediately, any
lost cards or keys, vandalism, unsecured conditions, security violations , anyone who
unauthorized to be in the work area or is not wearing the Qwest identification/access card.
11.18 Qwest and CLEC's employees, agents and vendors shall comply with Qwest
Central Office fire and safety regulations, which include but are not limited to, wearing safety
glasses in designated areas, keeping doors and aisles free and clean of trip hazards such as
wire , checking ladders before moving, not leaving test equipment or tools on rolling ladders, not
blocking doors open, providing safety straps and cones in installation areas, using electrostatic
discharge protection , and exercising good housekeeping.
11.19 Smoking is not allowed in Qwest buildings, Wire Centers, or other Qwest
facilities. No open flames shall be permitted anywhere within the buildings . Wire Centers or
other facilities. Failure to abide by this restriction may result in denial of access for that
individual and may constitute a violation of the access rules, subjecting CLEC employee, agent
or vendor to denial of unescorted access. Qwest shall provide written notice within five (5)
calendar Days of CLEC violation of this provision to CLEC prior to denial of access and such
notice shall include: 1) identification of the violation of this provision and the personnel involved
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2) identification of the safety regulation violated, and 3) date and location of such violation.
CLEC will have five (5) calendar Days to remedy any such violation for which it has received
notice from Qwest. In the event that CLEC fails to remedy any. such violation of which it has
received notice within such five (5) calendar Days following receipt of such notice, CLEC shall
be denied unescorted access to the affected Premises. In the event CLEC disputes any action
Qwest seeks to take or has taken pursuant to this provision , CLEC may pursue immediate
resolution by expedited Dispute Resolution.
11.20 No flammable or explosive fluids or materials are to be kept or used anywhere
within the Qwest buildings or on the grounds.
11.21 No weapons of any type are allowed on Qwest Premises. Vehicles on Qwest
property are subject to this restriction as well.
11.22 Except as otherwise provided in this Agreement, CLEC's employees, agents or
vendors may not make any modifications, alterations, additions or repairs to any space within
the building or on the grounds, provided , however, nothing in Section 11 shall prevent CLEC, its
employees or agents from performing modifications, alterations, additions or repairs to its own
equipment or facilities.
11.23 Qwest employees may request CLEC's employees , agents or vendors to stop
any work activity that in their reasonable judgment is a jeopardy to personal safety or poses a
potential for damage to the Qwest Premises, Qwest equipment or Qwest services within the
facility until the situation is remedied. CLEC employees may report any work activity that in their
reasonable judgment is a jeopardy to personal safety or poses a potential for damage to the
building, CLEC equipment or CLEC services within the facility, to Qwest Service Assurance
(800-713-3666) and the reported work activity will be immediately stopped until the situation is
remedied. In the event such non-compliant activity occurs in a Qwest Central Office, notification
of the non-compliant activity may be made to the Central Office supervisor, and the Central
Office supervisor shall immediately stop the reported work activity until the situation is remedied.
The compliant Party shall provide immediate notice of the non-compliant work activity to the
non-compliant Party and such notice shall include: 1) identification of the non-compliant work
activity, 2) identification of the safety regulation violated , and 3) date and location of safety
violation. If such non-compliant work activities pose an immediate threat to the safety of the
other Party's employees, interference with the performance of the other Party service
obligations, or pose an immediate threat to the physical integrity of the other Party s facilities
the compliant Party may perform such work and/or take action as is necessary to correct the
condition at the non-compliant Party's expense. In the event the non-compliant Party disputes
any action the compliant Party seeks to take or has taken pursuant to this provision, the non-
compliant Party may pursue immediate resolution by expedited Dispute Resolution. If the non-
compliant Party fails to correct any safety non-compliance within ten (10) calendar Days
written notice of non-compliance, or if such non-compliance cannot be corrected within ten (10)
calendar Days of written notice of non-compliance, and if the non-compliant Party fails to take
all appropriate steps to correct as soon as reasonably possible, the compliant Party may pursue
immediate resolution by expedited Dispute Resolution.
11.24 Qwest is not liable for any damage, theft or personal injury resulting from CLEC'
employees , agents or vendors parking in a Qwest parking area.
11.25 CLEC's employees, agents or vendors outside the designated CLEC access
area, or without proper identification may be asked to vacate the Premises and Qwest security
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may be notified. Continued violations may result in termination of access privileges. Qwest
shall provide immediate notice of the security violation to CLEC and such notice shall include:
1) identification of the security violation , 2) identification of the security regulation violated, and
3) date and location of security violation. CLEC will have five (5) calendar Days to remedy any
such alleged security violation before any termination of access privileges for such individual. In
the event CLEC disputes any action Qwest seeks to take or has taken pursuant to this
provision, CLEC may pursue immediate resolution by expedited or other Dispute Resolution.
11.
Centers:
Building related problems may be referred to the Qwest Work Environment
800-879-3499 (CO , WY, AZ, NM)
800-201-7033 (all other Qwest states)
11.27 CLEC will submit a Qwest Collocation Access Application form for individuals
needing to access Qwest facilities. CLEC and Qwest will meet to review applications and
security requirements.
11.28 CLEC employees, agents and vendors will utilize only corridors, stairways and
elevators that provide direct access to CLEC's space or the nearest restroom facility. Such
access will be covered in orientation meetings. Access shall not be permitted to any other
portions of the building.
11.29 CLEC will collect identification/access cards for any employees, agents or
vendors no longer working on behalf of CLEC and forward them to Qwest Security. If cards or
keys cannot be collected, CLEC will immediately notify Qwest at 800-210-8169.
11.30 CLEC will assist Qwest in validation and verification of identification of its
employees, agents and vendors by providing a telephone contact available seven (7) Days a
week, twenty-four (24) hours a Day.
11.31 Qwest and CLEC employees, agents and vendors will notify Qwest Service
Assurance (800-713-3666) prior to gaining access into a Central Office after hours, for the
purpose of disabling Central Office alarms for CLEC access. Normal business hours are 7:00
m. to 5:00 p.
11.32 CLEC will notify Qwest if CLEC has information that its employee, agent or
vendor poses a safety and/or security risk. Qwest may deny access to anyone who in the
reasonable judgment of Qwest threatens the safety or security of facilities or personnel.
11.33 CLEC will supply to Qwest Security, and keep up to date, a list of its employees
agents and vendors who require access to CLEC's space. The list will include names and
social security numbers. Names of employees, agents or vendors to be added to the list will be
provided to Qwest Security, who will provide it to the appropriate Qwest personnel.
11.34 Revenue Protection. Qwest shall make available to CLEC all present and future
fraud prevention or revenue protection features. These features include, but are not limited to,
screening codes, information digits '29' and '70' which indicate prison and COCOT pay phone
originating line types respectively; call blocking of domestic, international, 800, 888, 900, NPA-
976, 700 and 500 numbers. Qwest shall additionally provide partitioned access to fraud
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prevention, detection and control functionality within pertinent Operations Support Systems
which include but are not limited to LlDB Fraud monitoring systems.
11.34.Uncollectable or unbillable revenues resulting from , but not confined to
Provisioning, maintenance, or signal network routing errors shall be the responsibility of the
Party causing such error or malicious acts, if such malicious acts could have reasonably been
avoided.
11.34.Uncollectible or unbillable revenues resulting from the accidental or malicious
alteration of software underlying Network Elements or their subtending Operational Support
Systems by unauthorized third parties that could have reasonably been avoided shall be the
responsibility of the Party having administrative control of access to said Network Element or
operational support system software.
11.34.Qwest shall be responsible for any direct uncollectible or unbillable revenues
resulting from the unauthorized physical attachment to Loop facilities from the Main Distribution
Frame up to and including the Network Interface Device, including clip-on fraud, if Qwest could
have reasonably prevented such fraud.
11.34.4 To the extent that incremental costs .are directly attributable to a revenue
protection capability requested by CLEC , those costs will be borne by CLEC.
11.34.To the extent that either Party is liable to any toll provider for fraud and to the
extent that either Party could have reasonably prevented such fraud, the Party who could have
reasonably prevented such fraud must indemnify the other for any fraud due to compromise of
its network (e., clip-on, missing information digits , missing toll restriction, etc.
11.34.If Qwest becomes aware of potential fraud with respect to CLEC's accounts
Qwest will promptly inform CLEC and, at the direction of CLEC, take reasonable action to
mitigate the fraud where such action is possible.
11.35 Law Enforcement Interface. Qwest provides emergency assistance to 911
centers and law enforcement agencies Seven (7) Days a week/twenty-four (24) hours a Day.
Assistance includes, but is not limited to, release of 911 trace and subscriber information; in-
progress trace requests; establishing emergency trace equipment, release of information from
an emergency trap/trace or *57 trace; requests for emergency subscriber information;
assistance to law enforcement agencies in hostage/barricade situations, kidnappings, bomb
threats, extortion/scams , runaways and life threats.
11.36 Qwest provides trap/trace, pen register and Title III assistance directly to law
enforcement, if such assistance is directed by a court order. This service is provided during
normal business hours Monday through Friday. Exceptions are addressed in the above
paragraph. The charges for these services will be billed directly to the law enforcement agency,
without involvement of CLEC, for any lines served from Qwest Wire Centers or cross boxes.
11.37 In all cases involving telephone lines served from Qwest Wire Centers or cross
boxes, whether the line is a resold line or Unbundled Loop element, Qwest will perform
trap/trace Title III and pen register assistance directly with law enforcement. CLEC will not be
involved or notified of such actions, due to non-disclosure court order considerations, as well as
timely response duties when law enforcement agencies are involved. Exceptions to the above
will be those cases, as yet undetermined, where CLEC must participate due to technical
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reasons wherein its circuitry must be accessed or modified to comply with law enforcement, or
for legal reasons that may evolve over time. CLEC will provide Qwest with a twenty-four (24)
hours a Day, seven (7) Days a week contact for processing such requests, should they occur.
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Section 12.0 -ACCESS TO OPERATIONAL SUPPORT SYSTEMS (OSS)
12.Description
12.Qwest has developed and shall continue to provide Operational Support System
(OSS) interfaces using electronic gateways and manual processes. These gateways act as a
mediation or control point between CLEC's and Qwest's OSS. These gateways provide security
for the interfaces, protecting the integrity of the Qwest OSS and databases. Qwest's OSS
interfaces have been developed to support Pre-ordering, Ordering and Provisioning,
Maintenance and Repair and Billing. This section describes the interfaces and manual
processes that Qwest has developed and shall provide to CLEC. Additional technical
information and details shall be provided by Qwest in training sessions and documentation and
support, such as the "Interconnect Mediated Access User s Guide." Qwest will continue to
make improvements to the electronic interfaces as technology evolves, Qwest's legacy systems
improve, or CLEC needs require. Qwest shall provide notification to CLEC consistent with the
provisions of the Change Management Process (CMP) set forth in Section 12.
12.Through its electronic gateways and manual processes, Qwest shall provide
CLEC non-discriminatory access to Qwest's OSS for Pre-ordering, Ordering and Provisioning,
Maintenance and Repair, and Billing functions. For those functions with a retail analogue, such
as pre-ordering and ordering and Provisioning of resold services, Qwest shall provide CLEC
access to its ass in substantially the same time and manner as it provides to itself. For those
functions with no retail analogue, such as pre-ordering and ordering and Provisioning of
Unbundled Elements, Qwest shall provide CLEC access to Owest's OSS sufficient to allow an
efficient competitor a meaningful opportunity to compete. Qwest will comply with the standards
for access to ass set forth in Section 20. Qwest shall deploy the necessary systems and
personnel to provide sufficient access to each of the necessary OSS functions. Qwest shall
provide assistance for CLEC to understand how to implement and use all of the available OSS
functions. Qwest shall provide CLEC sufficient electronic and manual interfaces to allow CLEC
equivalent access to all of the necessary OSS functions. Through its web site, training,
disclosure documentation and development assistance, Qwest shall disclose to CLEC any
internal business rules and other formatting information necessary to ensure that CLEC'
requests and orders are processed efficiently. Qwest shall provide training to enable CLEC to
devise its own course work for its own employees. Through its documentation available to
CLEC, Qwest will identify how its interface differs from national guidelines or standards. Qwest
shall provide OSS designed to accommodate both current demand and reasonably foreseeable
demand.
12.OSS Support for Pre-Ordering, Ordering and Provisioning
12.Local Service Request (LSR) Ordering Process
12.Qwest shall provide electronic interface gateways for submission of
LSRs, including both an Electronic Data Interchange (EDI) interface and a GraphicalUser Interface (GUI).
12.The interface guidelines for EDI are based upon the Order & Billing
Forum (aBF) Local Service Order Guidelines (LSOG), the Telecommunication Industry
Forum (TCIF) Customer Service Guidelines; and the American National Standards
Institute/Accredited Standards Committee (ANSI ASC) X12 protocols. Exceptions to the
above guidelines/standards shall be specified in the EDI disclosure documents.
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12.The GUI shall provide a single interface for Pre-Order and Order
transactions from CLEC to Qwest and is browser based. The GUI interface shall be
based on the LSOG and utilizes a WEB standard technology, Hyper Text Markup
Language (HTML), JAVA and the Transmission Control Protocol/Internet Protocol
(TCP/IP) to transmit messages.
12.Functions Pre-ordering - Qwest will provide real time, electronic access
to pre-order functions to support CLEC's ordering via the electronic interfaces described
herein. Qwest will make the following real time pre-order functions available to CLEC:
12.1.4.Features, services and Primary Interexchange Carrier (PIC)
options for IntraLATA Toll and InterLATA Toll available at a valid service
address;
12.1.4.Access to Customer Service Records (CSRs) for Qwest retail or
resale End User Customers. The information will include Billing name, service
address, Billing address, service and feature subscription, Directory Listing
information, and Long Distance Carrier identity;
12.1.4.Telephone number request and selection;
12.1.4.4 Reservation of appointments for service installations requiring
the dispatch of a Qwest technician on a non-discriminatory basis;
12.1.4.Information regarding whether dispatch is required for service
installation and available installation appointments;
12.1.4.Service address verification;
12.1.4.7 Facility availability, Loop qualification, and Loop make-up
information , including, but not limited to, Loop length, presence of Bridged Taps
repeaters, and loading coils.
12.1.4.A list of valid available CFAs for Unbundled Loops.
12.1.4.A list of one to five (1-5) individual Meet Points or a range of
Meet Points for shared Loops.
12.1.4.10 Design Layout Record (DLR) Query which provides the layout
for the local portion of a circuit at a particular location where applicable.
12.Dial-Up Capabilities
12.Intentionally Left Blank.
12.Intentionally Left Blank.
12.When CLEC requests from Qwest more than fifty (50) SecurlDs
for use by CLEC Customer service representatives at a single CLEC location
CLEC shall use a T1 line instead of dial-up access at that location. If CLEC is
obtaining the line from Qwest, then CLEC shall be able to use SecurlDs until
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such time as Qwest provisions the T1 line and the line permits pre-order and
order information to be exchanged between Qwest and CLEC.
12.Access Service Request (ASR) Ordering Process
12.Qwest shall provide a computer-to-computer batch file interface
for submission of ASRs based upon the OBF Access Service Order Guidelines
(ASOG). Qwest shall supply exceptions to these guidelines in writing in sufficient
time for CLEC to adjust system requirements.
12.Facility Based EDI Listing Process --' Qwest shall provide a Facility
Based EDI Listing interface to enable CLEC Listing data to be translated and passed
into the Qwest Listing database. This interface is based upon OBF LSOG and ANSI
ASC X12 standards. Qwest shall supply exceptions to these guidelines/standards in
writing in sufficient time for CLEC to adjust system requirements.
12.Qwest will establish interface contingency plans and disaster recovery
plans for the interfaces described in this Section. Qwest will work cooperatively with
CLECs through the CMP process to consider any suggestions made by CLECs to
improve or modify such plans. CLEC specific requests for modifications to such plans
will be negotiated and mutually agreed upon between Qwest and CLEC.
12.Ordering and Provisioning - Qwest will provide access to ordering and
status functions. CLEC will populate the service request to identify what features,
services, or elements it wishes Qwest to provision in accordance with Qwest's published
business rules.
12.2.Qwest shall provide all Provisioning services to CLEC during the
same business hours that Qwest provisions services for its End User Customers.
Qwest will provide out-of-hours Provisioning services to CLEC on a non-
discriminatory basis as it provides such Provisioning services to itself, its End
User Customers, its Affiliates or any other Party. Qwest shall disclose the
business rules regarding out-of-hours Provisioning on its wholesale web site.
12.When CLEC places an electronic order, Qwest will provide
CLEC with an electronic Firm Order Confirmation notice (FOC). The FOC will
follow industry-standard formats and contain the Qwest Due Date for order
completion. Upon completion of the order, Qwest will provide CLEC with an
electronic completion notice which follows industry-standard formats and which
states when the order was completed. Qwest supplies two (2) separate
completion notices: 1) service order completion (SOC) which notifies CLEC that
the service order record has been completed , and 2) Billing completion that
notifies CLEC that the service order has posted to the Billing system.
12.2.When CLEC places a manual order, Qwest will provide CLEC
with a manual Firm Order Confirmation notice. The confirmation notice will follow
industry-standard formats. Upon completion of the order, Qwest will provide
CLEC with a completion notice which follows industry-standard formats and
which states when the order was completed. Qwest supplies two (2) separate
completion notices: 1) service order completion (SOC) which notifies CLEC that
the service order record has been completed , and 2) Billing completion that
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notifies CLEC that the service order has posted to the Billing system.
12.9.4 When CLEC places an electronic order, Qwest shall provide
notification electronically of any instances when (1) Qwest's Committed Due
Dates are in jeopardy of not being met by Qwest on any service or (2) an order is
rejected. The standards for returning such notices are set forth in Section 20.
12.When CLEC places a manual order, Qwest shall provide
notification of any instances when (1) Qwest's Committed Due Dates are in
jeopardy of not being met by Qwest on any service or (2) an order is rejected.
The standards for returning such notices are set forth in Section 20.
12.Business rules regarding rejection of LSRs or ASRs are subject
to the provisions of Section 12.
12.Where Qwest provides installation on behalf of CLEC , Qwest
shall advise the CLEC End User Customer to notify CLEC immediately if CLEC'
End User Customer requests a service change at the time of installation.
12.2 Maintenance and Repair
12.Qwest shall provide electronic interface gateways, including an Electronic
Bonding interface and a GUI interface, for reviewing an End User Customer s trouble
history at a specific location, conducting testing of an End User Customer s service
where applicable, and reporting trouble to facilitate the exchange of updated information
and progress reports between Qwest and CLEC while the Trouble Report (TR) is open
and a Qwest technician is working on the resolution. CLEC may also report trouble
through manual processes. For designed services, the TR will not be closed prior to
. verification by CLEC that trouble is cleared.
12.3 Interface Availability
12.Qwest shall make its OSS interfaces available to CLEC during the hours
listed in the Gateway Availability PIDs in Section 20.
12.3.2 Qwest shall notify CLEC in a timely manner regarding system downtime
through mass email distribution and pop-up windows as applicable.
12.4 Billing
12.2.4.For products billed out of the Qwest Interexchange Access Billing System
(lABS), Qwest will utilize the existing CABS/BOS format and technology for the
transmission of bills.
12.2.4.For products billed out of the Qwest Customer Record Information
System (CRIS), Qwest will utilize the existing EDI standard for the transmission of
monthly local Billing information. EDI is an established standard under the auspices of
the ANSI/ASC X12 Committee. A proper subset of this specification has been adopted
by the Telecommunications Industry Forum (TCIF) as the "811 Guidelines" specifically
for the purposes of Telecommunications Billing. Any deviance from these standards and
guidelines shall be documented and accessible to CLEC.
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12.5 Outputs
Output information will be provided to CLEC in the form of bills, files, and reports. Bills will
capture all regular monthly and incremental/usage charges and present them in a summarized
format. The files and reports delivered to CLEC come in the following categories:
Usage Record File Line Usage Information
Loss and Completion Order Information
Category 11 Facility Based Line Usage Information
SAG/FAM Street Address/Facility Availability Information
12.Bills
12.CRIS Summary Bill - The CRIS Summary Bill represents a
monthly summary of charges for most wholesale products sold by Qwest. This
bill includes a total of all charges by entity plus a summary of current charges
and adjustments on each sub-account. Individual sub-accounts are provided as
Billing detail and contain monthly, one-time charges and incremental/call detail
information. The Summary Bill provides one bill and one payment document for
CLEC. These bills are segmented by state and bill cycle. The number of bills
received by CLEC is dictated by the product ordered and the Qwest region in
which CLEC is operating.
12.lABS Bill - The lABS Bill represents a monthly summary of
charges. This bill includes monthly and one-time charges plus a summary of any
usage charges. These bills are segmented by product, LATA, Billing account
number (BAN) and bill cycle.
12.Files and Reports
12.Daily Usage Record File provides the accumulated set of call
information for a given Day as captured or recorded by the network Switches.
This file will be transmitted Monday through Friday, excluding Qwest holidays.
This information is a file of unrated Qwest originated usage messages and rated
CLEC originated usage messages. It is provided in A TIS standard Electronic
Message Interface (EM I) format. This EMI format is outlined in the document
SR.320; which can be obtained directly from A TIS. The Daily Usage Record File
contains multi-state data for the Data Processing Center generating this
information. Individual state identification information is contained with the
message detail. Qwest will provide this data to CLEC with the same level of
precision and accuracy it provides itself. This file will be provided for resale
products.
12.The charge for this Daily Usage Record File is contained in Exhibit
A of this Agreement.
12.5.2.Routing of in-region IntraLATA Collect, Calling Card, and Third
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Number Billed Messages - Qwest will distribute in-region IntraLA T A collect,
calling card, and third number billed messages to CLEC and exchange with other
CLECs operating in region in a manner consistent with existing inter-company
processing agreements. Whenever the daily usage information is transmitted to
a Carrier, it will contain these records for these types of calls as well.
12.2.4 Loss Report provides CLEC with a daily report that contains a list
of accounts that have had lines and/or services disconnected. This may indicate
that the End User Customer has changed CLECs or removed services from an
existing account. This report also details the order number, service name and
address, and date this change was made. Individual reports will be provided for
resale, Unbundled Loop, and Interim Number Portability products.
12.Completion Report provides CLEC with a daily report. This
report is used to advise CLEC that the order(s) for the service(s) requested is
complete. It details the order number, service name and address and date this
change was completed. Individual reports will be provided for resale and
Unbundled Loop products.
12.Category 11 Records are Exchange Message Records (EMR)
which provide mechanized record formats that can be used to exchange access
usage information between Qwest and CLEC. Category 1101 series records are
used to exchange detailed access usage information.
12.Intentionally Left Blank.
12.SAG/FAM Files. The SAG (Street Address Guide)/FAM (Features
Availability Matrix) files contain the following information:
SAG provides Address and Serving Central Office Information.b) FAM provides USOCs and descriptions by state (POTS services
only), and USOC availability by NPA-NXX with the exception of Centrex.
InterLATAllntraLATA Carriers by NPA-NXX.
These files are made available via a download process. They can be retrieved
by FTP (File Transfer Protocol), NDM connectivity, or a web browser.
12.6 Change Management
Qwest agrees to maintain a change management process, known as the Change Management
Process (CMP), that is consistent with or exceeds industry guidelines, standards and practices
to address Qwest's OSS, products and processes. The CMP shall include, but not be limited to
the following: (i) provide a forum forCLEC and Qwest to discuss CLEC and Qwest change
requests (CR), CMP notifications, systems release life cycles, and communications; (ii) provide
a forum for CLECs and Qwest to discuss and prioritize CRs, where applicable pursuant to the
CMP Document; (iii) develop a mechanism to track and monitor CRs and CMP notifications; (iv)
. establish intervals where appropriate in the process; (v) processes by which CLEC impacts that
result from changes to Qwest's OSS, products or processes can be promptly and effectively
resolved; (vi) processes that are effective in maintaining the shortest timeline practicable for the
receipt, development and implementation of all CRs; (vii) sufficient dedicated Qwest processes
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to address and resolve in a timely manner CRs and other issues that come before the CMP
body; (viii) processes for ass Interface testing; (ix) information that is clearly organized and
readily accessible to CLECs, including the availability of web-based tools; (x) documentation
provided by Qwest that is effective in enabling CLECs to build an electronic gateway; and (xi) a
process for changing CMP that calls for collaboration among CLECs and Qwest and requires
agreement by the CMP participants. Pursuant to the scope and procedures set forth in the
CMP Document, Qwest will submit to CLECs through the CMP , among other things
modifications to existing products and product and technical documentation available to CLECs
introduction of new products available to CLECs, discontinuance of products available to
CLECs, modifications to pre-ordering, ordering/Provisioning, maintenance/repair or Billing
processes, introduction of pre-ordering, ordering/Provisioning, maintenance/repair or Billing
processes, discontinuance of pre-ordering, ordering/Provisioning, maintenance/repair or Billing
processes, modifications to existing OSS interfaces, introduction of new OSS interfaces , and
retirement of existing OSS interfaces. Qwest will maintain as part of CMP an escalation
process so that CMP issues can be escalated to a Qwest representative authorized to make a
final decision and a process for the timely resolution of disputes. The governing document for
CMP, known as the "Change Management Process" Document is the subject of ongoing
negotiations between Qwest and CLECs in the ongoing CMP redesign process. The CMP
Document will continue to be changed through those discussions. The CMP Document reflects
the commitments Qwest has made regarding maintaining its CMP and Qwest commits to
implement agreements made in the CMP redesign process as soon as practicable after they are
made. The CMP Document will be subject to change through the CMP process, as set forth in
the CMP Document. Qwest will maintain the most current version of the CMP Document on its
wholesale web site.
12.In the course of establishing operational ready system interfaces between
Qwest and CLEC to support local service delivery, CLEC and Qwest may need to defineand implement system interface specifications that are supplemental to existingstandards. CLEC and Qwest will submit such specifications to the appropriate
standards committee and will work towards their acceptance as standards.
12.Release updates will be implemented pursuant to the CMP.
12.Intentionally Left Blank.
12.7 CLEC Responsibilities for Implementation of OSS Interfaces
12.Before CLEC implementation can begin CLEC must completely and
accurately answer the New Customer Questionnaire as required in Section 3.
12.Once Qwest receives a complete and accurate New Customer
Questionnaire , Qwest and CLEC will mutually agree upon time frames for
implementation of connectivity between CLEC and the ass interfaces.
12.8 Qwest Responsibilities for On-g~ing Support for OSS Interfaces
Qwest will support previous EDI releases for six (6) months after the next subsequent EDI
release has been deployed.
12.
release.
Qwest will provide written notice to CLEC of the need to migrate to a new
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12.Qwest will provide an EDI Implementation Coordinator to work with CLEC
for business scenario re-certification, migration and data conversion strategy definition.
12.Re-certification is the process by which CLEC demonstrates the ability to
generate correct functional transactions for enhancements not previously certified.
Qwest will provide the suite of tests for re-certification to CLEC with the issuance of the
disclosure document.
12.8.4 Qwest shall provide training mechanisms for CLEC to pursue in educating
its internal personnel. Qwest shall provide training necessary for CLEC to use Qwest'
OSS interfaces and to understand Qwest's documentation, including Qwest's business
rules.
12.9 CLEC Responsibilities for On-going Support for OSS Interfaces
12.If using the GUI interface, CLEC will take reasonable efforts to train CLEC
personnel on the GUI functions that CLEC will be using.
12.An exchange protocol will be used to transport EDI formatted content.
CLEC must perform certification testing of exchange protocol prior to using the ED!
interface.
12.Qwest will provide CLEC with access to a stable testing environment that
mirrors production to certify that its OSS will be capable of interacting smoothly and
efficiently with Qwest's OSS. Qwest has established the following test processes to
assure the implementation of a solid interface between Qwest and CLEC:
12.Connectivity Testing CLEC and Qwest will conduct
connectivity testing. This test will establish the ability of the trading partners tosend and receive EDI messages effectively. This test verifies the
communications between the trading partners. Connectivity is established during
each phase of the implementation cycle. This test is also conducted prior to
controlled production and before going live in the production environment if
CLEC or Qwest has implemented environment changes when moving into
production.
12.2 Stand-Alone Testing Environment (SATE) - Qwest's stand-
alone testing environment will take pre-order and order requests, pass them to
the stand-alone database, and return responses to CLEC during its development
and implementation of EDI. The SATE provides CLEC the opportunity to validate
its technical development efforts built via Qwest documentation without the need
to schedule test times. This testing verifies CLEC's ability to send correctly
formatted EDI transactions through the EDI system edits successfully for both
new and existing releases. SATE uses test account data supplied by Qwest.
Qwest will make additions to the test beds and test accounts as it introduces new
OSS electronic interface capabilities, including support of new products and
services , new interface features, and functionalities. All SATE pre-order queries
and orders are subjected to the same edits as production pre-order and order
transactions. This testing phase is optional.
12.Interoperability Testing - CLEC has the option of participating
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with Qwest in Interoperability testing to provide CLEC with the opportunity to
validate technical development efforts and to quantify processing results.
Interoperability testing verifies CLEC's ability to send correct EDI transactions
through the EDI system edits successfully.lnteroperability testing requires the
use of valid data in Qwest production systems. All Interoperability pre-order
queries and order transactions are subjected to the same edits as production
orders. This testing phase is optional when CLEC has conducted Stand-Alone
Testing successfully. Qwest shall process pre-order transactions in Qwest'
production OSS and order transactions through the business processing layer ofthe EDI interfaces.
12.3.4 Controlled Production - Qwest and CLEC will perform controlled
production. The controlled production process is designed to validate the ability
of CLEC to transmit EDI data that completely meets X12 standards definitions
and complies with all Qwest business rules. Controlled production consists of
the controlled submission of actual CLEC production requests to the Qwest
production environment. Qwest treats these pre-order queries and orders as
production pre-order and order transactions. Qwest and CLEC use controlled
production results to determine operational readiness. Controlled production
requires the use of valid account and order data. All certification orders are
considered to be live orders and will be provisioned.
12.If CLEC is using EDI , Qwest shall provide CLEC with a pre-
allotted amount of time to complete certification of its business scenarios. Qwest
will allow CLEC a reasonably sufficient amount of time during the day and a
reasonably sufficient number of days during the week to complete certification of
its business scenarios consistent with CLEC's business plan. It is the sole
responsibility of CLEC to schedule an appointment with Qwest for certification of
its business scenarios. CLEC must make every effort to comply with the agreed
upon dates and times scheduled for the certification of its business scenarios. If
the certification of business scenarios is delayed due to CLEC, it is the sole
responsibility of CLEC to schedule new appointments for certification of its
business scenarios. Qwest will make reasonable efforts to accommodate CLEC
schedule. Conflicts in the schedule could result in certification being delayed. If
a delay is due to Qwest, Qwest will honor CLEC's schedule through the use of
alternative hours.
12.9.4 If CLEC is using the EDI interface, CLEC must work with Qwest to certify
the business scenarios that CLEC will be using in order to ensure successful transaction
processing. Qwest and CLEC shall mutually agree to the business scenarios for which
CLEC requires certification. Certification will be granted for the specified release of the
EDI interface. If CLEC is certifying multiple products or services, CLEC has the option of
certifying those products or services serially or in parallel where Technically Feasible.
12.9.4.For a new software release or upgrade, Qwest will provide
CLEC a stable testing environment that mirrors the production environment in
order for CLEC to test the new release. For software releases and upgrades
Qwest has implemented the testing processes set forth in Sections 12.
12.3 and 12.3.4.
12.New releases of the EDI interface may require re-certification of some or
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all business scenarios. A determination as to the need for re-certification will be made
by the Qwest coordinator in conjunction with the release manager of each IMA EDI
release. Notice of the need for re-certification will be provided to CLEC as the new
release is implemented. The suite of re-certification test scenarios will be provided to
CLEC with the disclosure document. If CLEC is certifying multiple products or services
CLEC has the option of certifying those products or services serially or in parallel, where
Technically Feasible.
12.CLEC will contact the Qwest EDI Implementation Coordinator to initiate
the migration process. CLEC may not need to certify to every new EDI release
however, CLEC must complete the re-certification and migration to the new EDI release
within six (6) months of the deployment of the new release. CLEC will use reasonable
efforts to provide sufficient support and personnel to ensure that issues that arise in
migrating to the new release are handled in a timely manner.
12.The following rules apply to initial development and certification
of EDI interface versions and migration to subsequent EDI interface versions:
12.Stand Alone and/or Interoperability testing must
begin on the prior release before the next release is implemented.
Otherwise, CLEC will be required to move its implementation plan to the
next release.
12.New EDI users must be certified and in production
with at least one (1) product and one (1) order activity type on a prior
release two (2) months after the implementation of the next release.
Otherwise , CLEC will be required to move its implementation plan to the
next release.
12.Any EDI user that has been placed into production
on the prior release not later than two (2) months after the next release
implementation may continue certifying additional products and activities
until two (2) months prior to the retirement of the release. To be placed
into production, the products/order activities must have been tested in the
SATE or Interoperability environment before two (2) months after the
implementation of the next release.
12.CLEC will be expected to execute the re-certification test cases in the
stand alone and/or Interoperability test environments. CLEC will provide Purchase
Order Numbers (PONs) of the successful test cases to Qwest.
12.In addition to the testing set forth in other sections of Section 12., upon
request by CLEC, Qwest shall enter into negotiations for comprehensive production test
procedures. In the event that agreement is not reached , CLEC shall be entitled to
employ, at its choice, the Dispute Resolution procedures of this Agreement or expedited
resolution through request to the state Commission to resolve any differences. In such
cases, CLEC shall be entitled to testing that is reasonably necessary to accommodate
identified business plans or operations needs, accounting for any other testing relevant
to those plans or needs. As part of the resolution of such dispute, there shall be
considered the issue of assigning responsibility for the costs of such testing. Absent a
finding that the test scope and activities address issues of common interest to the CLEC
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community, the costs shall be assigned to CLEC requesting the test procedures.
12.CLEC Support
12.10.Qwest shall provide documentation and assistance for CLEC to
understand how to implement and use all of the available OSS functions. Qwest shall
provide to CLEC in writing any internal business rules and other formatting information
necessary to ensure that CLEC's requests and orders are processed efficiently. This
assistance will include , but is not limited to, contacts to the CLEC account team , training,
documentation, and CLEC Help Desk. Qwest will also supply CLEC with an escalation
level contact list in the event issues are not resolved via contacts to the GLEe account
team, training, documentation and CLEC Help Desk.
12.10.CLEC Help Desk
12.10.The CLEC Systems Help Desk will provide a single point of
entry for CLEC to gain assistance in areas involving connectivity, system
availability, and file outputs. The CLEC Systems Help Desk areas are further
described below.
12.10.Connectivity covers trouble with CLEC's access to
the Qwest system for hardware configuration requirements with relevance
to EDI and GUI interfaces; software configuration requirements with
relevance to EDI and GUI interfaces; modem configuration requirementsT1 configuration and dial-in string requirements firewall access
configuration , SecurlD configuration Profile Setup, and password
verification.
12.2.10.1.2 System Availability covers system errors generated
during an attempt by CLEC to place orders or open trouble reports
through ED! and GUI interfaces. These system errors are limited to:
Resale/POTS; UNE POTS; Design Services and Repair.
12.10.File Outputs covers CLEC's output files and reports
produced from its usage and order activity. File outputs system errors are
limited to: Daily Usage File; Loss / Completion File, lABS Bill CRIS
Summary Bill, Category 11 Report and SAG/FAM Reports.
12.10.Additional assistance to CLEC is available through various public web
sites. These web sites provide electronic interface training information and user
documentation and technical specifications and are located on Qwest's wholesale web
site. Qwest will provide Interconnect Service Center Help Desks which will provide a
single point of contact for CLEC to gain assistance in areas involving order submission
and manual processes.
12.Compensation/Cost Recovery
Recurring and nonrecurring OSS startup charges, as applicable, will be billed at rates set forth
in Exhibit A. Any such rates will be consistent with Existing Rules. Qwest shall not impose any
recurring or nonrecurring ass start up charges unless and until the Commission. authorizes
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Qwest to impose such charges and/or approves applicable rates at the completion of
appropriate cost docket proceedings.
12.Maintenance and Repair
12.1 Service Levels
12.Qwest will provide repair and maintenance for all services covered by this
Agreement in substantially the same time and manner as that which Qwest provides for
itself, its End User Customers , its Affiliates, or any other party. Qwest shall provide
CLEC repair status information in substanti~lIy the same time and manner as Qwest
provides for its retail services.
12.During the term of this Agreement, Qwest will provide necessary
maintenance business process support to allow CLEC to provide similar service quality
to that provided by Qwest to itself, its End User Customers, its Affiliates, or any otherparty.
12.Qwest will perform repair service that is substantially the same in
timeliness and quality to that which it provides to itself, its End User Customers, its
Affiliates , or any other party. Trouble calls from CLEC shall receive response time
priority that is substantially the same as that provided to Qwest, its End User Customers
its Affiliates, or any other party and shall be handled in a nondiscriminatory manner.
12.2 Branding
12.Qwest shall use unbranded Maintenance and Repair forms while
interfacing with CLEC End User Customers. Upon request, Qwest shall use CLEC
provided and branded Maintenance and Repair forms. Qwest may not unreasonably
interfere with branding by CLEC.
12.Except as specifically permitted by CLEC, in no event shall Qwest provide
information to CLEC subscribers about CLEC or CLEC product or services.
12.This section shall confer on Qwest no rights to the service marks
trademarks and trade names owned by or used in connection with services offered by
CLEC or its Affiliates, except as expressly permitted by CLEC.
12.3 Service Interruptions
12.The characteristics and methods of operation of any circuits, facilities or
equipment of either Party connected with the services, facilities or equipment of the
other Party pursuant to this Agreement shall not: 1) interfere with or impair service over
any facilities of the other Party, its affiliated companies, or its connecting and concurring
Carriers involved in its services; 2) cause damage to the plant of the other Party, its
affiliated companies , or its connecting concurring Carriers involved in its services; 3)
violate any Applicable Law or regulation regarding the invasion of privacy of any
communications carried over the Party's facilities; or 4) create hazards to the employees
of either Party or to the public. Each of these requirements is hereinafter referred to as
an "Impairment of Service
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12.If it is confirmed that either Party is cal,Jsing an Impairment of Service , as
set forth in this Section, the Party whose network or service is being impaired (the
Impaired Party ) shall promptly notify the Party causing the Impairment of Service (the
Impairing Party ) of the nature and location of the problem. The Impaired Party shall
advise the Impairing Party that, unless promptly rectified, a temporary discontinuance of
the use of any circuit, facility or equipment may be required. The Impairing Party and
the Impaired Party agree to work together to attempt to promptly resolve the Impairment
of Service. If the Impairing Party is unable to promptly remedy the Impairment of
Service, the Impaired Party may temporarily discontinue use of the affected circuit
facility or equipment.
12.To facilitate trouble reporting and to coordinate the repair of the service
provided by each Party to the other under this Agreement, each Party shall designate a
repair center for such service.
12.3.4 Each Party shall furnish a trouble reporting telephone number for the
designated repair center. This number shall give access to the location where records
are normally located and where current status reports on any trouble reports are readily
available. If necessary, alternative out-of-hours procedures shall be established to
ensure access to a location that is staffed and has the authority to initiate corrective
action.
12.Before either Party reports a trouble condition , it shall use its best efforts
to isolate the trouble to the other s facilities.
12.In cases where a trouble condition affects a significant portion of
the other s service, the Parties shall assign the same priority provided to CLEC
as itself, its End User Customers, its Affiliates, or any other party.
12.The Parties shall cooperate in isolating trouble conditions.
12.4 Trouble Isolation
12.3.4.CLEC is responsible for its own End User Customer base and will have
the responsibility for resolution of any service trouble report(s) from its End User
Customers. CLEC will perform trouble isolation on services it provides to its End User
Customers to the extent the capability to perform such trouble isolation is available to
CLEC, prior to reporting trouble to Qwest. CLEC shall have access for testing purposes
at the Demarcation Point, NID, or Point of Interface. Qwest will work cooperatively with
CLEC to resolve trouble reports when the trouble condition has been isolated and found
to be within a portion of Qwest's network. Qwest and CLEC will report trouble isolation
test results to the other. Each Party shall be responsible for the costs of performing
trouble isolation on its facilities, subject to Sections 12.3.4.2 and 12.3.4.
12.3.4.When CLEC requests that Qwest perform trouble isolation with CLEC , a
Maintenance of Service charge will apply if the trouble is found to be on the End User
Customer s side of the Demarcation Point. If the trouble is on the End User Customer
side of the Demarcation Point, and CLEC authorizes Qwest to repair trouble on CLEC'
behalf, Qwest will charge CLEC the appropriate Additional Labor Charge set forth in
Exhibit A in addition to the Maintenance of Service charge.
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12.3.4.When CLEC elects not to perform trouble isolation and Qwest performs
tests at CLEC request, a Maintenance of Service Charge shall apply if the trouble is not
in Qwest's facilities, including Qwest'facilities leased by CLEC. Maintenance of
Service charges are set forth in Exhibit A. When trouble is found on Qwest's side of the
Demarcation Point, or Point of Interface during the investigation of the initial or repeat
trouble report for the same line or circuit within thirty (30) Days, Maintenance of Service
charges shall not apply.
12.5 Inside Wire Maintenance
Except where specifically required by state or federal regulatory mandates, or as may be
provided for under Section 6. of this Agreement, Qwest will not perform any maintenance of
inside wire (premises wiring beyond the End User Customer s Demarcation Point) for CLEC or
its End User Customers.
12.6 TestinglTest Requests/Coordinated Testing/UNEs
12.Where CLEC does not have the ability to diagnose and isolate trouble on
a Qwest line, circuit, or service provided in this Agreement that CLEC is utilizing to serve
an End User Customer, Qwest will conduct testing, to the extent testing capabilities are
available to Qwest, to diagnose and isolate a trouble in substantially the same time and
manner that Qwest provides for itself, its End User Customers, its Affiliates, or any other
party.
12.Prior to Qwest conducting a test on a line, circuit, or service provided in
this Agreement that CLEC is utilizing to serve an End User Customer, Qwest must
receive a trouble report from CLEC.
12.On manually reported trouble for non-designed services, Qwest will
provide readily available test results to CLEC or test results to CLEC in accordance with
any applicable Commission rule for providing test results to End User Customers or
CLECs. On manually reported trouble for designed services provided in this Agreement
Qwest will provide CLEC test results upon request. For electronically reported trouble
Qwest will provide CLEC with the ability to obtain basic test results in substantially the
same time and manner that Qwest provides for itself, its End User Customers , its
Affiliates, or any other party.
12.6.4 CLEC shall isolate the trouble condition to Qwest's portion of the line
circuit, or service provided in this Agreement before Qwest accepts a trouble report for
that line, circuit or service. Once Qwest accepts the trouble report from CLEC , Qwest
shall process the trouble report in substantially the same time and manner as Qwest
does for itself, its End User Customers, its Affiliates, or any other party.
12.Qwest shall test to ensure electrical continuity of all UNEs, including
Central Office Demarcation Point, and services it provides to CLEC prior to closing a
trouble report.
12.7 Work Center Interfaces
12.Qwest and CLEC shall work cooperatively to develop positive, close
working relationships among corresponding work centers involved in the trouble
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resolution processes.
12.8 Misdirected Repair Calls
12.CLEC and Qwest will employ the following procedures for handling
misdirected repair calls:
12.CLEC and Qwest will provide their respective End User
Customers with the correct telephone numbers to call for access to their
respective repair bureaus.
12.End User Customers of CLEC shall be instructed to report all
cases of trouble to CLEC. End User Customers of Qwest shall be instructed to
report all cases of trouble to Qwest.
12.To the extent the correct provider can be determined
misdirected repair calls will be referred to the proper provider of Basic Exchange
Telecommunications Service; however, nothing in this Agreement shall be
deemed to prohibit Qwest or CLEC from discussing its products and services
with CLEC's or Qwest's End User Customers who call the other Party seeking
such information.
12.1.4 CLEC and Qwest will provide their respective repair contact
numbers to one another on a reciprocal basis.
12.In responding to repair calls, CLEC's End User Customers
contacting Qwest in error will be instructed to contact CLEC; and Qwest's End
User Customers contacting CLEC in error will be instructed to contact Qwest.
responding to calls , neither Party shall make disparaging remarks about each
other. To the extent the correct provider can be determined, misdirected calls
received by either Party will be referred to the proper provider of local Exchange
Service; however, nothing in this Agreement shall be deemed to prohibit Qwest
or CLEC from discussing its products and services with CLEC's or Qwest's End
User Customers who call the other Party seeking such information.
12.9 Major OutagesJRestorallNotification
12.Qwest will notify CLEC of major network outages in substantially the
same time and manner as it provides itself, its End User Customers, its Affiliates, or any
other party. This notification will be via e-mail to CLEC's identified contact. With the
minor exception of certain Proprietary Information such as Customer information , Qwest
will utilize the same thresholds and processes for external notification as it does for
internal purposes. This major outage information will be sent via e-mail on the same
schedule as is provided internally within Qwest. The email notification schedule shall
consist of initial report of abnormal condition and estimated restoration time/date,
abnormal condition updates, and final disposition. Service restoration will be non-
discriminatory, and will be accomplished as quickly as possible according to Qwest
and/or industry standards.
12.Qwest will meet with associated personnel from CLEC to share contact
information and review Qwest's outage restoral processes and notification processes.
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12.Qwest's emergency restoration process operates on a 7X24 basis.
12.Protective Maintenance
12.10.Qwest will perform scheduled maintenance of substantially the same type
and quality to that which it provides to itself, its End User Customers, its Affiliates, or any
other party.
12.10.Qwest will work cooperatively with CLEC to develop industry-wide
processes to provide as much notice as possible to CLEC of pending maintenance
activity. Qwest shall provide notice of potentially CLEC Customer impacting
maintenance activity, to the extent Qwest can determine such impact, and negotiate
mutually agreeable dates with CLEC in substantially the same time and manner as it
does for itself, its End User Customers, its Affiliates , or any other party.
12.10.Qwest shall advise CLEC of non-scheduled maintenance, testing,
monitoring, and surveillance activity to be performed by Qwest on any services
including, to the extent Qwest can determine, any hardware, equipment, software, or
system providing service functionality which may potentially impact CLEC and/or CLEC
End User Customers. Qwest shall provide the maximum advance notice of such non-
scheduled maintenance and testing activity possible, under the circumstances; provided
however, that Qwest shall provide emergency maintenance as promptly as possible to
maintain or restore service and shall advise CLEC promptly of any such actions it takes.
12.Hours of Coverage
12.11.1 Qwest's repair operation is seven (7) Days a week, twenty-four (24) hours
a day. Not all functions or locations are covered with scheduled employees on a 7X24
basis. Where such 7X24 coverage is not available , Qwest's repair operations center
(always available 7X24) can call-out technicians or other personnel required for the
identified situation.
12.Escalations
12.12.Qwest will provide trouble escalation procedures to CLEC. Such
procedures will be substantially the same type and quality as Qwest employs for itself
its End User Customers, its Affiliates, or any other party. Qwest escalations are manual
processes.
12.12.Qwest repair escalations may be initiated by either calling the trouble
reporting center or through the electronic interfaces. Escalations sequence through five
tiers: tester, duty supervisor, manager, director, vice president. The first escalation point
is the tester. CLEC may request escalation to higher tiers in its sole discretion.
Escalations status is available through telephone and the electronic interfaces.
12.12.Qwest shall handle chronic troubles on non-designed services, which are
those greater than three (3) troubles in a rolling thirty (30) Day period, pursuant to
Section 12.
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12.Dispatch
12.13.Qwest will provide maintenance dispatch personnel in substantially the
same time and manner as it provides for itself, its End User Customers, its Affiliates, or
any other party.
12.13.Upon th~ receipt of a trouble report from CLEC, Qwest will follow internal
processes and industry standards, to resolve the repair condition. Qwest will dispatch
repair personnel on occasion to repair the condition. It will be Qwest's decision whether
or not to send a technician out on a dispatch. Qwest reserves the right to make this
dispatch decision based on the best information available to it in the trouble resolution
process. It is not always necessary to dispatch to resolve trouble; should CLEC require
a dispatch when Qwest believes the dispatch is not necessary, appropriate charges will
be billed by Qwest to CLEC for those dispatch-related costs in accordance with Exhibit A
if Qwest can demonstrate that the dispatch was in fact unnecessary to the clearance of
trouble or the trouble is identified to be caused by CLEC facilities or equipment.
12.13.For POTS lines and designed service circuits , Qwest is responsible for all
Maintenance and Repair of the line or circuit and will make the determination to dispatch
to locations other than the CLEC Customer premises without prior CLEC authorization.
For dispatch to the CLEC Customer premises Qwest shall obtain prior CLEC
authorization with the exception of major outage restoration , cable rearrangements, and
MTE terminal maintenance/replacement.
12.Electronic Reporting
12.14.CLEC may submit Trouble Reports through the Electronic Bonding or GUI
interfaces provided by Qwest.
12.14.2 The status of manually reported trouble may be accessed by CLEC
through electronic interfaces.
12.ntervals/Parity
12.15.Similar trouble conditions, whether reported on behalf of Qwest End User
Customers or on behalf of CLEC End User Customers, will receive commitment intervals
in substantially the same time and manner as Qwest provides for itself, its End User
Customers, its Affiliates, or any other party.
12.Jeopardy Management
12.16.Qwest will notify CLEC, in substantially the same time and manner as
Qwest provides this information to itself, its End User Customers, its Affiliates, or any
other party, that a trouble report commitment (appointment or interval) has been or is
likely to be missed. At CLEC option , notification may be sent by email or fax through the
electronic interface. . CLEC may telephone Qwest repair center or use the electronic
interfaces to obtain jeopardy status.
12.Trouble Screening
12.17.CLEC shall screen and test its End User Customer trouble reports
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completely enough to insure, to the extent possible, that it sends to Qwest only trouble
reports that involve Qwest facilities. For services and facilities where the capability to
test all or portions of the Qwest network service or facility rest with Qwest, Qwest will
make such capability available to CLEC to perform appropriate trouble isolation and
screening.
12.17.Qwest will cooperate with CLEC to s~ow CLEC how Qwest screens
trouble conditions in its own centers, so that CLEC may employ similar techniques in its
centers.
12.Maintenance Standards
12.18.Qwest will cooperate with CLEC to meet the maintenance standards
outlined in this Agreement.
12.18.2 On manually reported trouble , Qwest will inform CLEC of repair
completion in substantially the same time and manner as Qwest provides to itself, its
End User Customers, its Affiliates , or any other party. On electronically reported trouble
reports the electronic system will automatically update status information, including
trouble completion, across the joint electronic gateway as the status changes.
12.End User Customer Interface Responsibilities
12.19.CLEC will be responsible for all interactions with its End User Customers
including service call handling and notifying its End User Customers of trouble status
and resolution.
12.19.All Qwest employees who perform repair service for CLEC End User
Customers will be trained in non-discriminatory behavior.
12.19.Qwest will recognize the designated CLEC/DLEC as the Customer of
Record for all services ordered by CLEC/DLEC and will send all notices , invoices and
pertinent information directly to CLEC/DLEC. Except as otherwise specifically provided
in this Agreement, Customer of Record shall be Qwest's single and sole point of contact
for all CLEC/DLEC End User Customers.
12.Repair Call Handling
12.20.Manually-reported repair calls by CLEC to Qwest will be answered with
the same quality and speed as Qwest answers calls from its own End User Customers.
12.Single Point of Contact
12.21.Qwest will provide a single point of contact for CLEC to report
maintenance issues and trouble reports seven (7) Days a week, twenty-four (24) hours a
day. A single 7X24 trouble reporting telephone number will be provided to CLEC for
each category of trouble situation being encountered.
12.Network Information
12.22.Qwest maintains an information database, available to CLEC for the
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purpose of allowing CLEC to obtain information about Qwest's NPAs, LATAs, Access
Tandem Switches and Central Offices.
12.22.This database is known as the ICONN database, available to CLEC via
Qwest's web site.
12.22.
database.
CPNI Information and NXX activity reports are also included in this
12.22.4 ICONN data is updated in substantially the same time and manner as
Qwest updates the same data for itself, its End User Customers, its Affiliates , or any
other party.
12.Maintenance Windows
12.23.Generally, Qwest performs major Switch maintenance activities off-hours
during certain "maintenance windows Major Switch maintenance activities include
Switch conversions , Switch generic upgrades and Switch equipment additions.
12.23.Generally, the maintenance window is between 10:00 p.m. through 6:00
m. Monday through Friday, and Saturday 10:00 p.m. through Monday 6:00 a.
Mountain Time. Although Qwest normally does major Switch maintenance during the
above maintenance window, there will be occasions where this will not be possible.
Qwest will provide notification of any and all maintenance activities that may impact
CLEC ordering practices such as embargoes, moratoriums, and quiet periods in
substantially the same time and manner as Qwest provides this information to itself, its
End User Customers, its Affiliates, or any other party.
12.23.Intentionally Left Blank.
12.23.4 Planned generic upgrades to Qwest Switches are included in the ICONN
database, available to CLEC via Qwest's web site.
12.Switch and Frame Conversion Service Order Practices
12.24.Switch Conversions. Switch conversion activity generally consists of the
removal of one .Switch and its replacement with another. Generic Switch software or
hardware upgrades, the addition of Switch line and trunk connection hardware and the
addition of capacity to a Switch do not constitute Switch conversions.
12.3.24.2 Frame Conversions. Frame conversions are generally the removal and
replacement of one or more frames, upon which the Switch Ports terminate.
12.24.Conversion Date. The "Conversion Date" is a Switch or frame conversion
planned day of cut~over to the replacement frame(s) or Switch. The actual conversion
time typically is set for midnight of .the Conversion Date. This may cause the actual
Conversion Date to migrate into the early hours of the day after the planned Conversion
Date.
12.24.4 Conversion Embargoes. A Switch or frame conversion embargo is the
time period that the Switch or frame Trunk Side facility connections are frozen to
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facilitate conversion from one Switch or frame to another with minimal disruption to the
End User Customer or CLEC services. During the embargo period , Qwest will reject
orders for Trunk Side facilities (see Section 12.24.4.1) other than conversion orders
described in Section 12.24.4.3. Notwithstanding the foregoing and to the extent Qwest
provisions trunk or trunk facility related service orders for itself, its End User Customers
its Affiliates, or any other party during embargoes, Qwest shall provide CLEC the same
capabilities.
12.24.4.ASRs for Switch or frame Trunk Side facility augments to
capacity or changes to Switch or frame Trunk Side facilities must be issued by
CLEC with a Due Date prior to or after the appropriate embargo interval as
identified in the ICONN database. Qwest shall reject Switch or frame Trunk Side
ASRs to augment capacity or change facilities issued by CLEC or Qwest, its End
User Customers , its Affiliates or any other party during the embargo period,
regardless of the order s Due Date except for conversion ASRs described in
Section 12.24.4.
12.24.4.For Switch and Trunk Side frame conversions, Qwest shall
provide CLEC with conversion trunk group service requests (TGSR) no less than
ninety (90) Days before the Conversion Date.
12.24.4.For Switch and Trunk Side frame conversions, CLEC shall issue
facility conversion ASRs to Qwest no later than thirty (30) Days before the
Conversion Date for like-for-like, where CLEC mirrors their existing circuit design
from the old Switch or frame to the new Switch or frame , and sixty (60) Days
before the Conversion Date for addition of trunk capacity or modification of circuit
characteristics (i.e., change of AMI to B8ZS).
12.24.Frame Embargo Period. During frame conversions, service orders and
ASRs shall be subject to an embargo period for services and facilities connected to the
affected frame. For conversion of trunks where CLEC mirrors their existing circuit
design from the old frame to the new frame on a like-for-like basis, such embargo period
shall extend from thirty (30) Days prior to the Conversion Date until five (5) Days after
the Conversion Date. If CLEC requests the addition of trunk capacity or modification of
circuit characteristics (i.e., change of AMI to B8ZS) to the new frame, new facility ASRs
shall be placed, and the embargo period shall extend from sixty (60) Days prior to the
Conversion Date until five (5) Days after the Conversion Date. Prior to instituting an
embargo period , Qwest shall identify the particular dates and locations for frame
conversion embargo periods in its ICONN database in substantially the same time and
manner as Qwest notifies itself, its End User Customers, Affiliates, or any other party.
12.24.Switch Embargo Period. During Switch conversions, service orders and
ASRs shall be subject to an embargo period for services and facilities associated with
the Trunk Side of the Switch. For conversion of trunks where CLEC mirrors their
existing circuit design from the old Switch to the new Switch on a like-for-like basis, such
embargo period shall extend from thirty (30) Days prior to the Conversion Date until five
(5) Days after the Conversion Date. If CLEC requests the addition of trunk capacity or
modification of circuit characteristics to the new Switch , new facility ASRs shall be
placed , and the embargo period shall extend from sixty (60) Days prior to the
Conversion Date until five (5) Days after the Conversion Date. Prior to instituting an
embargo period , Qwest shall identify the particular dates and locations for Switch
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conversion embargo periods in its ICONN database in substantially the same time and
manner as Qwest notifies itself, its End User Customers, Affiliates, or any other party.
12.24.Switch and Frame Conversion Quiet Periods for LSRs. Switch and frame
conversion quiet periods are the time period within which LSRs may not contain Due
Dates, with the exception of LSRs that result in disconnect orders, including those
related to LNP orders, record orders , Billing change orders for non-switched products,
and emergency orders.
12.24.LSRs of any kind issued during Switch or frame conversion quiet
periods create the potential for loss of End User Customer service due to manual
operational processes caused by the Switch or frame conversion. LSRs of any
kind issued during the Switch or frame conversion quiet periods will be handled
as set forth below, with the understanding that Qwest shall use its best efforts to
avoid the loss of End User Customer service. Such best efforts shall be
substantially the same time and manner as Qwest uses for itself, its End User
Customers , its Affiliates, or any other party.
12.24.The quiet period for Switch conversions, where no LSRs except
those requesting order activity described in 12.24.7 are processed for the
affected location, extends from five (5) Days prior to conversion until two (2)
Days after the conversion and is identified in the ICONN database.
12.24.The quiet period for frame conversions, where no LSRs except
those requesting order activity described in 12.24.7 are processed or the
affected location , extends from five (5) Days prior to conversion until two (2)
Days after the conversion.
12.24.7.4 LSRs, except those requesting order activity described in
12.24., (i) must be issued with a Due Date prior to or after the conversion
quiet period and (ii) may not be issued during the quiet period. LSRs that do not
meet these requirements will be rejected by Qwest.
12.24.LSRs requesting disconnect activity issued during the quiet
period , regardless of requested Due Date, will be processed after the quietperiod expires.
12.24.CLEC may request a Due Date change to a LNP related
disconnect scheduled during quiet periods up to 12:00 noon Mountain Time the
Day prior to the scheduled LSR Due Date. Such changes shall be requested by
issuing a supplemental LSR requesting a Due Date change. Such changes shall
be handled as emergency orders by Qwest.
12.24.CLEC may request a Due Date change to a LNP related
disconnect order scheduled during quiet periods after 12:00 noon Mountain Time
the Day prior to the scheduled LSR Due Date until 12 noon Mountain Time the
Day after the scheduled LSR Due Date. Such changes shall be requested by
issuing a supplemental LSR requesting a Due Date change and contacting the
. Interconnect Service Center. Such changes shall be handled as emergency
orders by Qwest.
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Section 12
Access to Operational Support Systems (aSS)
12.24.In the event that CLEC End User Customer service is
disconnected if) error, Qwest will restore service in substantially the same time
and manner as Qwest does for itself, its End User Customers, its Affiliates, or
any other party. Restoration of CLEC End User Customer service will be
handled through the LNP escalations process.
12.24.Switch Upgrades. Generic Switch software and hardware upgrades are
not subject to the Switch conversion embargoes or quiet periods described above.
such generic Switch or software upgrades require significant activity related to
translations , an abbreviated embargo and/or quiet period may be required. Qwest shall
implement service order embargoes and/or quiet periods during Switch upgrades in
substantially the same time and manner as Qwest does for itself, its End User
Customers, its Affiliates, and any other party.
12.24.Switch Line and Trunk Hardware Additions. Qwest shall use its best
efforts to minimize CLEC service order impacts due to hardware additions and
modifications to Qwest's existing Switches. Qwest shall provide CLEC substantially the
same service order processing capabilities as Qwest provides itself, its End User
Customers, Affiliates, or any other party during such Switch hardware additions.
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Section 13
Access to Telephone Numbers
Section 13.0 - ACCESS TO TELEPHONE NUMBERS
13.Nothing in this Agreement shall be construed in any manner to limit or otherwise
adversely impact either Party's right to request an assignment of any NANP number resources
including, but not limited to , Central Office (NXX) Codes pursuant to the Central Office Code
Assignment Guidelines published by the Industry Numbering Committee (INC) as INC 95-0407-
008 (formerly ICCF 93-0729-Q10) and Thousand Block (NXX-X) Pooling Administration
Guidelines INC 99-0127-023, when these Guidelines are implemented by the FCC
Commission Order. The latest version of the Guidelines will be considered the current
standard.
13.North American Numbering Plan Administration (NANPA) has transitioned to
NeuStar. Both Parties agree to comply with industry guidelines and Commission rules
including those sections requiring the accurate reporting of data to the NANPA.
13.It shall be the responsibility of each Party to program and update its own
Switches and network systems pursuant to the Local Exchange Routing Guide (LERG) to
recognize and route traffic to the other Party s assigned NXX or NXX-X codes. Neither Party
shall impose any fees or charges on the other Party for such activities. The Parties will
cooperate to establish procedures to ensure the timely activation of NXX assignments in their
respective networks.13.4 Each Party is responsible for administering numbering resources assigned to it.
Each Party will cooperate to timely rectify inaccuracies in its LERG data. Each Party is
responsible for updating the LERG data for NXX codes assigned to its End Office Switches.
Each Party shall use the LERG published by Telcordia or its successor for obtaining routing
information and shall provide through an authorized LERG input agent, all required information
regarding its network for maintaining the LERG in a timely manner.
13.Each Party shall be responsible for notifying its End User Customers of any
changes in numbering or dialing arrangements to include changes such as the introduction of
new NPAs.
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Section 14
Local Dialing Parity
Section 14.0 - LOCAL DIALING PARITY
14.The Parties shall provide local Dialing Parity to each other as required under
Section 251 (b )(3) of the Act. Qwest will provide local Dialing Parity to competing providers of
Telephone Exchange Service and telephone toll service, and will permit all such providers to
have non-discriminatory access to telephone numbers, operator services, Directory Assistance
and Directory Listings , with no unreasonable dialing delays. CLEC may elect to route all of its
End User Customers' calls in the same manner as Qwest routes its End User Customers' calls
for a given call type (e., 0 , 0+411).
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Section 15
Owest's Official Directory Publisher
Section 15.0 - QWEST'S OFFICIAL DIRECTORY PUBLISHER
15.Qwest and CLEC agree that certain issues outside the provision of basic white page
Directory Listings, such as yellow pages advertising, yellow pages Listings, directory coverage
access to call guide pages (phone service pages), applicable Listings criteria , white page
enhancements and publication schedules will be the subject of negotiations between CLEC and
directory publishers, including Qwest's Official Directory Publisher. Qwest acknowledges that
CLEC may request Qwest to facilitate discussions between CLEC and Qwest's Official Directory
Publisher.
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Section 16
Referral Announcement
Section 16.0 - REFERRAL ANNOUNCEMENT
16.When an End User Customer changes from Qwest to CLEC , or from CLEC to
Qwest, and does not retain its original main/listed telephone number, the Party formerly
providing service to the End User Customer will provide a transfer of service announcement on
the abandoned telephone number. Each Party will provide this referral service consistent with
its tariff. This announcement will provide details on the new number that must be dialed to
reach the End User Customer.
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Section 17
Bona Fide Request Process
Section 17.0 - BONA FIDE REQUEST PROCESS
17.Any request for Interconnection or access to an Unbundled Network Element or
ancillary service that is not already available as described in other sections of this Agreement
including but not limited to Exhibit F or any other interconnection agreement, Tariff or otherwise
defined by Qwest as a product or service shall be treated as a Bona Fide Request (BFR).
Qwest shall use the BFR Process to determine the terms and timetable for providing the
requested Interconnection, access to UNEs or ancillary services, and the technical feasibility of
new/different points of Interconnection. Qwest will administer the BFR Process in a non-
discriminatory manner.17.2 A BFR shall be submitted in writing and on the appropriate Qwest form for BFRs.
CLEC and Qwest may work together to prepare the BFR form and either Party may request that
such coordination be handled on an expedited basis. This form shall be accompanied by the
processing fee specified in Exhibit A of this Agreement. Qwest will refund one-half (1/2) of the
processing fee if the BFR is cancelled within ten (10) business days of the receipt of the BFR
form. The form will request, and CLEC will need to provide, the following information , and may
also provide any additional information that may be reasonably necessary in describing and
analyzing CLEC's request:
17.technical description of each requested Network Element or
new/different points of Interconnection or ancillary services;
17.the desired interface specification;
17.each requested type of Interconnection or access;
17.2.4 a statement that the Interconnection or Network Element or ancillary
service will be used to provide a Telecommunications Service;
17.the quantity requested; and
17.the specific location requested.
17.Within two (2) business days of its receipt, Qwest shall acknowledge receipt of the
BFR and in such acknowledgment advise CLEC of missing information, if any, necessary to
process the BFR. Thereafter, Qwest shall promptly advise CLEC of the need for any additional
information required to complete the analysis of the BFR. If requested , either orally or in writing,
Qwest will provide weekly updates on the status of the BFR.17.4 Within twenty-one (21) calendar Days of its receipt of the BFR and all information
necessary to process it, Qwest shall provide to CLEC an analysis of the BFR. The analysis
shall specify Qwest's conclusions as to whether or not the requested Interconnection or access
to an Unbundled Network Element complies with the unbundling requirements of the Act or
state law.
17.If Qwest determines during the twenty-one (21) Day period that a BFR does not
qualify as an Unbundled Network Element or Interconnection or ancillary service that is required
to be provided under the Act or state law, Qwest shall advise CLEC as soon as reasonably
possible of that fact, and Qwest shall promptly, but in no case later than the twenty-one (21)
Day period, provide a written report setting forth the basis for its conclusion.
17.If Qwest determines during such twenty-one (21) Day period that the BFR
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Section 17
Bona Fide Request Process
qualifies under the Act or state law, it shall notify CLEC in writing of such determination within
ten (10) calendar Days, but in no case later than the end of such twenty-one (21) Day period.
17.As soon as feasible, but in any case within forty-five (45) calendar Days after
Qwest notifies CLEC that the BFR qualifies under the Act, Qwest shall provide to CLEC a BFR
quote. The BFR quote will include, at a minimum, a description of each Interconnection
Network Element, and ancillary service , the quantity to be provided, any interface specifications. and the applicable rates (recurring and nonrecurring) including the separately stated
development costs and construction charges of the Interconnection, Unbundled Network
Element or ancillary service and any minimum volume and term commitments required, and the
timeframes the request will be provisioned.
17.GLEC has sixty (60) business days upon receipt of the BFR quote, to either agree
to purchase under the quoted price, or cancel its BFR.
17.If CLEC has agreed to minimum volume and term commitments under the
preceding paragraph, CLEC may cancel the BFR or volume and term commitment at any time
but may be subject to termination liability assessment or minimum period charges.
17.10 If either Party believes that the other Party is not requesting, negotiating or
processing any BFR in good faith, or disputes a determination or quoted price or cost, it may
invoke the Dispute Resolution provision of this Agreement.
17.11 All time intervals within which a response is required from one Party to another
under this Section are maximum time intervals. Each Party agrees that it will provide all
responses to the other Party as soon as the Party has the information and analysis required to
respond, even if the time interval stated herein for a response is not over.
17.12 In the event CLEC has submitted a request for Interconnection , Unbundled
Network Elements or any combinations thereof, or ancillary services and Qwest determines in
accordance with the provisions of this Section 17 that the request is Technically Feasible
subsequent requests or orders for substantially similar types of Interconnection, Unbundled
Network Elements or combinations thereof or ancillary services by CLEC shall not be subject to
the BFR process. To the extent Qwest has deployed or denied a substantially similar
Interconnection, Unbundled Network Elements or combinations thereof or ancillary services
under a previous BFR, a subsequent BFR shall not be required and the BFR application fee
shall be refunded immediately. Qwest may only require CLEC to complete a New Product
Questionnaire before ordering such Interconnection, Unbundled Network Elements or
combinations thereof, or ancillary services. 1GB pricing and intervals will still apply for requests
that are not yet standard offerings. For purposes of this Section 17., a "substantially similar
request shall be one with substantially similar characteristics to a previous request with respect
to the information provided pursuant to Subsections 17.1 through 17.8 of Section 17.
above. The burden of proof is upon Qwest to prove the BFR is not substantially similar to a
previous BFR.
17 .13 The total cost charged to CLEC shall not exceed the BFR quoted price.
17.14 Upon request, Qwest shall provide CLEC with Qwest's supporting cost data
and/or studies for the Interconnection, Unbundled Network Element or ancillary service that
CLEC wishes to order within seven (7) business days, except where Qwest cannot obtain a
release from its vendors within seven (7) business days, in which case Qwest will make the data
available as soon as Qwest receives the vendor release. Such cost data shall be treated as
Confidential Information, if requested by Qwest under the non-disclosure sections of this
Agreement.
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Section 17
Bona Fide Request Process
17.15 Qwest will provide notice to CLECs of all BFRs which have been deployed or
denied , provided, however, that identifying information such as the name of the requesting
CLEC and the location of the request shall be removed. Qwest shall make available a topical
list of the BFRs that it has received from CLECs. The description of each item on that list shall
be sufficient to allow CLEC to understand the general nature of the product, service, or
combination thereof that has been requested and a summary of the disposition of the request as
soon as it is made. Qwest shall also be required upon the request of CLEC to provide sufficient
details about the terms and conditions of any granted requests to allow CLEC to take the same
offering under substantially identical circumstances. Qwest shall not be required to provide
information about the request initially made by CLEC whose BFR was granted , but must make
available the same kinds of information about what it offered in response to the BFR as it does
for other products or services available under this Agreement. CLEC shall be entitled to the
same offering terms and conditions made under any granted BFR , provided that Qwest may
require the use of 1GB pricing where it makes a demonstration to CLEC of the need therefor.
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Section 18
Audit Process
Section 18.0 - AUDIT PROCESS
18.Nothing in this Section 18 shall limit or expand the Audit provisions in the
Performance Assurance Plan (PAP). Nothing in the PAP shall limit or expand the Audit
provisions in this Section 18. For purposes of this section the following definitions shall apply:
18.1 "Audit" shall mean the comprehensive review .of the books, records, and other
documents used in the Billing process for services performed, including, without limitation
reciprocal compensation and facilities provided under this Agreement.
18.2 "Examination" shall mean an inquiry into a specific element or process related to
the above. Commencing on the Effective Date of this Agreement, either Party may perform
Examinations as either Party deems necessary.
18.This Audit shall take place under the following conditions:
18.Either Party may request to perform an Audit or Examination.
18.The Audit or Examination shall occur upon thirty (30) business days written
notice by the requesting Party to the non-requesting Party.
18.The Audit or Examination shall occur during normal business hours. However
such Audit will be conducted in a commercially reasonable manner and both Parties will work to
minimize disruption to the business operations of the Party being audited.
18.2.4 There shall be no more than two (2) Audits requested by each Party under this
Agreement in any twelve (12) month period. Either Party may audit the other Party's books
records and documents more frequently than twice in any twelve (12) month period (but no
more than once in each quarter) if the immediately preceding audit found previously uncorrected
net variances, inaccuracies or errors in invoices in the audited Party's favor with an aggregate
value of at least two percent (2%) of the amounts payable for the affected services during the
period covered by the Audit.
18.The requesting Party may review the non-requesting Party s records, books and
documents, as may reasonably contain information relevant to the operation of this Agreement.
18.The location of the Audit or Examination shall be the location where the
requested records , books and documents are retained in the normal course of business.
18.All transactions under this Agreement which are over twenty-four (24) months old
will be considered accepted and no longer subject to Audit. The Parties agree to retain records
of all transactions under this Agreement for at least twenty-four (24) months.
18.Audit or Examination Expenses
18.Each Party shall bear its own expenses in connection with conduct of the
Audit or Examination. The requesting Party will pay for the reasonable cost of special
data extractions required by the Party to conduct the Audit or Examination. For
purposes of this section , a "Special Data Extraction" means the creation of an output
record or informational report (from existing data files) that is not created in the normal
course of business. If any program is developed to the requesting Party s specification
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Section 18
Audit Process
and at that Party s expense, the requesting Party will specify at the time of request
whether the program is to be retained by the other Party for reuse for any subsequent
Audit or Examination.
18.Notwithstanding the foregoing, the non-requesting Party shall pay all of
the requesting Party s commercially reasonable expenses in the event an Audit or
Examination identifies a difference between the amount billed and the amount
determined by the Audit that exceeds five percent (5%) of the amount billed and results
in a refund and/or reduction in the Billing to the requesting Party.
18.The Party requesting the Audit may request that an Audit be conducted by a
mutually agreed-to independent auditor, which agreement will not be unreasonably withheld or
delayed by the non-requesting Party. Under this circumstance, the costs of the independent
auditor shall be paid for by the Party requesting the Audit subject to Section 18.
18.10 In the event that the non-requesting Party requests that the Audit be performed
by an independent auditor, the Parties shall mutually agree to the selection of the independent
auditor. Under this circumstance, the costs of the independent auditor shall be shared equally
by the Parties. The portion of this expense borne by the requesting Party shall be borne by the
non-requesting Party if the terms of Section 18.2 are satisfied.
18.11 Adjustments, credits or payments will be made and any corrective action must
commence within thirty (30) Days after the Parties' receipt of the final Audit report to
compensate for any errors and omissions which are disclosed by such Audit or Examination and
are agreed to by the Parties. The interest rate payable shall be in accordance with Commission
requirements. In the event that any of the following circumstances occur within thirty (30)
business days after completion of the Audit or Examination, they may be resolved at either
Party's election , pursuant to the Dispute Resolution Process; (i) errors detected by the Audit or
Examination have not been corrected; (H) adjustments, credits or payments due as a result of
the Audit or Examination have not been made , or (Hi) a dispute has arisen concerning the Audit
or Examination.
18.12 Neither the right to examine and Audit nor the right to receive an adjustment will
be affected by any statement to the contrary appearing on checks or otherwise.
18.13 This Section will survive expiration or termination of this Agreement for a period
of two (2) years after expiration or termination of the Agreement.
18.All information received or reviewed by the requesting Party or the independent
auditor in connection with the Audit is to be considered Proprietary Information as defined by
this Agreement in Section 5.16. The non-requesting Party reserves the right to require any non-
employee who is involved directly or indirectly in any Audit or the resolution of its findings as
described above to execute a nondisclosure agreement satisfactory to the non-requesting Party.
To the extent an Audit involves access to information of other competitors, CLEC and Qwest will
aggregate such competitors' data before rel ease to the other Party, to insure the protection of
the proprietary nature of information of other competitors. To the extent a competitor is an
Affiliate of the Party being audited (including itself and its subsidiaries), the Parties shall be
allowed to examine such Affiliate s disaggregated data, as required by reasonable needs of the
Audit. Information provided in an Audit or Examination may only be reviewed by individuals with
a need to know such information for purposes of this Section 18 and who are bound by the
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Section 18
Audit Process
nondisclosure obligations set forth in Section 5.16. In no case shall the Confidential Information
be shared with the Parties' retail marketing, sales or strategic planning.
18.Either Party may request an Audit of the other compliance with this
Agreement'measures and requirements applicable to limitations on the distribution
maintenance , and use of proprietary or other protected information that the requesting Party has
provided to the other. Those Audits shall not take place more frequently than once in every
three (3) years, unless cause is shown to support a specifically requested Audit that would
otherwise violate this frequency restriction. Examinations will not be permitted in connection
with investigating or testing such compliance. All those other provisions of this Section 18 that
are not inconsistent herewith shall apply, except that in the case of these Audits, the Party to be
audited may also request the use of an independent auditor.
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Section 19
Construction Charges
Section 19.0 - CONSTRUCTION CHARGES
19.All rates , charges and initial service periods specified in this Agreement
contemplate the provision of network Interconnection services and access to Unbundled Loops
or ancillary services to the extent existing facilities are available. Except for modifications to
existing facilities necessary to accommodate Interconnection and access to Unbundled Loops
or ancillary services specifically provided for in this Agreement, Qwest will consider requests to
build additional or further facilities for network Interconnection and access to Unbundled Loops
or ancillary servi~es, as described in the applicable section of this Agreement.
19.All necessary construction will be undertaken at the discretion of Qwest
consistent with budgetary responsibilities , consideration for the impact on the general body of
End User Customers and without discrimination among the various Carriers.
19.A quote for CLEC's portion of a specific job will be provided to CLEC. The quote
will be in writing and will be binding for ninety (90) business days after the issue date. When
accepted , CLEC will be billed the quoted price and construction will commence after receipt of
payment. If CLEC chooses not to have Qwest construct the facilities, Qwest reserves the right
to bill CLEC for the expense incurred for producing the engineered job design.19.4 In the event a construction charge is applicable, CLEC's service Application Date
will become the date upon which Qwest receives the required payment.
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Section 20
Service Performance
Section 20.0 - SERVICE PERFORMANCE
Performance Indicator Definitions (PIDs), in their current form as developed by the Regional
Oversight Committee, are included in Exhibit B of this Agreement. Subsequent changes to
these PIDs that are made by the Regional Oversight Committee shall be incorporated into
Exhibit B by reference. Modifications of PIDs that apply to the Qwest Performance Assurance
Plan (QPAP) shall be made in accordance with Section 16.0 of Exhibit K.
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Section 21
Network Standards
Section 21.0 - NETWORK STANDARDS
21.The Parties recognize that Qwest services and Network Elements have been
purchased and deployed, over time, to Telcordia and Qwest technical standards. Specification
of standards is built into the Qwest purchasing process, whereby vendors incorporate such
standards into the equipment Qwest purchases. Qwest supplements generally held industry
standards with Qwest Technical Publications.
21.The Parties recognize that equipment vendors may manufacture
Telecommunications equipment that does not fully incorporate and may differ from industry
standards at varying points in time (due to standards development processes and consensus)
and either Party may have such equipment in place within its network. Except where otherwise
explicitly stated within this Agreement, such equipment is acceptable to the Parties, provided
said equipment does not pose a security, service or safety hazard to Persons or property.
21.Generally accepted and developed industry standards which the Parties agree to
support include , but are not limited to:
21.Switching
GR-1428~CORE Common Channel Signaling Network Interface Specification (CCSNIS)
Supporting Toll Free Service
GR-1432-CORE CCSNIS Supporting TCAP
GR-317-CORE Call Control Using Integrated Services Network Digital User Part
(ISDNUP)
GR-905-CORE CCSNIS Supporting Network Interconnection, Message Transfer Part
(MTP), and ISUP
GR-1357-CORE Switched Fractional DS1
TR-TSY-000540 Tandem Supplement
GR-305-CORE
GR-1429-CORE CCSNIS Supporting Call Management Services
FR-64 LATA Switching System Generic Requirement (LSSGR)
GR-334-CORE Switched Access Service
TR-NWT-000335 Voice Grade Special Access Services
TR-TSY-000529 Public Safety LSSGR
TR-NWT -000505 LSSGR Call Processing
FR-NWT-0002710SSGR
TR-NWT-001156 OSSGR Operator Subsystem
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Section 21
Network Standards
SR-TSY-001171 Methods and Procedures for System Reliability Analysis
21.Transport
FR-440 Transport System Generic Requirements (TSGR)
TR-NWT-000499 (TSGR) Transport Systems Generic Requirements
GR-820-CORE Generic Transmission Surveillance; DS1 and DS3 Performance
GR-253-CORE Synchronous Optical Network Systems (SONET) Transport Systems:
Common Generic Criteria
TR-NWT-000507 LSSGR: Transmission
TR-NWT-000776 NID for ISDN Subscriber Access
GR-342-CORE High Capacity Digital Special Access Service
ST-TEC-000051 & 52 Telecommunications Transmission Engineering Handbooks
Volumes 1 & 2
ANSI T1.102-1993 Digital Hierarchy- Electrical Interface, Annex B
21.Loops
TR-NWT-000057 Functional Criteria for Digital Loop Carrier (lDLC) Systems
TR-NWT-000393 Generic Requirements for ISDN Basic Access Digital Subscriber Lines
GR-253-CORE SONET Transport Systems: Common Generic Criteria
TR-TSY-000673 Operations Interface for an IDLC System
GR-303-CORE Integrated Digital Loop Carrier System Generic Requirements
TR- TSY -000008 Digital Interface Between the SLC 96 Digital Loop Carrier System and aLocal Digital Switch
TA-TSY-000120 Subscriber Premises or Network Ground Wire
GR-49-CORE Generic Requirements for Outdoor Telephone Network Interface Devices
(NID)
TR-NWT-000937 Generic Requirements for Building Entrance Terminals
TR-NWT-0001 33 Generic Requirements for Network Inside Wiring
ANSI T1.417, Spectrum Management for Loop Transmission Systems
21.Local Number Portability
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Section 21
Network Standards
Number Portability Generic Switching and Signaling Requirements for Number
Portability, Issue 1., February 12 , 1996 (Editor - Lucent Technologies, Inc.
Generic Requirements for SCP Application and GTT Function for Number Portability,
Issue 0.95, Final Draft, September 4, 1996 (Editor - Ameritech Inc.
Generic Operator Services Switching Requirements for Number Portability, Issue 1.
Final Draft, April 12 , 1996 (Editor - Nortel);
ATIS, TRQ No., Technical Requirements for Number Port~bility Operator Services
Switching Systems, April 1999;
ATIS, TRQ No., Technical Requirements for Number Portability Switching Systems
April 1999;
ATIS , TRQ No., Technical Requirements for Number Portability Database and Global
Title Translation, April 1999;
FCC First Report and Order and Further Notice of Proposed Rulemaking; FCC 96-286;
CC Docket 95-116 , RM 8535; Released July 2, 1996;
FCC First Memorandum Opinion and Order on Reconsideration; FCC 97-74; CC Docket
95-116, RM 8535; Released March 11 , 1997.
FCC Second Report and Order, FCC 97-298; CC Docket 95-116, RM 8535; Released
August 18 1997.21.4 The Parties will cooperate in the development of national standards for
Interconnection elements as the competitive environment evolves. Recognizing that there are
no current national standards for Interconnection Network Elements, Qwest has developed its
own standards for some Network Elements. Details of these standards are documented in the
Qwest Technical Publications. Qwest Technical Publications have been developed to support
service offerings, inform End User Customers and suppliers, and promote engineering
consistency and deployment of developing technologies. Qwest provides all of its Technical
Publications at no charge via web site: http://www.qwest.com/techpub/.
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Section 22
Signature Page
Section 22.0 - SIGNATURE PAGE
By signing below, and in consideration of the mutual promises set forth herein, and other good
and valuable consideration, the Parties agree to abide by the terms and conditions set forth in
this Interconnection Agreement.
Qwest Corporation
~TU(
:~
Signature
Name Printed/Typed
L. 1. Christensen
Name Printed/Typed
Je~
Title
Director - Interconnection AQreements
Title
Ap..: J
~2~0
Date Date
s-Is-/oro
April 26 2006/ccd/NW Info NetllD
Owest Fourteen State Template, Version 2., April 4, 2006
Exhibit A
Idaho
EAS / Local Traffic Reciprocal
Compensation Election
Resale Wholesale Wholesale
Discount Discount
Percentage Percentage
Recurring Nonrecurring
Charges Charges
Wholesale Discount Rates
Southern Idaho
Basic Exchanoe Residential Line Service 18.25%18.25%
Basic Exchanae Business Line Service 18.25%18.25%
IntraLATA Toll 18.25%18.25%
1.4 Package / Special Services (e., Centrex, Discounted Line/Feature Packages 18.25%18.25%
ISDN, PBX-Trunks, DSS & VAS, Frame Relay Service, LAN, MegaBit and other
ACS)
Listinos, CO Features & Information Services 18.25%18.25%
Private Line 18.25%18.25%
Operator Services / Directorv Assistance OS/DA 18.25%18.25%
Volume Packaoed Services - Hiah Volume Customers 65%65%
Public Access Line (PAL) Service 00%00%
Northem Idaho
Basic Exchanoe Residential Line Service 19.37%19.37%
Basic Exchanae Business Line Service / PBX 19.37%19.37%
Intra LATA Toll 19.37%19.37%
2.4 Package / Special Services (e., Centrex, Discounted Line/Feature Packages 19.37%19.37%
ISDN, PBX-Trunks, DSS & VAS, Frame Relay Service, LAN, MegaBit and other
ACS)
Listinas, CO Features & Information Services 19.37%19.37%
1.2.Private Line 19.37%19.37%
Operator Services / Directorv Assistance (OS/DA\19.37%19.37%
Volume Packaaed Services - Hiah Volume Customers 87%87%
1.2.Public Access Line (PAll Service 00%00%
Customer Transfer Charae (CTC)
CTC for POTS Service
Manual
First Line $16.
Each Additional Line $2.
Mechanized
1.2.First Line $0.
Each Additional Line $0.
CTC for Private Line Transport Services
First Circuit $38.
Additional Circuit, per Circuit, same CSR $33.
CTC for Advanced Communications Services, per Circuit $46.
Interconnection
Entrance Facilities
Intentionallv Left Blank
DS1 $103.$208.
DS3 $524.$277.73
LIS EICT
PerDS1 $0.$0.
Per DS3 $0.$0.
Direct Trunked TransDort
Intentionallv Left Blank
DS1 fRecurrina Fixed Der Mi/e!
Over 0 to 8 Miles $37.$1.
Over 8 to 25 Miles $37.$1.
Over 25 to 50 Miles $37.$1.
2.4 Over 50 Miles $37.$1.
DS3 fRecurrina Fixed Der Mi/e!
Over 0 to 8 Miles $257.$19.48
Over 8 to 25 Miles $260.$24.
Owest Idaho TRRO Template Exhibit A Seventh Revision
February 28 2006 Page 1 of 16
Exhibit A
Idaho
Over 25 to 50 Miles $260.$26.
Over 50 Miles $259.$26.
MultiDlexino
7.4.DS1 to DSO $263.$193.
7.4.DS3 to DS1 $304.$193.
Trunk Nonrecurring Charges
Intentionallv Left Blank
DS1 Interface
First Trunk $229.40
Each Additional Trunk $5.46
DS3 Interface
First Trunk $235.
Each Additional Trunk $11.
Exchange Service lEAS/Local) Traffic
End Office Call Termination, per Minute of Use $0.001343
###
Tandem Switched Transport, per Minute of Use $0.000690
TandemTransmission, per Minute of Use (Recurrina Fixed Der Mile)
Over 0 to 8 Miles $0.0004564 $0.0000367
Over 8 to 25 Miles $0.0004564 $0.0000367
Over 25 to 50 Miles $0.0004564 $0.0000367
3.4 Over 50 Miles $0.0004260 $0.0000144
Local Traffic - FCC - ISP Rate CaDs
MOU as of June 14, 2003, rate in effect until further FCC action $0.0007
Miscellaneous Char!les
Expedite Charge (LIS Trunks)Owest's Idaho
Access Service
Catalog
8.2 Cancellation Charge (LIS Trunks)Owest's Idaho
Access Service
Catalog
Additional Testing (LIS Trunks)Owest's Idaho
Access Service
Catalog
Transit Traffic
Local Transit, per Minute of Use $0.0045
IntraLATA Transit Toll, per Minute of Use $0.0045
Intentionallv Left Blank
9.4 Cateoorv 11 Mechanized Record Charoe, per Record
9.4.Mechanized Transit Records $0.0025
9.4.2 Mechanized Access Records $0.0025
Intentionally Left Blank
Intra LATA Toll Traffic Owest's Idaho Owest's Idaho
Access Service Access Service
Catalog Catalog
Collocation
All Collocation
PlanninG and Enoineerino
Intentionallv Left Blank
Cable Auoment Quote Preparation Fee $1,284.
Entrance Facilitv
Standard Shared, per Fiber $5.44 $616.
Owest Idaho TRRO Template Exhibit A Seventh Revision
February 28, 2006 Page 2 of 16
Exhibit A
Idaho
Cross Connect, Der Fiber $5.$722.
ExDress, Der Cable $88.009.
Cable SDlicinQ
Fiber, oer Set-$399.
Per Fiber SDliced $37.
1.4 Power UsaQe
1.4.-48 Volt DC Power, Der AmDere, Der Month
1.4.Power Plant
Less Than 60 Amns $10.
1.4.1.2 Eaual To or Greater Than 60 AmDs $8.42
1.4.Power Usaae
Less Than or Eaual To 60 AmDs $2.47
1.4.Greater Than 60 AmDs $4.
AC Power Feed
AC Power Feed, Der AmD, Der Month
120V $16.
8.1.208 V, Sinale Phase $27.
208 V, Three Phase $48.
1.4 240 V, Sinale Phase $32.
240 V, Three Phase $55.
8.1.480 V, Three Phase $111.
AC Power Feed, Der Foot, Der Month
20 AmD, SinQle Phase $0.0084 $7.43
8.1.20 AmD, Three Phase $0.0105 $9.
30 AmD, SinQle Phase $0.0091 $8.
2.4 30 AmD, Three Phase $0.0125 $11.
8.1.40 AmD, SinQle Phase $0.0107 $9.43
40 AmD, Three Phase $0.0147 $12.
50 AmD, SinQle Phase $0.0127 $11.
50 AmD, Three Phase $0.0177 $15.
8.1.60 AmD, SinQle Phase $0.0144 $12.
8.1.60 AmD, Three Phase $0.0204 $17.
100 AmD, SinQle Phase $0.0178 $15.
100 AmD, Three Phase $0.0277 $24.44
InsDector Labor, Der Half Hour
ReQular Hours Rate $28.
8.1.After Hours Rate, minimum 3 Hours $37.
Channel Reaeneration
DS1 $0.$0.
DS3 $0.$0.
Collocation Terminations
Shared Access
8.1.DSO
Cable Placement, Der 100 Pair Block $0.2262 $208.
Cable Placement, Der Termination $0.0090 $4.
Cable, Der 100 Pair Block $0.3304 $304.
Cable, DerTermination $0.0066 $4.
Blocks, Der 100 Pair Block $0.5730 $528.42
Blocks, DerTermination $0.0115 $8.
Block Placement, Der 100 Pair Block $0.2381 $219.
Block Placement, DerTermination $0.0048 $3.
DS1
Cable Placement, Der 28 DS1s $0.4111 $362.
8.1.8.1.Cable Placement, DerTermination $0.0442 $38.
Cable, Der 28 DS1s $0.3993 $351.
Cable, DerTermination $0.0429 $37.
8.1.Panel, Der28 DS1s $0.2742 $241.
Panel, Der Termination $0.0330 $29.
Panel Placement, Der 28 DS1s $0.0847 $74.
Panel Placement, DerTermination $0.0091 $8.
DS3
Cable Placement, DerTermination $0.1521 $134.
Cable, Der Termination $0.2578 $227.
Panel! Connector, Der Termination $0.2625 $231.
Owest Idaho TRRO Template Exhibit A Seventh Revision
February 28, 2006 Page 3 of 16
Exhibit A
Idaho
8.1.8.1.3.4 Panel! Connector Placement, per Termination $0.0204 $18.
1.4 Fiber Tennination
8.1.Terminations, per 12 Fibers $26.513.
8.1.4.Additional Connector, if Applicable $0.47 $411.
1.4.Cable Rackino, Shared, per 12 Fibers $26.47
Cable Racking, Dedicated $1.$1,433.
8.1.Security Charqes
Per Emplovee, per Card $0.
Card Access, per Emplovee, per Central Office $7.
Composite Clock ! Central Office Synchronization
10.Synchronization - Composite Clock, per Port $7.44
Intentionally Left Blank
Space Availabilitv Charqe $313.
Collocation Space Reservation Fee Charge will be
25% of
Nonrecurring
Fee
Collocation Space Option Administration Fee 107.
Collocation Space Option Fee, per Square Foot $2.
Joint Inventorv Visit Fee, per Visit $1,610.
Intentionally Left Blank
8.1.18 Intentionally Left Blank
Intentionally Left Blank
Splitter Collocation
20.TIE Cable Reclassification ICB
20.Splitter Shelf Charqe $4.$503.
20.Enqineerinq $1,079.
1.20.4 Splitter TIE Cable Connections
20.4.Splitter in the Common Area - Data to 410 Block $3.$2,689.
20.4.Splitter in the Common Area - Data Direct to CLEC $3.$2,850.
20.4.Splitter on the IDF - Data to 410 Block $0.$834.
20.4.4 Splitter on the IDF - Data Direct to CLEC $1.$1,623.47
20.4.Splitter on the MDF - Data to 410 Block $0.$861.
20.4.Splitter on the MDF - Data Direct to CLEC $2.$1 922.42
20.Splitter Charqe ICB
Virtual Collocation
Plannina and Enaineerina
Quote Preparation Fee 146.41 B,7
8.2.Maintenance Labor, per Half Hour
Reaular Hours Rate $29.
8.2.After Haurs Rate $39.
Traininq Labar, per Half Hour
Reaular Hours Rate $29.
Bav Space
2.4.Equipment Bay, per Shelf $4.
Virtual Space Construction, Initial Bav Provided $20.$17,749.
Each Additional Bay Space $3.854.
2.4.Virtual Cable Rackina, per Shelf $0.44 $384.
Enaineerina Labor, per Half Hour
Reqular Hours Rate $32.
After Haurs Rate $43.
Qwest Idaho TRRO Template Exhibit A Seventh Revision
February 28, 2006 Page 4 of 16
Exhibit A
Idaho
Installation Labor, per Half Hour
Reoular Hours Rate $31.77
After Hours Rate $41.
Rent
Floor Space Lease, per Square Foot $2.
Rent, per Shelf $4.
8.2.Intentionally Left Blank
Power Plant
-48 Voll DC Power Cable, per Cable
20 Amp Power Feed $4.$3,985.
30 Amp Power Feed $5.$4,537.
40 Amp Power Feed $6.$5,480.42
1.4 60 Amp Power Feed $11.706.
8.2.100 Amp Power Feed $18.$16,370.
200 Amp Power Feed $34.$30,473.
300 Amp Power Feed $54.$47,917.
400 Amp Power Feed $77.23 $68,037.
Caaeless Physical Collocation
Planninq and Enqineerinq
Quote Preoaration Fee $3,146.41
Soace Construction and Site Preoaration
Site Preparation Fee ICB
2 Bays $23.$20,603.40
Intentionally Left Blank
2.4 Intentionally Left Blank
Space Construction for Each Additional Bay $3.24 854.
Ad.ustment for Sinqle Bay - Chanqe to Standard Desiqn ($3.854.
3.2.-48 Volt DC Power Cable, per Feed
20 Amp Power Feed $4.985.41
30 Amp Power Feed $5.$4,537.
40 Amp Power Feed $6.$5,480.42
7.4 60 Amp Power Feed $11.706.
100 Amp Power Feed $18.$16 370.
200 Amp Power Feed $34.$30,473.
300 Amp Power Feed $54.$47 917.
400 Amp Power Feed $77.23 $68 037.
Floor Soace Lease, per Square Foot $2.
Caaed Physical Collocation
8.4.Planninn and Enaineerina
8.4.1.1 Quote Preparation Fee $3,185.B,7
8.4.2 Space Construction and Site Preparation
8.4.Site Preparation Fee ICE
8.4.Intentionally Left Blank
8.4.Intentionally Left Blank
8.4.2.4 Space Construction
8.4.2.4.Cage: Up to 100 Sq. Ft.$38.$33,927.
2.4.Caqe: 101 to 200 So. Ft.$34.$30,113.
8.4.Cage: 201 to 300 Sq. Ft.$42.$37 154.
8.4.2.4.4 Cage: 301 to 400 Sq. Ft.$44.$38,922.
Intentionally Left Blank
-48 Volt DC Power Cable, per Feed
4.2.20 Amp Power Feed $5.954.
8.4.30 Amp Power Feed $6.$5,457.
8.4.40 Amp Power Feed.$7.$6,526.
8.4.6.4 60 Amp Power Feed $12.$10,772.
8.4.2.100 Amp Power Feed $19.$17 531.
8.4.200 Amo Power Feed $37.$32 634.
300 Amp Power Feed $58.$51,315.
400 Amp Power Feed $82.$72,861.
8.4.Space Construction - Fencing Credit
Caqe: UP to 100 Sa. Ft.($10.($5,723.
Caae: 101 to 200 Sq. Ft.($12.135.
Qwest Idaho TRRO Template Exhibit A Seventh Revision
February 28, 2006 Page 5 of 16
Exhibit A
Idaho
8.4.3.4 Cage: 301 to 400 Sa. Ft.($16.($8,851.
8.4.4 Floor Space Lease, per Square Foot $2.
Intentionallv Left Blank
8.4.Intentionallv Left Blank
8.4.Intentionallv Left Blank
Groundina
8.4.2/0AWG, per Foot $0.0097 $8.
8.4.8.2 1/0AWG, oerFoot $0.0170 $14.
8.4.4 / 0 AWG, per Foot $0.0200 $17.
8.4 350 kcrnil, per Foot $0.0258 $22.
8.4.500 kcrnil, per Foot $0.0299 $26.
8.4.750 kcrnil, per Foot $0.0456 $40.
Adjacent Collocation ICB
Remote Collocation
Phvsical & Virtual Remote Collocation
Space, per Standard Mountina Unit $0.$665.47
FDI Terminations, oer 25 Pair $0.$484.
Power Usage
8.6.Less Than or Equal To 60 Amps, per Amp (uses rate from $2.47
1.4.
1.4 Quote Preparation Fee $1,064.
Ad.acent Remote Collocation
Adjacent Remote Collocation (New)Under
Development
Adjacent Remote Collocation (Existing)Under
Development
Additional Virtual Remote Collocation Elements
Flat Charge, per Job $36.
Engineering Rate, per Half Hour $35.
Maintenance, per Half Hour $29.40
3.4 Installation, per Half Hour $29.40
Trainina, per Half Hour $29.40
CLEC to CLEC
Desian Enaineering & Installation
Flat Charge (Desian Enaineerina - No Cables)$634.
Fiber Flat Charge 229.
Cable Racking
DSO, per Foat, per Cable $0.11648
DS1 , per Foat, per Cable $0.13075
DS3, per Foat, per Cable $0.10234
Fiber, per Foat, per Fiber $0.93313
Virtual Connections (if Applicable - Connections Onlv; No Cables)
DSO, per 100 Connections $194.
DS1, per 28 Connections $91.
DS3, per 1 Connection $5.
3.4 Fiber Connections, per Fiber Spliced $37.
Cable Hole, if Applicable $386.
CLEC to CLEC Cross-Connection $201.
Interconnection Distribution Frame (lCDF) Collocation
Quote Preparation Fee (uses rate from 8.$1,264.
8.2 DSO Circuit, per 200 Legs $17.$2,171.
DS1 Circuit, per Two Leas $1.$369.
DS3 Circuit, per Two Legs $8.182.
Fiber Circuit, per Two Leas $2.$236.
Application to Request Cancellation QPF. Prorated
Job Costs
Qwestldaho TRRO Template Exhibit A Seventh Revision
February 28,2006 Page 6 of 16
Exhibit A
Idaho
Microwave Collocation Under
Development
Intentionallv left Blank
Facilitv Connected FC\ Collocation
12.FC Collocation Quote Preparation Fee, per Reauest ICB
12.FC Collocation Engineering Fee, per Job ICB
12.FC Collocation Copper Entrance Facility Charae, per 100 Pair ICB ICB
12.4 FC Collocation Fiber Entrance Facility Charge, per 12 Strands (uses rates from 8.$5.$616.
12.FC Collocation Tennination Block with Protectors Charoe, oer 100 Pairs ICB ICB
12.FC Collocation Tennination Panel Charge, per 12 Strands ICB ICB
8.12.FC Collocation DS1 Voltaae Isolation, per Pair ICB ICB
DC Power Reduction
13.Quote Preparation Fee $703.
13.Power Reduction less Than 60 Amos $494.
13.Power Reduction Eaual To 60 Amps $706.
13.4 Power Reduction Greater Than 60 Amps, per Amp $895.
13.Power On Off $621.09
13.Battery Distribution Fuse Board (BDFB) Rent $64.
Collocation Transfer of Responsibility
14.Wireline and Wireless local Interconnection Service Trunks
14.Per Trunk Group $32.
14.Per Facility Circuit $32.
14.Assessment Fee $1,036.
8.14.Network Svstems Administration Fee $1,586.
14.4 Unbundled loop, per Circuit $32.
14.Subloop and Shared Distribution looo, oer Circuit $32.
14.Shared loop, Line Splitting, and Line Partitioning, per Circuit $32.
14.Unbundled Dedicated Interoffice Transoort, per Circuit $32.
14.Enhanced Extended loop loop MuxCombination, per Circuit $32.
14.looo Solittina, oer Circuit $32.
14.Unbundled Dark Fiber, per Circuit $32.
Collocation Available Inventory
15.Standard Sites
15.Removal of Terminations
8.15.DSO, per 100 Tenninations
8.15.1.2 DS1, per Tennination
15.DS3, per Tennination
15.OCN, per 12 Fibers
15.Quote Preparation Fee (QPF)
15.1.2.Caaeless (uses rate from 8.146.41 B,7
15.Caaed (uses rate from 8.185.
15.Special Sites
15.Special Site Assessment Fee 051.
15.Network Svstems Assessment Fee 652.
15.Site Survev Fee $163.
15.Re-usable Elements ICB
Collocation Decommissionina fuses rates from 9.
16.Additional labor Other - (Optional Testina) Basic $27.
8.16.Additional labor Other - IOptional Testina\ Overtime $36.
16.Additional labor Other - (Optional TestinQ) Premium $46.
16.4 Additional Dispatch $87.
Joint Testina fuses rates from 8.
17.Set-Up Fee (price contains a one hour set-up fee)$58.
17.Test Time Fee, per Half Hour $29.
0 Unbundled Network Elements UNEsl
Interconnection Tie Pairs (lTP) - Per Tennination
DSO $0.
DS1 $1.
DS3 $14.
Unbundled lOODS
Analog loops See 9.
Owest Idaho TRRO Template Exhibit A Seventh Revision
February 28, 2006 Page 7 of 16
Exhibit A
Idaho
Wire Voice Grade Loop
Zone 1 $15.
Zone 2 $23.
9.2.Zone 3 $40.
Intentionallv Left Blank
Wire Voice Grade Looo
Zone 1 $30.
Zone 2 $46.
Zone 3 $79.47
Nonloaded Loops See 9.
Wire Nonloaded Looo
2.2.Zone 1 $15.
Zone 2 $23.
Zone 3 $40.
Intentionallv Left Blank
Wire Nonloaded Looo
Zone 1 $30.
Zone 2 $46.
Zone 3 $79.
Loop Unloadino $9.
Looo Conditionino $22.
Dioital Caoable Looos
Basic Rate ISDN' xDSL-1 Caoable' ADSL Compatible Loop See-9.
Zone 1 $15.
Zone 2 $23.
Zone 3 $40.
Intentionally Left Blank
DS1 Caoable Loop See-9.
Zone 1 $86.48
Zone 2 $86.46
Zone 3 $99.
3.4 DS3 Capable Loop See 9.
3.4.Zone 1 $941.
3.4.Zone 2 $955.
Zone 3 $1,264.
Intentionallv Left Blank
Wire Extension Technolooy $22.
Loop Installation Charges for 2 & 4-Wire Analog' Nonloaded, ADSL Compatible, ISDN BRI See 9.1 &
Caoable and xDSL - I Capable Looos where conditionino is not reQuired.
2.4.Basic Installation
First $11.
2.4.Each Additional $6.
2.4.Basic Installation with Performance Testino
2.4.First $17.
Each Additional $8.
2.4.Coordinated Installation with Cooperative Testing' Project Coordinated Installation
2.4.First $171.
Each Additional $94.
2.4.Coordinated Installation without Cooperative Testin9' Project Coordinated
Installation
4.4.First $59.
4.4.Each Additional $53.
2.4.Basic Installation with Cooperative Testing
First $142.
2.4.Each Additional !l:94.
Owest Idaho TRRO Template Exhibit A Seventh Revision
February 28, 2006 Page 8 of 16
Exhibit A
Idaho
DS1 Loop Installation Charaes See 9.
Basic Installation
First $128.
Each Additional $99.
Basic Installation with Performance Testina
First $279.
Each Additional $212.
Coordinated Installation with Cooperative Testing Project Coordinated Installation
First $316.
Each Additional $222.40
5.4 Coordinated Installation without Cooperative Testing Project Coordinated
Installation
5.4.First $135.
5.4.Each Additional $106.
Basic Installation with Cooperative Testina
First $272.
Each Additional $195.
DS3 Loop Installation Charaes See 9.
Basic Installation
First $128.
Each Additional $99.
Basic Installation with Performance Testina
First $279.
Each Additional $212.
Coordinated Installation with Cooperative Testing Project Coordinated Installation
First $316.
Each Additional $222.40
6.4 Coordinated Installation without Cooperative Testing Project Coordinated
Installation
6.4.First $135.
6.4.Each Additional $106.
Basic Installation with Cooperative Testina
First $272.
Each Additional $195.
9.2.Intentionally Left Blank
Private Line Special Access to Unbundled Loop Conversion (as is)$34.
Subloop
Wire Distribution Looo (Aoolies to both Analoo and Nonloaded Looos)
First $107.
Each Additional $29.
First & Each Additional 2-Wire Distribution Looo
Zone 1 $11.
Zone 2 $16.
Zone 3 $27.
Intentionallv Left Blank
Intra-Buildina Cable Loop, per Pair $0.
No Disoatch, First $51.
No Dispatch, Each Additional $21.
Disoatch, First $98.
Dispatch Each Additional $31.
Intentionally Left Blank
MTE Terminal Subloop Access
Sublooo MTE - POI Site InventorY, per Reauest $110.46
MTE - POI RearranQement of Facilities ICB
MTE - POI Construction of New SPOI ICB
Owest Idaho TRRO Template Exhibit A Seventh Revision
February 28, 2006 Page 9 of 16
Exhibit A
Idaho
Intentionally Left Blank
Field Connection Point (FCP)
Feasibilitv Fee' Quote Preoaration Fee 197.
FCP Set-Up, per Request $3.$3,291.
FCP Solicina, aer 25 Pairs $0.$13.
FCP Reclassification $463.
Shared Services
9.4.Intentionally Left Blank
9.4.Intentionally Left Blank
9.4.Loop SplittinQ $0.$33.
9.4.OSS, per Line, per Month $3.23
Network Interface Device (NIDI $0.$52.
Unbundled Dedicated Interoffice Transport UDIT
OSO VOlT (Recurrinq Fixed per Mile!$241.
Over 0 to 8 Miles $24.$0.
Over 8 to 25 Miles $24.$0.23
Over 25 to 50 Miles $24.$0.
1.4 Over 50 Miles $24.$0.
OS1 VOlT (Recurrinq Fixed per Mile!$284.
Over 0 to 8 Miles $36.43 $3.
Over 8 to 25 Miles $37.$3.
Over 25 to 50 Miles $39.$1.
Over 50 Miles $37.$0.
OS3 VOlT IRecurrinq Fixed per Mile!$284.
Over 0 to 8 Miles $238.$54.
Over 8 to 25 Miles $242.$16.
Over 25 to 50 Miles $223.$21.
Over 50 Miles $235.$14.
Intentionallv Left Blank
Intentionallv Left Blank
Intentionallv Left Blank
VOlT OSO Channel Performance
OSO VOlT Low Side Channelization $13.
Intentionallv Left Blank
Intentionallv Left Blank
Intentionallv Left Blank
VOlT RearranQement
11.OSO Sinale Office $164.40
11.OSO Dual Office $206.
11.Hiah Caoacitv SinaleOffice $221.
11.4 HiQh Capacitv Dual Office $249.
Private Line' Special Access ta VOlT Conversion (as is)$131.
Unbundled Dark Fiber (UDFI
Initial Records InquirY IIRI
R7.Simple $196.
Camalex $251.
Field Verification and Quate Preparation FVQP $907.
Enaineerina Verification $297.
UOF - Sinale Strand
UOF - Interoffice Facilitv (UOF-IOF) - SinQle Strand
7.4.Order Charae, per First Strand' Route' Order $492.
Qwest Idaho TRRO Template Exhibit A Seventh Revision
February 28, 2006 Page 10 of 16
Exhibit A
Idaho
7.4.Order Charae, Each Additional Strand Route Order $255.
Fiber Transoort, oer Strand Mile $50.
7.4.Termination, Fixed, oer Strand Office Termination $4.
7.4.Fiber Cross-Connect (Minimum of 2 Cross-Connects apply), per $2.$19.
Strand
UDF - oer Pair
UDF - Interoffice Facilitv (UDF-IOF) - per Pair
Order Charae, per First Pair Route Order $492.
Order Charae, Each Additional Pair Route Order $255.
Fiber Transport, per Pair Mile $66.
1.4 Termination, Fixed, per Pair Office Termination $7.
Fiber Cross-Connect (Minimum of 2 Cross-Connects apply), per Pair $4.43 $19.
Dark Fiber Splice $602.
UDF MTE Subloop ICB ICB
Intentionally left Blank
Intentionally left Blank
Intentionally left Blank
Intentionally left Blank
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Construction Charaes
19.ClEC Reauested UNE Construction (CRUNEC) - applies to Unbundled Dark Fiber, Unbundled
19.Records Quote Preparation Fee $347.46
19.Construction Quote Preparation Fee Under
Development
19.Construction of Network Capacity, Facilities or Space for Access to or use of UNEs ICB ICB
Miscellaneous Charaes
20.Additional Enaineerina, per Half Hour or fraction thereof
20.Additional Enaineerina - Basic $31.
20.Additional Enaineerina - Overtime $39.
20.Additional labor Installation, per Half Hour or fraction thereof
20.Additional labor Installation - Overtime $9.
20.Additional labor Installation - Premium $18.
20.Additional labor Other per Half Hour or fraction thereof
20.Additional labor Other - (Optional Testina) Basic $27.
20.Additional labor Other - (Optional Testina\ Overtime $36.
20.Additional labor Other - (Optional Testina) Premium $46.
20.4 Testina and Maintenance, per Half Hour or fraction thereof
20.4.Testina and Maintenance - Basic $29.40
20.4.Testina and Maintenance - Overtime $38.
20.4.Testina and Maintenance - Premium $49.
20.Maintenance of Service, per Half Hour or fraction thereof
20.Maintenance of Service - Basic $28.
20.Maintenance of Service - Overtime $36.
20.Maintenance of Service - Premium $46.
9.20.Additional Cooperative Acceptance Testin!!, per Half Hour or fraction thereof
Qwest Idaho TRRO Template Exhibit A Seventh Revision
February 28, 2006 Page 11 of 16
Exhibit A
Idaho
20.Additional Cooperative Acceptance Testing - Basic $29.40
20.Additional Cooperative Acceptance Testing - Overtime $39.
20.Additional Cooperative Acceptance Testing - Premium $49.
20.Nonscheduled Cooperative Testing, per Half Hour or fraction thereof
20.Nonscheduled Cooperative Testing - Basic $29.40
20.Nonscheduled Cooperative Testing - Overtime $39.
20.Nonscheduled Cooperative Testing - Premium $49.
20.Nonscheduled Manual TestinQ, per Half Hour or fraction thereof
20.Nonscheduled Manual Testing - Basic $29.40
9.20.8.2 Nonscheduled Manual TestinQ - Overtime $39.
20.Nonscheduled Manual Testing -Premium $49.
20.Intentionallv Left Blank
20.Intentionally Left Blank
20.Additional Dispatch $87.
20.Date Change $10.
20.Design Change $73.
20.Expedite Charge
20.14.DesiQned Services, per Day $200.
20.Cancellation Charge ICB
Channel Reaeneration
21.DS1 $0.$0.
21.DS3 $0.$0.
Intentionallv Left Blank
UNE Combinations
23.Intentionallv Left Blank
23.Intentionallv Left Blank
23.Intentionallv Left Blank
23.Intentionallv Left Blank
23.Intentionallv Left Blank
23.UNE Combinations - Loop Mux Combo (LMC)
23.Intentionally Left Blank
23.Loop Mux, 2-Wire AnalOQ
23.LMC 2-Wire Installation
23.First $225.
23.Each Additional $148.
23.6.2.Wire Analog Loop (uses rates from 9.
23.Zone 1 $15.
23.Zone 2 $23.
23.Zone 3 $40.
23.Loop Mux, 4-Wire AnalOQ
23.LMC 4-Wire Installation
23.First $225.
23.Each Additional $148.
23.Wire Analoa Loop (uses rates from 9.
23.Zone 1 $30.
23.Zone 2 $46.
23.Zone 3 $79.47
23.6.4 Loop Mux, DS1
23.LMC DS1 Loop Installation
23.First $285.
23.Each Additional $209.
23.6.4.DS1 Capable Loop (uses rates from 9.
23.Zone 1 $86.48
23.Zone 2 $86.46
23.6.4.Zone 3 $99.
Qwestldaho TRRO Template Exhibit A Seventh Revision
February 28, 2006 Page 12 of 16
Exhibit A
Idaho
9.23.Private Line / Special Access to LMC Conversion (as is)$34.
23.Intentionally Left Blank
23.DSO Channel Performance
23.Intentionally Left Blank
23.DS1/ DSO Low Side Channelization $7.47
23.LMC Rearranaement
9.23.DSO $130.
9.23.Hiah CaoacitY $148.
23.Enhanced Extended Looo (EEL
23.EEL Loop, DSO 2-Wire Analoa
23.EEL 2-Wire Loop Installation
23.First $245.
23.Each Additional $182.
23.Wire Analoa Loop (uses rates from 9.
23.1.2.Zone 1 $15.
23.Zone 2 $23.
23.1.2.3 Zone 3 $40.
23.EEL Loop, DSO 4-Wire Analoa
23.EEL 4-Wire Loop Installation
23.First $245.
23.1.2 Each Additional $182.
23.Wire Analoa Loop (uses rates from 9.
23.Zone 1 $30.
23.2.2.Zone 2 $46.
23.Zone 3 $79.47
23.EEL Loop, DS1
23.EEL DS1 Loop Installation
23.First $300.49
23.Each Additional $225.
23.DS1 Capable Loop (uses rates from 9.
23.3.2.Zone 1 $86.48
23.Zone 2 $86.46
9.23.Zone 3 $99.
23.7.4 EEL Looo, DS3
23.7.4.EEL DS3 Loop Installation
23.7.4.First $323.
23.7.4.Each Additional $248.
23.7.4.DS3 Capable Loop (uses rates from 9.
23.7.4.Zone 1 $941.
23.7.4.Zone 2 $955.
23.7.4.Zone 3 264.
23.Intentionally Left Blank
23.Private Line / Special Access to EEL Conversion (as is)$34.
23.EEL Rearranaement
23.DSO $130.
23.Hiah Capacity $148.
23.EEL Transport
23.DSO (Recurrina Fixed Der Mile) (uses rates from 9.
23.8.1.Over 0 to 8 Miles $24.$0.
23.Over 8 to 25 Miles $24.$0.
23.Over 25 to 50 Miles $24.$0.
23.1.4 Over 50 Miles $24.$0.
23.DS1 (Recurrina Fixed Der Mile) (uses rates from 9.
23.Over 0 to 8 Miles $36.43 $3.
23.Over 8 to 25 Miles $37.$3.
23.Over 25 to 50 Miles $39.$1.
23.2.4 Over 50 Miles $37.$0.
Owest Idaho TRRO Template Exhibit A Seventh Revision
February 28, 2006 Page 13 of 16
Exhibit A
Idaho
23.DS3 (Recurrinq Fixed !Jer Mile) (uses rates from 9.
23.Over 0 to 8 Miles $238.$54.
23.Over 8 to 25 Miles $242.$16.
23.Over 25 to 50 Miles $223.$21.
23.Over 50 Miles $235.$14.
23.Intentionallv Left Blank
23.EEL Multiplexino
23.10.DS1 to DSO $263.$246.
23.10.DS3 to DS1 $304.$246.
23.DSO Channel Performance
23.11.DSO Low Side Channelization $13.
23.11.DS11 DSO Low Side Channelization $7.47
10.0 Ancillarv Services
10.Local Number Portability
10.LNP Queries See FCC Tariff See FCC Tariff
#1 Section 13  Section 13 &
10.LNP Manaqed Cuts
10.Standard Manaoed Cuts, per Person, per Half Hour $26.
10.Overtime Manaqed Cuts, per Person, per Half Hour $34.
10.Premium Managed Cuts, per Person, per Half Hour $42.
10.911/E911
10.9111 E911 - CallinQ No Charoe No Charoe
10.Public Switch Automatic Location Identification (PS ALl) Service
10.Selective Routing (SR), per 100 Station Lines $4.$4.
10.Automatic Location Identification (All), per 100 Station Lines $4.$4.
10.2.2.Automatic Location Identification (All), Selective RoutinQ (SR), per 100 Station Lin $4.$4.
10.2.4 PS All Set-Up charoe 780.44
10.Control Office Incoming Trunk $1.$16.
10.Emergency Service Trunk Elements
10.DSO 2-Wire (uses rates from 9.23.
10.First $245.
10.Each Additional $182.
10.Wire Analoo Loop (uses rates from 9.
10.Zone 1 $15.
10.Zone 2 $23.
10.2.Zone 3 $40.
10.DSO 4-Wire (uses rates from 9.23.
10.First $245.
10.Each Additional $182.
10.Wire AnaloQ Loop (uses rates from 9.
10.Zone 1 $30.
10.Zone 2 $46.
10.Zone 3 $79.47
10.DSO Low Side Channelization (uses rates from 9.$13.
10.Transport at DSO Level (uses rates from 9.
10.3.4.DSO (Recurrinq Fixed !Jer Mile!
10.2.Over 0 to 8 Miles $24.$0.
10.3.4.Over 8 to 25 Miles $24.$0.
10.3.4.Over 25 to 50 Miles $24.$0.
10.1.4 Over 50 Miles $24.$0.
10.White Pages Directory Listings Facility Based Providers
10.Primarv Listino No Charoe No Charoe
10.Premium Privacy Listings General General
Exchange Tariff Exchange Tarift
Rate, Less Rate, Less
Wholesale Wholesale
Discount Discount
Qwest Idaho TRRO Template Exhibit A Seventh Revision
February 28, 2006 Page 14 of 16
Exhibit A
Idaho
10.Directorv Assistance Facilitv Based Providers
10.4.Local Directory Assistance, per Call
10.4.National Directory Assistance, per Call
10.4.Call BrandinQ, Set-Up and RecordinQ $35 000.
10.Loadina Brand, per Switch $500.
10.4.5 Call Completion / Call Completion Link, per Call
10.Directorv Assistance List Infonnation
10.Initial Database Load per Listina $0.025
10.5.2 Reload of Database, per Listina $0.020
10.Dailv Updates, per Listina $0.250
10.One-Time Set-Uo Fee $73.
10.Media CharQes for File Delivery
10.Electronic Transmission $0.0020
10.Toll and Assistance ODerator Services Facilitv Based Providers
10.Operator Assistance, per Call $0.
10.Busv Line Verify, per Call $0.
10.Busv Line Interrupt $0.
10.6.4 Call Brandina, Set-Up & Recordina $10,500.
10.LoadinQ Brand, per Switch $800.
10.Access to Poles Ducts Conduits and Riahts of Wav (ROWI
10.Pole Inauirv Fee, per Inquiry $341.
10.Innerduct Inauirv Fee, per Inquiry $233.
10.ROW Inquiry Fee, per Inquiry $378.87
10.7.4 ROW Document Preparation Fee $122.
10.Field Verification Fee, per Pole $20.48
10.Field Verification Fee, per Manhole $190.
10.Planner Verification, per Manhole $16.
10.Manhole Verification Inspector, per Manhole $92.
10.Manhole Make-Readv Inspector, per Manhole $245.
10.Transfer of Responsibility $106.
10.Pole Attachment Fee, per Foot, per Year $2.
10.Innerduct OccupancY Fee, per Foot, per Year $0.
10.12.Microduct Occupancy Fee, per Micraduct, per Foot, per Year $0.4027
10.Access AQreement Consideration $10.
10.Make Readv ICB
12.0 ODerational SUDDort Svstems
12.Development and Enhancements, per Order $5.
12.Onaoina Maintenance, per Order $1.40
12.Dailv Usaae Record File, Der Record $0.000419
12.Trouble Isolation Charae See 9.
17.0 Bona Fide Reauest Process
17.ProcessinQ Fee 851.
NOTES:
Unless otherwise indicated, all rates are pursuant to Idaho Public Utilities Commission Dockets:
A AT&T Arbitration Docket USW-96-15, Order No 27738, effective September 17 1998.
B Cost Docket QWE-01-, Order Na. 29408 (January 5 2004) rates effective January 5, 2004.
# Voluntary Rate Reduction, Docket USW-00-3, effective 6/10/02. Reductions reflected in the 5/24/02 Exhibit A.
## Second Voluntary Rate Reduction, Docket USW-00-, effective 6/7/02. Reductions reflected in the 7/10/02 Exhibit A.
### Third Voluntary Rate Reduction, Docket USW-00-, effective 12/16/02, Reductions reflected in the 10/16/02 Exhibit A
(1) TELRIC rates proposed in Cost Docket QWE-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.
(2) Market-based rates.
(3)ICB, Individual Case Basis pricing.
(4) The State of Idaho has retained the oversight on these rates. These rates are not under the jurisdiction of the FCC.
(5) FCC ordered rates pursuant to the FCC's Order on Remand and Report and Order (Intercarrier Compensation far ISP-Bound Traffic) CC Docket 01-131 (FCC
ISP Order), effective June 14, 2001.
(6) Effective August 1, 2003, Qwest will no longer bill the recurring and nonrecurring charges for Channel Regeneration. Qwest reserves the right to revert back to
the contractual rate only after appropriate notice is given.
Qwest Idaho TRRO Template Exhibit A Seventh Revision
February 28, 2006 Page 15 of 16
Exhibit A
Idaho
(71 The preliminary Quote Preparation Fees (OPF) are included in the space construction charges. Upon completion of the collocation construction, the OPF will
be credited to the final space construction charge for the virtual, caged or cageless collocation job. These engineering and planning charges are also included
in the Virtual, Caged and Cageless Quote Preparation Fees.
(8) Effective 11/04, Owest will no longer perform Bridge Tap and/or Load Coil Removal (Conditioning) to facilitate provisioning of its Owest Retail DSL offering. In
order to permit CLECs to provision their own xDSL Capable Loops, Owest in now re-instituting the charge to continue Conditioning for the 214-Wire Unbundled
Loop, ADSL Compatible Unbundled Loop, ISDN (BRI) Capable Unbundled Loop, xDSL-1 Capal;lle Unbundled Loop, Non-Commercial Line Sharing, Line
Splitting, Non-Commercial Shared Distribution Loop and Loop Splitting, effective 3/14/05. Owest can t bill the REC rate structure, but will bill customers the
lower of the two rates.
(9) Owest is voluntarily reducing this rate in order to keep rate relationship with the Fiber Transport .per Pair" rate element.
(10) Owest has not implemented this UNE rate or charge in its billing system but reserves the right to assess such a charge in the future.
(11) Uses the Shared Loop rate.
(12) Rates not addressed in Cost Docket (estimated TELRIC)
Owest Idaho TRRO Template Exhibit A Seventh Revision
February 28, 2006 Page 16 of 16
Qwest.
Spirit of Service
Service Performance Indicator Definitions (PID)
14-State 271 PID Version 8.
QWEST'S SERVICE PERFORMANCE INDICATOR DEFINITIONS (PID)
14-State 271 PID Version 8.
Introduction
Qwest will report performance results for the service performance indicators defined herein. Qwest will report
separate performance results associated with the services it provides to Competitive Local Exchange Carriers
(CLECs) in aggregate (except as noted herein), to CLECs individually and, as applicable, to Qwest's retail
customers in aggregate. Within these categories, performance results related to service provisioning and
repair will be reported for the products listed in each definition. ReportsJor CLECs individually will be subject
to agreements of confidentiality and/or nondisclosure.
The definitions in this version of the PID apply in the 14 states of Qwest's local service region: Arizona
Colorado , Idaho, Iowa, Minnesota, Montana, Nebraska, New Mexico, North Dakota, Oregon, South Dakota,
Utah, Washington and Wyoming. Individual state Performance Assurance Plans may specify and apply state
specific variations from the Performance Measure definitions and/or standards contained herein.
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page i
Qwest's Service Performance Indicator Definitions
Table of Contents
ELECTRONIC GATEWAY AVAILABILITY ...........................................................................
GA-1- Gateway Availability - IMA-GUI............................................................... ...............
GA-2 - Gateway Availability - IMA-EDI ..............................................................................
GA-3 - Gateway Availability - EB-TA ..................................................
,..............................
GA-4 - System Availability - EXACT .................................................................................
GA-6 - Gateway Availability - GUI -- Repair.......................................................................
GA-7 - Timely Outage Resolution following Software Releases.........................................
PRE-ORDER/ORDER .............. ................
............................................... ............ ...................
PO-1 - Pre-Order/Order Response Ti mes ..........................................................................
PO-2 - Electronic Flow-through ........................................................................................
PO-3 - LSR Rejection Notice Interval...............................................................................
PO-4 - LSRs Rejected ............. .........................................................................................
PO-5 - Firm Order Confirmations (FOCs) On Time ..........................................................
PO-6 - Work Completion Notification Timeliness ..............................................................
PO-7 - Billing Completion Notification Timeliness ............................................................
PO-8 - Jeopardy Notice Interval .......................................................................................
PO-9 - Timely Jeopardy Notices.......................................................................................
PO-15 - Number of Due Date Changes per Order ...........................................................
PO-16 - Timely Release Notifications......................................................................... ..
PO-19 - Stand-Alone Test Environment (SATE) Accuracy............................. ..................
PO-20 (Expanded) - Manual Service Order Accuracy ......................................................
ORDERING AND PROVISIONING ......................................................................................
OP-2 - Calls Answered within Twenty Seconds - Interconnect Provisioning Center........
OP-3 - Installation Commitments Met..............................................................................
OP-4 - Installation Interval........................................
,.......................................................
OP-5 - New Service Quality............................................................................
,.................
OP-6 - Delayed Days........................................................ ......
...................... ................. ...
OP-7 - Coordinated "Hot Cut" Interval- Unbundled Loop ................................................
OP-8 - Number Portability Timeliness............................................................................ ..
OP-13 - Coordinated Cuts On Time - Unbundled Loop ...................................................
OP-15 - Interval for Pending Orders Delayed Past Due Date...........................................
OP-17 - Timeliness of Disconnects associated with LNP Orders .....................................
MAINTENANCE AND REPAIR ...........................................................................................
MR-2 - Calls Answered within 20 Seconds - Interconnect Repair Center........................
MR-3 - Out of Service Cleared within 24 Hours............. ............... .......................".......... .
MR-4 - All Troubles Cleared within 48 hours ....................................................................
MR-5 - All Troubles Cleared within 4 hours ......................................................................
MR-6 - Mean Time to Restore ..................................................,.......................................
MR-7 - Repair Repeat Report Rate ..................................................................................
MR-8 - Trouble Rate..
......... ................ ....... ............. ..... ...... ......... ..............,.................. .....
MR-9 - Repair Appointments Met..................................................................................... 75
MR-10 - Customer and Non-Qwest Related Trouble Reports ..........................................
MR-11 - LNP Trouble Reports Cleared within 24 Hours...................................................
BI LLING ............... ............... ................. ............ ........ .........
....... ............. ...................... ..... ....
BI-1 - Time to Provide Recorded Usage Records ............................................................
Qwest Idaho SGA T Third Revision , Seventh Amended Exhibit B. November 30, 2004 Pageii
Table of Contents (continued)
BI-2 - Invoices Delivered within 10 Days ............................
:.............................................
BI-3 - Billing Accuracy - Adjustments for Errors ...............................................................
BI-4 - Billing Completeness ..............................................................................................
DATABASE UPDATES
.......................................................................................................
DB-1 - Time to Update Databases....................................................................................
DB-2 - Accurate Database Updates .................................................................................
DIRECTORY ASSISTANCE
................................................................................................
DA-1 - Speed of Answer - Directory Assistance ..............................................................
OPERATOR SERVICES
......................................................................................................
OS-1 - Speed of Answer - Operator Services ..................................................................
NETWORK PERFORMANCE..............................................................................................
NI-1 - Trunk Blocking........................................................................................................
NP-1 - NXX Code Activation........................................................................................... ..
COLLOCATION
...................................................................................................................
CP-1 - Collocation Completion Interval.............................................................................
CP-2 - Collocations Completed within Scheduled Intervals..............................................
CP-3 - Collocation Feasibility Study IntervaL.............
..................................."................ ..
CP-4 - Collocation Feasibility Study Commitments Met .................................................100
DEFINITION OF TERMS
...................................................................................................
101
GLOSSARY OF ACRONYMS
...........................................................................................
105
APPENDIX A .....................................................................................................................107
Feature Detail..................................................................................................................107
Owest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page iii
Electronic Gateway Availability
GA-1 - Gateway Availability - IMA-GUI
Purpose:
Evaluates the quality of CLEC access to the IMA-GUI electronic gateway and one associated system
focusinq on the extent they are actually available to CLECs.
Description:
GA-1A: Measures the availability of the IMA-GUI (Interconnect Mediated Access- Graphical User
Interface), and reports the percentage of Scheduled Availability Time the IMA-GUI interface is
available for view and/or input.
Scheduled Up Time hours for preorder, order, and provisioning transactions are based on the
currently published hours of availability found on the following website:
http://www .qwest. com/wholesa leI cmp/ossHou rs. htm
GA-1 D: Measures the availability of the SIA system, which facilitates access for the IMA-GUI interface
and the IMA-EDI interface (see GA-2), and reports the percentage of scheduled time the SIA
system is available. Scheduled availability times will be no less than the same hours as listed for
IMA-GUI and IMA-EDI.
Time Gateway is Available to CLECs is equal to Scheduled Availability Time minus Outage Time.
Scheduled Availability Time is equal to Scheduled Up Time minus Scheduled Down Time.
Scheduled Down Time is time identified and communicated that the interface is not available due to
maintenance and/or upgrade work. Notification of Scheduled Down Time for routine maintenance
and/or upgrade work will be provided no less than 48 hours in advance.
An outage is a critical or serious loss of functionality, attributable to the specified gateway or
component (Le., IMA-GUI, SIA), affecting Qwest's ability to serve its customers. An outage is
determined by Qwest technicians through the use of verifiable data, collected from the affected
customer(s) and/or from mechanized event management systems.
Reporting Period: One month Unit of Measure: Percent
Reporting Comparisons: CLEC aggregate Disaggregation Reporting: Region-wide level.
results Results will be reported as follows:
GA-1A IMA Graphical User Interface Gateway
GA-1D SIA system
Formula:
((Number of Hours and Minutes Gateway is Available to CLECs During Reporting Period) + (Number of
Hours and Minutes of Scheduled Availability Time During Reporting Period)) x 100
Exclusions: None
Product Reporting: None Standard:99.25 percent
Availability:Notes:
Available
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 1
GA-2 - Gateway Availability - IMA-EDI
Purpose:
Evaluates the quality of GLEG access to the IMA-EDI electronic gateway, focusing on the extent the
gateway is actually available to GLEGs.
Description:
Measures the availability of IMA-EDI (Interconnect Mediated Access - Electronic Data Interchange)
interface and reports the percentage of scheduled availability time the IMA-EDI Interface is available
for view and/or input All times during which the interface is scheduled to be operating during the
reporting period are measured.
Scheduled Up Time hours for IMA-EDI based on the currently published hours of availability found
on the following website: http://www.qwestcom/wholesale/cmp/ossHours.html. Time Gateway is
Available to GLEGs is equal to Scheduled Availability Time minus Outage Time.
Scheduled Availability Time is equal to Scheduled Up Time minus Scheduled Down Time.
Scheduled Down Time is time identified and communicated that the interface is not available due
to maintenance and/or upgrade work. Notification of Scheduled Down Time for routine
maintenance and/or upgrade work will be provided no less than 48 hours in advance.
An outage is a critical or serious loss offunctionality, attributable to the specified gateway or
component (Le., IMA-EDI), affecting Qwest's ability to serve its customers. An outage is
determined by Qwest technicians through the use of verifiable data, collected from the affected
customer(s) and/or from mechanized event management systems.
Reporting Period: One month Unit of Measure: Percent
Reporting Comparisons: GLEG Disaggregation Reporting: Region-wide level.
a!:1QreQate results (See GA-1D for reportinQ of SIA system availability.
Formula:
((Number of Hours and Minutes Gateway is Available to GLEGs During Reporting Period)
....
(Number
of Hours and Minutes of Scheduled Availability Time During Reporting Period) ) x 100
Exclusions: None
Product Reporting: None Standard:99.25 percent
Availability:Notes:
Available
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 2
GA-3 - Gateway Availability - EB-
Purpose:
Evaluates the quality of GLEG access to the EB-TA interface, focusing on the extent the gateway is
actually available to GLEGs.
Description:
Measures the availability of EB-TA (Electronic Bonding - Trouble Administration) interface and reports
the percentage of scheduled availability time the EB-TA Interface is available.
Scheduled Up Time hours are based on the currently published hours of availability found on the
following website: http://www.qwestcom/wholesale/cmp/ossHours.html.
Time Gateway is Available to GLEGs is equal to Scheduled Availability Time minus Outage Time.
Scheduled Availability Time is equal to Scheduled Up Time minus Scheduled Down Time.
Scheduled Down Time is time identified and communicated that the interface is not available due
to maintenance and/or upgrade work. Notification of Scheduled Down Time for routine
maintenance and/or upgrade work will be provided no less than 48 hours in advance.
An outage is a critical or serious loss of functionality, attributable to the specified gateway or
component (i.e., EB-TA), affecting Qwest's ability to serve its customers. An outage is determined
by Qwest technicians through the use of verifiable data, collected from the affected customer(s)
and/or from mechanized event manaqement systems.
Reporting Period: One month Unit of Measure: Percent
Reporting Comparisons: GLEG aggregate results Disaggregation Reporting: Region-wide level.
Formula:
((Number of Hours and Minutes Gateway is Available to GLEGs During Reporting Period) + (Number
of Hours and Minutes of Scheduled Availability During Reporting Period)) x 100
Exclusions: None
Product Reporting: None Standard:99.25 percent
Availability:Notes:
Available
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 3
GA-4 - System Availability - EXACT
Purpose:
Evaluates the quality of CLEC batch access to the EXACT electronic access service request system
focusinq on the extent the system is actually available to CLECs.
Description:
Measures the availability of EXACT system and reports the percentage of scheduled availability time
the EXACT system is available.
Scheduled Up Time hours are based on the currently published hours of availability found on the
following website: http://www.qwestcom/wholesale/cmp/ossHours.html.
Time System is Available to CLECs is equal to Scheduled Availability Time minus Outage Time.
Scheduled Availability Time is equal to Scheduled Up Time minus Scheduled Down Time.
Scheduled Down Time is time identified and communicated that the system is not available due to
maintenance and/or upgrade work. Notification of Scheduled Down Time for routine maintenance
and/or upgrade work will be provided no less than 48 hours in advance.
An outage is a critical or serious loss of functionality, attributable to the specified gateway or
component (Le., EXACT), affecting Qwest's ability to serve its customers. An outage is
determined by Qwest technicians through the use of verifiable data, collected from the affected
customer(s) and/or from mechanized event management systems.
Reporting Period: One month Unit of Measure: Percent
Reporting Comparisons: CLEC aggregate results Disaggregation Reporting: Region-wide level.
Formula:
((Number of Hours and Minutes EXACT is Available to CLECs During Reporting Period) + (Number of
Hours and Minutes of Scheduled Availability During Reporting Period)) x 100
Exclusions: None
Product Reporting: None Standard:99.25 percent
Availability:Notes:
Available
Qwest Idaho SGA T Third Revision, Seventh Amended. Exhibit B November 30, 2004 Page 4
GA-6 - Gateway Availability - GUI -- Repair
Purpose:
Evaluates the quality of CLEC access to the GUI Repair electronic gateway, focusing on the extent the
gateway is actually available to CLECs.
Description:
Measures the availability of the GUI (Graphical User Interface) repair electronic interface and reports
the percentage of scheduled availability time the interface is available for view and/or input All times
during which the interface is scheduled to be Qperating during the reporting period are measured.
Scheduled Up Time" hours are based on the currently published hours of availability found on the
following website: http://www.qwestcom/wholesale/cmp/ossHours.html.
Time Gateway is Available to CLECs is equal to Scheduled Availability Time minus Outage Time.
Scheduled Availability Time is equal to Scheduled Up Time minus Scheduled Down Time.
Scheduled Down Time is time identified and communicated that the interface is not available due
to maintenance and/or upgrade work. Notification of Scheduled Down Time for routine
maintenance and/or upgrade work will be provided no less than 48 hours in advance.
An outage is a critical or serious loss of functionality, attributable to the specified gateway or
component (Le., GUI-Repair), affecting Qwest's ability to serve its customers. An outage is
determined by Qwest technicians through the use of verifiable data, collected from the affected
customer(s) and/or from mechanized event management systems.
Reporting Period: One month Unit of Measure: Percent
Reporting Comparisons: CLEC Disaggregation Reporting: Region-wide level.
a~:mreqate results
Formula:
(Number of Hours and Minutes Gateway is Available to CLECs During Reporting Period -;- Number
Hours and Minutes of Scheduled Availability Time During Reporting Period) x 100
Exclusions: None
Product Reporting: None Standard:99.25 percent
Availability:Notes:
Available
Qwest Idaho SGA T Third Revision , Seventh Amended Exhibit B November 30, 2004 Page 5
GA-7 - Timely Outage Resolution following Software Releases
Purpose:
Measures the timeliness of resolution of gateway or system outages attributable to software releases for
specified OSS interfaces focusing on GLEe-affecting software releases involving the specified gateways
or systems.
Description:
Measures the percentage of gateway or system outages, which are attributable to OSS system
software releases and which occur within two weeks after the implementation of the OSS system
software releases, that are resolved NOTE 1 within 48 hours of detection by the Qwest monitoring group
or reporting by a GLEe/co-provider.
Includes software releases associated with the following OSS interfaces in Qwest: IMA-GUI, IMA-
ED!, and CEMR, Exchan~e Access , Control, & Tracking (EXACT)NOTE 2, Electronic Bonding- Trouble
Administration (EB -TA) OTE 3
An outage for this measurement is a critical or serious loss of functionality, attributable to the
specified gateway or component, affecting Qwest's ability to serve its customers or data loss NOTE 4 on
the Qwest side of the interface. An outage is determined by Qwest technicians through the use of
verifiable data, collected from the affected customer(s) and/or from mechanized event management
systems.
The outage resolution time interval considered in this measurement starts at the time Qwest's
monitoring group detects a failure, or at the date/time of the first transaction sent to Qwest that cannot
be processed (i.e. lost data), and ends with the time functionality is restored or the lost data is
recovered.
Reporting Period: Monthly Unit of Measure: Percent
Reporting Comparisons: CLEC Aggregate Disaggregation Reporting: Region-wide level.
Formula:
((Total outages detected within two weeks of a Software Release that are resolved within 48 hours of the
time Qwest detects the outage)..;. (Total number of outages detected within two weeks of Software
Releases resolved in the Reporting Period)) x 100
Exclusions:
Outages in releases prior to any CLEC migrating to the release.
Duplicate reports attributable to the same software defect.
Product Reporting: None Standards:
Volume = 1-20: 1 miss
Volume ~ 20:95%
Availability:Notes:
1. "Resolved" means that service is restored to the reporting CLEC, as
Available experienced by the CLEC.
2. EXACT is a Telecordia system. Only releases for changes initiated by
Qwest for hardware or connectivity will be included in this measurement.
3. Outages reported under EB-TA are the same as outages in MEDIACC.
4. For data loss to be considered for GA-, a functional acknowledgement
must have been provided for the data in question (e., EDI 997, LSR 10
or trouble ticket number).
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 6
Pre-Order/Order
PO-1 - Pre-Order/Order Response Times
Purpose:
Evaluates the timeliness of responses to specific preordering/ordering queries for CLECs through the use of
Qwest's Operational Support Systems (OSS). Qwest's ass are accessed through the specified gateway
interface.
Description:
PO-1A & PO-1B:
Measures the time interval between query and response for specified pre-order/order transactions through the
electronic interface.
. Measurements are made using a system that simulates the transactions of requesting pre-
ordering/ordering information from the underlying existing ass. These simulated transactions are made
through the operational production interfaces and existing systems in a manner that reflects, in a
statistically-valid manner, the transaction response times experienced by CLEC service representatives in
the reporting period.
. The time interval between query and response consists of the period from the time the transaction request
was "sent" to the time it is "received II via the gateway interface.
. A query is an individual request for the specified type of information.
PO-1C:
. Measures the percentage of all IRTM Queries measured by PO-1A & 1 B transmitted in the reporting
period that timeout before receiving a response.
PO-1D:
. Measures the average response time for a sampling of rejected queries across preorder transaction types.
The response time measured is the time between the issuance of a pre-ordering transaction and the
receipt of an error message associated with a "rejected query." A rejected query is a transaction that
cannot be. successfully processed due to the provision of incomplete or invalid information by the sender
which results in an error message back to the sender. NOTE 1
Reporting Period: One month Unit of Measure:
PO-, PO-, & PO-1D: Seconds
PO-1 C: Percent
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 7
PO-1 - Pre-Order/Order Response Times (continued)
Reporting
Comparisons:
CLEC aggregate.
Disaggregation Reporting: Region-wide level. Results are reported as follows:
PO-1A Pre-Order/Order Response Time for IMA-GUI
PO-1B Pre-Order/Order Response Time for IMA-EDI
Results are reported separately for each of the following transaction types: NOTE 2
1. Appointment Scheduling (Due Date Reservation, where appointment is required)2. Service Availability Information3. Facility Availability4. Street Address Validation
5. Customer Service. Records
6. Telephone Number
7. Loop Qualification Tools NOTE 3
8. Resale of Qwest DSL Qualification
9. Connecting Facility Assignment NOTE 4
10. Meet Point Inquiry NOTE 5
For PO-1A (transactions via IMA-GUI), in addition to reporting total response time
response times for each of the above transactions will be reported in two parts: (a) time
to access the request screen, and (b) time to receive the response for the specified
transaction. For PO-1A 6, Telephone Number, a third part (c) accept screen, will be
reported.
For PO-1B (transactions via IMA-EDI), requesUresponse will be reported as a combined
number.
PO-1C Results for PO-1C will be reported according to the gateway interface used:
1. Percent of Preorder Transactions that Timeout IMA-GUI2. Percent of Preorder Transactions that Timeout IMA-EDI
PO-1D Results.for PO-1D will be reported according to the gateway interface used:1. Rejected Response Times for IMA-GUI2. Rejected Response Times for IMA-EDI
Formula:
PO-1 A & PO-1 B = L((Query Response Date & Time) - (Query Submission Date & Time)) + (Number of
Queries Submitted in Reporting Period)
PO-
PO-
((Number of IRTM Queries measured by PO-1A & 1 B that Timeout before receiving
response) + (Number of IRTM Queries Transmitted in Reporting Period)) x 100
L((Rejected Query Response Date & Time) - (Query Submission Date & Time)) +
(Number of Rejected Query Transactions Simulated by IRTM)
Exclusions:
PO-1A & PO-1B:
Rejected requests/errors, and timed out transactions
PO-1 C:
Rejected requests and errors
PO-1 D:
Timed out transactions
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 8
PO-1 - Pre-Order/Order Response Times (continued)
Product Reporting: None Standards:
Total Response Time:
1. Appointment Scheduling2. Service Availability
Information3. Facility Availability4. Street Address Validation
5. Customer Service Records
6. Telephone Number
7. Loop Qualification ToolsNOT~3 .
8. Resale of Qwest DSL
Qualification
9. Connecting Facility
Assignment
10. Meet Point Inquiry
IMA-GUI
0::::10 seconds
0::::25 seconds
0::::25 seconds
0::::10 seconds
0::::12.5 seconds
0::::10 seconds
~ 20 seconds
~ 20 seconds
~ 25 seconds
~ 30 seconds
IMA-EDI
0::::10 seconds
0::::25 seconds
0::::25 seconds
0::::10 seconds
0::::12.5 seconds
0::::10 seconds
~ 20 seconds
~ 20 seconds
~ 25 seconds
~ 30 seconds
PO-1C-
PO-1 C-
PO-1D-1 & 2
Notes:1. Rejected query types used in PO-1 D are those developed for internal
Qwest diagnostic purposes.
2. As additional transactions, currently done manually, are mechanized,
they will be measured and added to or included in the above list of
transactions, as applicable.3. Results based on a weighted combination of ADSL Loop Qualification
and Raw Loop Data Tool.4. Results based on Connecting Facility Assignment by Unit Query.5. Results based on meet Point Query, POTS Splitter option for Shared
loops.
6. Times reflect non-complex services, including residential, simple
business, or POTS account. Does not include ADSL or accounts:::-25
lines.
7. Benchmark applies to response time only. Request time and Total
time will also be reported.
Availability:
Available
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004
Diagnostic
Page 9
PO-2 - Electronic Flow-through
Purpose:
Monitors the extent Qwest's processing of GLEG Local Service Requests (LSRs) is completely
electronic, focusing on the degree that electronically-transmitted LSRs flow directly to the service
order rocessor without human intervention or without manual ret in.
Description:
PO-2A - Measures the percentage of all electronic LSRs that flow from the specified electronic
gateway interface to the Service Order Processor (SOP) without any human intervention.
Includes all LSRs that are submitted electronically through the specified interface during the
reporting period, subject to exclusions specified below.
PO-2B - Measures the percentage of all flow-through-eligible LSRs NOTE 1 that flow from the specified
electronic gateway interface to the SOP without any human intervention.
Includes all flow-through-eligible LSRs that are submitted electronically through the specified
interface durin the re ortin eriod, sub'ect to exclusions s ecified below.
Reporting Period: One month Unit of Measure: Percent
Reporting Comparisons: GLEC
aggregate, individual GLEG
Disaggregation Reporting: Statewide level (per multi-
state system serving the state).
Results for PO-2A and PO-2B will be reported
according to the gateway interface* used to submit the
LSR:
LSRs received via IMA-GUI
LSRs received via IMA-EDI
GO also reports an aggregate of IMA-GUI and IMA-EDI
results.
Formula:
PO-2A = ((Number of Electronic LSRs that pass from the Gateway Interface to the SOP without
human intervention) -7- (Total Number of Electronic LSRs that pass through the Gateway
Interface)) x 100
PO-2B = ((Number of flow-through-eligible Electronic LSRs that actually pass from the Gateway
Interface to the SOP without human intervention) -7- (Number of flow-through-eligible
Electronic LSRs received through the Gateway Interface)) x 100
Exclusions:
Rejected LSRs and LSRs containing GLEG-caused non-fatal errors.
Non-electronic LSRs (e., via fax or courier).
Records with invalid product codes.
Records missing data essential to the calculation of the measurement per the PID.
Duplicate LSR numbers. (Exclusion to be eliminated upon implementation of IMA capability to
disallow duplicate LSR #'
Invalid starUsto dates/times.
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 10
PO-2 - Electronic Flow-through (continued)
Product Reporting:Standards:
Resale PO-2A:
Unbundled Loops (with or CO: CO PO-2B benchmarks minus 10 percent NOTE 2
without Local Number All Other States: Diagnostic
Portability)
PO-2B: NOTE 2Local Number Portability
UNE-P (POTS) and UNE-
(Centrex 21 )Resale:95%
Line Sharing Unbundled Loops:85%
LNP:95%
UNE-P (POTS & Centrex 21):95%
Line Sharinq:Diaqnostic NUIt:,j
Availability:Notes:
Available (except as The list of LSR types classified as eligible for flow through is contained in
follows):the "LSRs Eligible for Flow Through" matrix. This matrix also includes
availability for enhancements to flow through. Matrix will be distributed
Combined reporting through the CMP process.
of UNE-P (POTS)In Colorado the standard for PO-2 is considered met if the standard for
and UNE-P (Centrex either PO-2A or PO-2B is met. For both PO-2A and PO-, the
21) - beginning with benchmark percentages shown apply to the aggregations of PO-2A-1 and
Jul 04 data on the PO-2A-2 (Le., the combined PO-2A result) and of PO-2B-1 and PO-2B-
Aug 04 report.(Le., the combined PO-2B result).
The standard and future disaggregated reporting of the Line Sharing
Line Sharing -product is TBD, pending resolution of TRO issues.
beginning with Jul 04
data on the Aug 04
report
Qwest Idaho SGA T Third Revision , Seventh Amended Exhibit B November 30, 2004 Page 11
PO-3 - LSR Rejection Notice Interval
Purpose:
Monitors the timeliness with which Qwest notifies CLECs that electronic and manual LSRs were
rejected.
Description:
Measures the interval between the receipt of a Local Service Request (LSR) and the rejection of the
LSR for standard categories of errors/reasons.
Includes all LSRs submitted through the specified interface that are rejected during the reporting
period.
Standard reasons for rejections are: missing/incomplete/mismatching/unintelligible information
duplicate request or LSRlPON (purchase order number), no separate LSR for each account
telephone number affected, no valid contract, no valid end user verification, account not working in
Qwest territory, service-affecting order pending, request is outside established parameters for
service, and lack of CLEC response to Qwest question for clarification about the LSR.
Included in the interval is time required for efforts by Qwest to work with the CLEC to avoid the
necessity of rejecting the LSR.
. With hours: minutes reporting, hours counted are (1) business hours for manual rejects (involving
human intervention) and (2) published Gateway Availability hours for auto-rejects (involving no
human intervention). Business hours are defined as time during normal business hours of the
Wholesale Delivery Service Centers, except for PO-3C in which hours counted are workweek
clock hours. Gateway Availability hours are based on the currently published hours of availability
found on the followinQ website: http://www.qwestcom/wholesale/cmp/ossHours.html.
Reporting Period: One month Unit of Measure:
PO-3A-, PO-3B-1 & PO-3C - Hrs: Mins.
PO-3A-2 & PO-3B-2 - Mins: Secs.
. Disaggregation Reporting:
Results for this indicator are reported according to the gateway interface
used to submit the LSR:
. PO-3A-, LSRs received via IMA-GUI and rejected manually:
Statewide
. PO-3A -, LSRs received via IMA-GUI and auto-rejected: Region
wide
. PO-3B-, LSRs received via IMA-EDI and rejected manually:
Statewide
. PO-3B -, LSRs received via IMA-EDI and auto-rejected: Region
wide
. PO-, LSRs received via facsimile: Statewide
Reporting Comparisons:
CLEC aggregate and
individual CLEC results
Formula:
((Date and time of Rejection Notice transmittal) - (Date and time of LSR receipt)) + (Total number of
LSR Rejection Notifications)
Exclusions:
Records with invalid product codes.
Records missing data essential to the calculation of the measurement per the riD.
Duplicate LSR numbers. (Exclusion to be eliminated upon implementation of IMA capability to
disallow duplicate LSR #'
Invalid starUstoD dates/times.
Product Reporting: Not applicable (reported by
ordering interface).
Standards:
. PO-3A-1 and -3B-1: :::; 12 business hours
. PO-3A -2 and -3B -2: :::; 18 seconds
. PO-3C:
:::;
24 work week clock
hours
Availability:Notes:
Available
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 12
PO-4 - LSRs Rejected
Purpose:
Monitors the extent LSRs are rejected as a percentage of all LSRs to provide information to help
address potential issues that might be raised by the indicator of LSR rejection notice intervals.
Description:
Measures the percentage of LSRs rejected (returned to the CLEC) for standard categories of
errors/reasons.
Includes all LSRs submitted through the specified interface that are rejected or FOC'd during the
reporting period.
Standard reasons for rejections are: missing/incomplete/mismatching/unintelligible information;
duplicate request or LSR/PON (purchase order number); no separate LSR for each account
telephone number affected; no valid contract; no valid end user verification; account not working in
Qwest territory; service-affecting order pending; request is outside established parameters for
service; and lack of CLEC response to Qwest ( uestion for clarification about the LSR.
Reporting Period: One month Unit of Measure: Percent of LSRs
Reporting Comparisons: CLEC aggregate and
individual CLEC results
Disaggregation Reporting:
Results for this indicator are reported according to
the gateway interface used to submit the LSR:
PO-4A-1 LSRs received via IMA-GUI and
rejected manually - Region wide
PO-4A -2 LSRs received via IMA-GUI and
auto-rejected - Region wide
PO-4B-1 LSRs received via IMA-EDI and
rejected manually - Region wide
PO-4B -2 LSRs received via IMA-EDI and
auto-rejected - Region wide
PO-4C LSRs received via facsimile -
Statewide
Formula:
((Total number of LSRs rejected via the specified method in the reporting period) -;- (Total of all LSRs
that are received via the specified interface that were rejected or FOC'd in the reporting period)) x 100
Exclusions:
Records with invalid product codes.
Records missing data essential to the calculation of the measurement per the PID.
Duplicate LSR numbers. (Exclusion to be eliminated upon implementation of IMA capability to
disallow duplicate LSR #'
Invalid starUstop dates/times.
Product Reporting: Not applicable (reported by Standard: Diagnostic
orderinq interface).
Availability:Notes:
Available
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 13
PO-s - Firm Order Confirmations (FOCs) On Time
Purpose:
Monitors the timeliness with which Qwest returns Firm Order Confirmations (FOCs) to CLECs in
response to LSRs/ASRs received from CLECs, focusing on the degree to which FOCs are provided
within specified intervals.
Description:
Measures the percentage of Firm Order Confirmations (FOCs) that are provided to CLECs within the
intervals specified under "Standards" below for FOC notifications.
Includes all LSRs/ASRs that are submitted through the specified interface or in the specified
manner (i.e., facsimile) that receive an FOC during the reporting period , subject to exclusions
specified below. (Acknowledgments sent separately from an FOC (e., EDI 997 transactions are
not included.
For PO-, the interval measured is the period between the LSR received date/time (based on
scheduled up time) and Qwest's response with a FOC notification (notification date and time).
For PO-, 5C , and 5D, the interval measured is the period between the a lication date and time
as defined herein, and Qwest's response with a FOC notification (notification date and time).
. "
Fully electronic" LSRs are those (1) that are received via IMA-GUI or IMA-EDI , (2) that involve no
manual intervention, and (3) for which FOCs are provided mechanically to the CLEC. NOTE 2
. "
Electronic/manual" LSRs are received electronically via IMA-GUI or IMA-EDI and involve manual
processing.
. "
Manual" LSRs are received manually (via facsimile) and processed manually.
. ASRs are measured only in business da
. LSRs will be evaluated according to the FOC interval categories shown in the "Standards" section
below, based on the number of lines/services requested on the LSR or, where multiple LSRs from
the same CLEC are related , based on the combined number of lines/services requested on the
related LSRs.Reporting Period: One month
I Unit of Measure: PercentReporting Disaggregation Reporting: Statewide level (per multi-state system
Comparisons: CLEC serving the state).
aggregate and individual Results for this indicator are reported as follows:
CLEC results . PO-5A:FOCs provided for full electronic LSRs received via:
- PO-5A-1 IMA-GUI
- PO-5A-2 IMA-EDI
. PO-5B:FOCs provided for electronic/manual LSRs received via:
- PO-5B-1 IMA-GUI
- PO-5B-2 IMA-EDI
. PO-5C:FOCs provided for manual LSRs received via Facsimile.
. PO-5D: FOCs provided for ASRs requesting LIS Trunks.
* Each of the PO-, PO-5B and PO-5C measurements listed above
will be further disaggregated as follows:(a) FOCs provided for Resale services and UNE-(b) FOCs provided for Unbundled Loops and specified
Unbundled Network Elements(c) FOCs provided for LNP
Formula:
PO-5A = HCount of LSRs for which the original FOC's "(FOC Notification Date & Time) - (LSR received
date/time (based on scheduled up time))" is within 20 minutes) + (Total Number of original
FOC Notifications transmitted for the service category in the reporting periodH x 100
PO-, 5C, & 5D = HCount of LSRs/ASRs for which the original FOC's "(FOC Notification Date & Time)
- (Application Date & Time)" is within the intervals specified for the service category involved)
+ (Total Number of original FOC Notifications transmitted for the service category in thereporting periodH x 100
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 14
PO-5 - Firm Order Confirmations (FOCs) On Time (continued)
Exclusions:
LSRs/ASRs involving individual case basis (ICB) handling based on quantities of lines, as specified
in the "Standards" section below, or service/request types, deemed to be ects.
Hours on Weekends and holidays. (Except for PO-5A which only excludes hours outside the
scheduled up time).
LSRs with CLEC-requested FOC arrangements different from standard FOC arrangements.
Records with invalid product codes.
Records missing data essential to the calculation of the measurement per the PID. -
Duplicate LSR numbers. (Exclusion to be eliminated upon implementation of IMA capability to
disallow duplicate LSR #'
Invalid start/stop dates/times.
Additional PO-50 exclusion:
Records with invalid a lication or confirmation dates.
Product Reporting: Standards:
For PO-5A (all):
. For PO-5B (all):For PO-
, -
5B and
5C:
(a) Resale services
UNE-P (POTS)
and UNE-P Centrex
(b) Unbundled Loops
and specified
Unbundled Network
Elements.
(c) LNP
For PO-50: LIS
Trunks.
. For PO-5C (manual):
95% within 20 minutes
90% within standard FOC intervals
(specified below)
90% within standard FOC intervals
s ecified below PLUS 24 hours NOTE 3
85% within ei ht business da s
Standard FOC Intervals for PO-58 and PO-
Product Grou NOTE 1
Resale
Residence and Business POTS
ISDN-Basic
Conversion As Is
Adding/Changing features
Add primary directory listing to established loop
Add call appearance
Centrex Non-Design
with no Common Block Configuration
Centrex line feature chan es/adds/removals allLNP 1-24 linesUnbundled Loops 1-24 loops
2/4 Wire analog
DS3 Ca able
Sub-loop
included in Product Re ortin rou b
Line Sharing/Line Splitting/Loop Splitting
24 shared loops
included in Product Re ortin rou b
Unbundled Network Element-Platform (UNE-P POTS)
1 - 39 lines
FOC Interval
39 lines
10 lines
24 hours
19 lines
24 sub-loops
Qwest Idaho SGATThird Revision, Seventh Amended Exhibit B November 30,2004 Page 15
Resale
Centrex (including Centrex 21 , Non-design
Centrex 21 Basic ISDN, Centrex-Plus,
Centron , Centrex Primes) 1-10 lines
With Common Block Configuration required
Initial establishment of Centrex CMS services
Tie lines or NARs activity
Subsequent to initial Common Block
Station lines
Automatic Route Selection
Uniform Call Distribution
Additional numbers
UNE-P Centrex 1-10 lines
UNE-P Centrex 21 1-10 lines
Unbundled Loops with Facility Check(NOTE2 3) 1 - 24 loops
2/4 wire Non-loaded
ADSL compatible
ISDN capable
XDSL-I capable
DS1 capable
Resale
ISDN-PRI (Trunks)
For PO-5D:
LIS Trunks
Notes:
1. LSRs with quantities above the highest number specified for
each product type are considered ICB.
2. Unbundled Loop with Facility Check can be processed
electronically; however, because this category always carries a
72-hour FOC interval the FOC results for this product will
appear in PO-5B if received electronically or PO-5C if received
manually.
3. Unbundled Loop with Facility Check will not add an additional
24 hours to the 72-hour interval if the LSR is submitted
manually.
PO-5 - Firm Order Confirmations (FOCs) On Time (continued)
Resale
ISDN-Basic
Conversion As Specified
New Installs
Address Changes
Change to add Loop
ISDN-PRI (Facility)
PBX
DSO or Voice Grade Equivalent
DS1 Facility
DS3 Facility
LNP
Enhanced Extended Loops (EELs)
(included in Product Reporting group (b))~1 ~ ci~~
10 lines
24 trunks
25-49 lines
12 trunks
240 trunk circuits
Availability:
Available
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004
48 hours
72 hours
96 hours
8 business
days
Page 16
PO-6 - Work Completion Notification Timeliness
Purpose:
To evaluate the timeliness of Qwest issuing electronic notification at an LSR level to CLECs that
provisioning work on all service orders that comprise the CLEC LSR have been completed in the
Service Order Processor and the service is available to the customer.
Description:
PO-6A & 6B:
Includes all orders completed in the Qwest Service Order Processor that generate completion
notifications in the reporting period , subject to exclusions shown below.
The start time is the date/time when the last of the service orders that comprise the CLEC LSR is
posted as completed in the Service Order Processor.
The end time is when the electronic order completion notice is made available (IMA-GUI) NOTE 1 or
transmitted (IMA-EDI) to the CLEC via the ordering interface used to place the local service
request The notification is transmitted at an LSR level when all service orders that comprise the
CLEC LSR are complete.
With hours: minutes reporting, hours counted are during the published Gateway Availability hours.
Gateway Availability hours are based on the currently published hours of availability found on the
following website: http://www.qwestcom/wholesale/cmp/ossHours.html.
Reporting Period:
I Unit of Measure:One month PO-6A - 6B:Hrs:Mins
Reporting Disaggregation Reporting: Statewide level.
Comparisons: CLEC
aggregate and individual PO-6A Notices transmitted via IMA-GUI
CLEC results.PO-6B Notices transmitted via IMA-EDI
Formula:
For completion notifications qenerated from LSRs received via IMA-GUI:
PO-6A = 1:((Date and Time Completion Notification made available to CLEC) - (Date and Time the
last of the service orders that comprise the CLEC LSR is completed in the Service Order Processor)) +
(Number of completion notifications made available in reporting period)
For completion notifications qenerated from LSRs received via IMA-EDI:
PO-6B = 1:((Date and Time Completion Notification transmitted to CLEC) - (Date and Time the last of
the service orders that comprise the CLEC LSR is completed in the Service Order Processor.)) +
(Number of completion notifications transmitted in reporting period)
Exclusions:
PO-6A&6B:
Records with invalid completion dates.
LSRs submitted manually (e., via facsimile).
ASRs submitted via EXACT.
Product Reporting:Standard:
PO - 6A & 6B Aggregate reporting for all products ordered through 6 hours
IMA-GUI and, separately, IMA-EDI (see disaggregation reporting).
Availability:Notes:
Available The time a notice is "made available" via the IMA-GUI is the time Qwest stores
a status update related to the completion notice in the IMA Status Updates
database. When this occurs, the notice can be immediately viewed by the
CLEC using the Status Updates window or by using the LSR Notice Inquiry
function.
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 17
PO-7 - Billing Completion Notification Timeliness
Purpose:
To evaluate the timeliness with which electronic billing completion notifications are made available or
transmitted to CLECs, focusing on the percentage of notifications that are made available or
transmitted for CLECs or osted in the billin s stem for Owest retail within five business da s.
Description:
PO-7A & 7B:
This measurement includes all orders posted in the CRIS billing system for which billing completion
notices are made available or transmitted in the reporting period, subject to exclusions shown
below.
Intervals used in this measurement are from the time a service order is completed in the SOP to
the time billing completion for the order is made available or transmitted to the CLEC.
- The time a notice is "made available" via the IMA-GUI consists of the time Owest stores the
completion notice in the IMA Status Updates database. When this occurs, the notice can be
immediately viewed by the CLEC using the Status Updates window.
- The time a notice is "transmitted" via IMA-EDI consists of the time Owest actually transmits the
completion notice via IMA-EDI. Applicable only to those CLECs who are certified and setup to
receive the notices via IMA-EDI.
. The start time is when the completion of the service order is posted in the Owest SOP. The end
time is when, confirming that the order has been posted in the CRIS billing system, the electronic
billing completion notice is made available to the CLEC via the same ordering interface (IMA-GUI
or IMA-EDI) as used to submit the LSR.
Intervals counted in the numerator of these measurements are those that are five business days or
less.
PO-
This measurement includes all retail orders posted in the CRIS Billing system in the reporting
period , subject to exclusions shown below.
Intervals used in this measurement are from the time an order is completed in the SOP to the time
it is posted in the CRIS billing system.
. The start time is when the completion of the order is posted in the SOP. The end time is when the
order is posted in the CRIS billing system.
Intervals counted in the numerator of this measurement are those that are five business days or
less.
Reporting Period: One month Unit of Measure: Percent
Reporting Comparisons:
PO-7A and -7B: CLEC
aggregate and individual CLEC
results.
PO-7C: Owest retail results.
Formula:
For wholesale service orders Owest enerates for LSRs received via IMA:
PO-7A = (Number of electronic billing completion notices in the reporting period made available
within five business days of posting complete in the SOP) + (Total Number of electronic
billing completion notices made available during the reporting period)
(Number of electronic billing completion notices in the reporting period transmitted
within five business days of posting complete in the SOP) + (Total Number of electronic
billing completion notices transmitted during the reporting period)
Disaggregation Reporting: Statewide level.
. PO-7A Notices made available via IMA-GUI
. PO-7B Notices transmitted via IMA-EDI
. PO-7C Billing system posting completions for Owest Retail
PO-7B =
For service orders Owest enerates for retail customers Le.the retail analo ue for PO-7A & -
PO-7C = (Total number of retail service orders posted in the CRIS billing system in the reporting
period that were posted within 5 business days) + (Total number of retail service orders
osted in the CRIS billin s stem in the re ortin eriod
Owest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 18
PO-7 - Billing Completion Notification Timeliness (continued)
Exclusions:
PO-, 7B & 7C
Services that are not billed through CRIS, e.g. Resale Frame Relay.
Records with invalid completion dates.
PO-7A & 7B
LSRs submitted manually.
ASRs submitted via EXACT.
Product Reporting: .Standard:
Aggregate reporting for all products ordered through IMA-PO-7A and -7B: Parity with PO-
GUI and, separately, IMA-EDI (see disaggregation
reporting).
Availability:Notes:
Available
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 19
PO-8 - Jeopardy Notice Interval
Purpose:
Evaluates the timeliness of jeopardy notifications , focusing on how far in advance of original due dates
jeopardy notifications are provided to CLECs (regardless of whether the due date was actually
missed).
Description:
Measures the average time lapsed between the date the customer is first notified of an order jeopardy
event and the original due date of the order.
Includes all orders completed in the reporting period that received jeopardy notifications.
Reporting Period: One month Unit of Measure: Average Business days NUllo'
Reporting Comparisons: CLEC Disaggregation Reporting: Statewide level.
aggregate, individual CLEC and Owest (This measure is reported by jeopardy notification process
Retail results as used for the categories shown under Product
Reportinq.
Formula:
(L(Date of the original due date of orders completed in the reporting period that received jeopardy
notification - Date of the first jeopardy notification) + Total orders completed in the reporting period
that received jeopardy notification)
Exclusions:
Jeopardies done after the original due date is past.
Records involving official company services.
Records with invalid due dates or a lication dates.
Records with invalid completion dates.
Records with invalid product codes.
Records missinq data essential to the calculation of the measurement per the PID.
Product Reporting:Standards:
Non-Designed Services A Parity with Retail POTS
Unbundled Loops (with or without B Parity with Retail POTS
Number Portability)
LIS Trunks C Parity with Feature Group D (FGD) services
UNE-P (POTS)D Parity with Retail POTS
Availability:Notes:
Available 1. For PO-8A and -, Saturday is counted as a
business day for all non-dispatched orders for
Resale Residence, Resale Business, and UNE-
(POTS), as well as for the retail analogues
specified above as standards. For dispatched
orders for Resale Residence, Resale Business,
and UNE-P (POTS) and for all other products
reported under PO-8B and -8C, Saturday is
counted as a business day when the service order
is due on Saturday.
Owest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 20
PO-9 - Timely Jeopardy Notices
Purpose:
When original due dates are missed , measures the extent to which awest notifies customers in
advance of jeopardized due dates.
Description:
Measures the percentage of late orders for which advance jeopardy notification is provided.
Includes all inward orders (Change, New, and Transfer order types) assigned a due date by
awest and which are completed/closed in the reporting period that missed the original due date.
Change order types included in this measurement consist of all C orders representing inward
activity
Missed due date orders with jeopardy notifications provided on or after the original due date is
past will be counted in the denominator of the formula but will not be counted in the numerator.
Reporting Period: One month Unit of Measure: Percent
Reporting Comparisons: CLEC Disaggregation Reporting: Statewide level.
aggregate, individual CLEC and (This measure is reported by jeopardy notification process as
awest Retail results used for the cateQories shown under Product Reporting.
Formula:
((Total missed due date orders completed in the reporting period that received jeopardy notification in
advance of original due date) -;- (Total number of missed due date orders completed in the reporting
period)) x 100
Exclusions:
Orders missed for customer reasons.
Records with invalid product codes.
Records involving official company services.
Records with invalid due dates or a lication dates.
Records with invalid completion dates.
Records with invalid product codes.
Records missing data essential to the calculation of the measurement per the PID.
Product Reporting:Standards:
Non-Designed Services A Parity with Retail POTS
Unbundled Loops (with or without Number B Parity with Retail POTS
Portability)
LIS Trunks C Parity with Feature Group D (FGD) Services
UNE-P (POTS)D Parity with Retail POTS
Availability:Notes:
Available
. awest Idaho SGAT Third Revision , Seventh Amended Exhibit B November 30, 2004'Page 21
PO-15 - Number of Due Date Changes per Order
Purpose:
To evaluate the extent to which Qwest chanQes due dates on orders.
Description:
Measures the average number of Qwest due date changes per order.
Includes all inward orders (Change, New, and Transfer order types) that have been assigned a
due date in the reporting period subject to the exclusions below. Change order types for
additional lines consist of all "Cn orders representing inward activit
Counts all due date changes made for Qwest reasons following assignment of the original due
date.
Reporting Period: One month
I Unit of Measure: Average Number of
Due Date Changes
Reporting Comparisons:Disaggregation Reporting: Statewide level.
CLEC aggregate, individual CLEC , and Qwest
retail results.
Formula:
~(Count of Qwest due date changes on all orders) + (Total orders in reporting period)
Exclusions:
Customer requested due date changes.
Records Involving official company services.
Records with invalid due dates or a lication dates.
. Records with invalid product codes.
Records missing data essential to the calculation of the measurement per the PID.
Product Reporting:Standard:
None Diagnostic
Availability:Notes:
Available
Qwest Idaho SGA T Third Revision , Seventh Amended Exhibit B November 30, 2004 Page 22
PO-16- Timely Release Notifications
Purpose:
Measures the percent of release notifications for changes to specified ass interfaces sent by Owest to
CLECs within the intervals and scope specified within the change management plan found on Owest's
Chan e Mana ement Process, CMP website at htt :/Iwww. westcom/wholesale/cm /whatiscm .html.Description:
. Measures the percent of release notices that are sent by Owest within the intervals/timeframes
prescribed by the release notification procedure on Owest's CMP website. NOTE 1
Release notices measured are:
Draft Technical Specifications (for App to App interfaces only);
Final Technical Specifications (for App to App interfaces only);
Draft Release Notices (for IMA-GUI interfaces only);
Final Release Notices (for IMA-GUI interfaces only); and
- ass Interface Retirement Notices. NOTE 2
For the following ass interfaces:
IMA-GUI , IMA-EDI;
CEMR;
Exchange Access, Control, & Tracking (EXACT); NOTE 3
Electronic Bonding - Trouble Administration (EB -TA); NOTE 4
lABS and CRIS Summary Bill Outputs; NOTE 5
Loss and Completion Records; NOTE 5
New ass interfaces (for introduction notices only.) NOTE 6
Also included are notifications for connectivity or system function changes to Resale Product
Database.
Includes ass interface release notifications by Owest relating to the following products and
service categories: LIS/Interconnection, Collocation, Unbundled Network Elements (UN E),
Ancillary, and Resale Products and Services.
Includes ass interface release notifications by Qwest to CLECs for the following ass
functions: Pre-Ordering, Ordering, Provisioning, Repair and Maintenance, and Billing.
Includes Types of Changes as specified in the "Owest Wholesale Change Management
Process Document" (Section 4 - Types of Changes).
Includes all ass interface release notifications pertaining to the above ass systems, subject to
the exclusions specified below.
Release Notifications sent on or before the date required by the CMP are considered timely. A
release notification "sent date" is determined by the date of the e-mail sent by Owest that provides the
Release Notification. NOTE 7
Release Notifications sent after the date required by the (CMP) are considered untimely. Release
Notifications required but not sent are considered untimely.
Reporting Period: One month
Reporting Comparisons: CLEC Aggregate
Unit of Measure: Percent
Disaggregation Reporting: Region-wide level.
Formula:
((Number of required release notifications for specified ass interface changes made within the reporting
period that are sent on or before the date required by the change management plan (CMP) + Total
number of required release notifications for specified ass interface changes within reporting period))x100
Exclusions:
Changes to be implemented on an expedited basis (exception to ass notification intervals) as
mutually agreed upon by CLECs and Owest through the CMP.
Chan es where Owest and CLECs a ree, throu h the CMP, that notification is unnecessa
Owest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 23
PO-16 Timely Release Notifications (continued)
Product Reporting:None Standards:
Vol. 1-10:. No more than one
untimely notification
Vol. ;:. 10: 92.5% timely notifications
Availability:
Available
Notes:
1. The Qwest Wholesale Change Management Process Document specifies the
intervals for release notifications by type of notification. These intervals are
documented in the change management plan.
2. The documents described in section "0 - Retirement of Existing ass
Interfaces" of the "Qwest Wholesale Change Management Process Document"
as "Initial Retirement Notice" and "Final Retirement Notice.
3. EXACT is a Telecordia system. Only release notifications for changes initiated
by Qwest for hardware or connectivity will be included in this measurement.
4. EB-TA is the same system as MEDIACC.
5. CRIS, lABS, and Loss and Completions will adhere to the notification intervals
documented in section 8.1 - Changes to Existing Application to Application
Interface.
6. The documents described in section "0 -Introduction of New ass Interface" of
the "Qwest Wholesale Change Management Process Document" as "Initial
Release Announcement and Preliminary Implementation Plan" (new App to App
only), "'nitiallnterface Technical Specification " (new App to App only), "Final
Interface Technical Specifications (new App to App only), "Release Notification
(new GUI only). CMP notices for "Introduction of a New aSS" are to be included
in this measurement even though the new system is not explicitly listed in the
Description" section of this PID. However, once implemented, the system will
not be added to the measurement for purposes of measuring release, change
and retirement notifications unless specifically incorporated as an authorized
change to the PID.
7. The intervals used to determine timeliness are based on CMP guidelines.
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 24
PO-19 - Stand-Alone Test Environment (SATE) Accuracy
Purpose:
Evaluates Qwest's ability to provide accurate production-like tests to CLECs for testing new releases in
the SATE and production environments and testinq between releases in the SATE environment.
Description:
PO-19A
Measures the percentage of test transactions that conform to the test scenarios published in the IMA
EDI Data Document lor the Stand Alone Test Environment (SATE) that are successfully executed
in SATE at the time a new IMA Release is deployed to SATE. In months where no release activity
occurs, measures the percentage of test transactions that conform to the test scenarios published in
the current IMA EDI Data Document-for the Stand Alone Test Environment (SATE) that are
successfully executed in SATE during the between-releases monthly performance test.
Includes one test transaction for each test scenario published in the IMA EDI Data Document for
the Stand Alone Test Environment (SATE).
Test transactions will be executed for each of the IMA releases supported in SATE utilizing all test
scenarios for each of the current versions of the IMA EDI Data Document for the Stand Alone Test
Environment (SA TE).
The successful execution of a transaction is determined by the Qwest Test Engineer according to:
The expected results of the test scenario as described in the IMA EDI Data Document for the
Stand Alone Test Environment (SATE) and the EDldisciosure document.
The transactions strict adherence to business rules published in Qwest's most current IMA EDI
Disclosure Documentation for each release and the associated Addenda. NOTE 1
For this measurement, Qwest will execute the test transactions in the Stand-Alone Test Environment.
Release related test transactions will be executed when a full or point release of IMA is installed
in SATE. These transactions will be executed within five business da s of the numbered release
being originally installed in SATE. This five-business day period will be referred to as the "Testing
Window.
Mid-release monthly performance test transactions will be executed in the months when no
Testing Window for a release is completed. These transactions will be executed on the 15 , or
the nearest working day to the 15th of the month, in the months when no release related test
transactions are executed.
Test transaction results will be reported by release and included in the Reporting Period during which
the release transactions or mid-release test transactions are completed.
PO-19B
Validates the extent that SATE mirrors production by measuring the percentage of IMA EDI test
transactions that produce comparable results in SATE and in production.
Transactions counted as producing comparable results are those that return correctly formatted
data and fields as specified in the release s EDI disclosure document and developer worksheets
related to the IMA release being tested.
- Comparability will be determined by evaluating the data and fields in each EDI message for the
test transactions against the same data and fields for Preorder queries, LSRs, and
Supplementals, and returned as Query Responses, Acknowledgements, Firm Order
Confirmations (FOCs) for flow-through eligible products, and rejects.
Test transactions are executed one time for each new major IMA release within 7 days after the IMA
release.
Test transactions consist of a defined suite of ProducUActivity combinations. Qwest's three
regions will be represented. NOTE 2
- Pre-order, Order, and Post-order transactions (FOCs for flow-through products) are included.
With respect to the comparability of the structure and content of results from SATE and production
environments, this measurement focuses only on the validity of the structure and the validity of the
content, per developer worksheets and EID mapping examples distributed as part of release
notifications. NOTE 3
Reporting Period:
PO-19A -- One month
PO-19B: -- One month (for those months in
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004
Unit of Measure:Percent
Page 25
PO-19 Stand-Alone Test Environment (SATE) Accuracy (continued)
which.release-related test transactions are
completed)
Reporting Comparisons: None Disaggregation Reporting:
PO-19A - Reported separately for each release tested
in the reporting period
PO-19B -- None
Formula:
PO-19A
((Total number of successfully completed SATE test transactions executed for a Software Release or
between-releases performance test completed in the Reporting Period) + (Total number of SATE test
transactions executed for each Software Release or between-releases performance test completed in
the Reporting Period)) x 100
PO-19B
((Total number of completed IMA EDI test transactions executed in SATE and production that
produce comparable results for each new major IMA Software Release completed in the Reporting
Period)... (Total number of completed IMA EDI test transactions executed in SATE and production for
each new major IMA Software Release completed in the Reporting Period)) x 100
Exclusions:
For PO-19B:
Transactions that fail due to the unavailability of a content item (e., TN exhaustion in SATE or the
production environment) or a function in the SATE or production environments (e., address
validation query or CSR query) that is unsuccessful due to an outage in systems that interface with
IMA-EDI (e., PREMIS or SIA).
Transactions that fail because of differences between the production and SATE results caused when
an IMA candidate is implemented into IMA and not SATE (Le., where CMP decides not to implement
an IMA candidate in a SATE release: e., the Reject Duplicate LSR candidate in IMA 12.0). This
exclusion does not apply during reporting periods in which there are no differences between
production IMA and SATE caused by SATE releases packaQed pursuant to CMP decisions.Product Reporting: None Standard:
PO-19A - 95% for each release tested
PO-19B - 95%
Notes:
1. Transactions that are executed and found to
have inconsistencies with the data and format
rules will be corrected and rerun. Rerun
volumes will not be counted in the denominator
for PO-19. Such corrections and re-executions
are intended to enforce strict adherence to
business rules published in Owest's most
current IMA EDI Data and Disclosure
Documents.
2. The product and activity combinations that
make up the test decks for PO-19B will be
updated after each major IMA software release
and provided to CLECs with the publication of
IMA EDI Draft Interface Technical
Specifications for the next major IMA software
release as defined in the CMP process. All
combinations with EDI transaction volumes
:;:.
100 in the previous 12-month period will be
included in the test deck. 75 days prior to the
execution of the test, Owest will run a query
against IMA to determine which combinations
meet the criteria for inclusion (Le., volumes
:;:.
100),
Availability:
Available
Owest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 26
PO-19 Stand-Alone Test Environment (SATE) Accuracy (continued)
3. The intent of this provision is to avoid including
the effects of circumstances beyond the SATE
environment that could cause differences in
SATE and production r~sults that are not due
to problems in mirroring production. For
example, because of real-time data
manipulation in production, an appointment
availability query transaction in SATE will not
return the same list of available appointments
as in production. Available appointments in
production are fully dependent on real-time
activities that occur there, whereas available
appointments in SATE are based on a pre-
defined list that is representative of production.
Qwest Idaho SGAT Third Revision, Seventh Amended Exhibit B November 30,2004 Page 27
PO-20 (Expanded) - Manual Service Order Accuracy
Purpose:
Evaluates the degree to which Owest accurately processes CLECs' Local Service Requests (LSRs), which
are electronically-submitted and manually processed by Owest, into Owest Service Orders, based on
mechanized comparisons of specified LSR-Service Order fields and focusing on the percentage of manually-
processed Service Orders that are accurate/error-free.
Description:
Measures the percentage of manually-processed Owest Service Orders that are populated correctly, in
specified data fields, with information obtained from CLEC LSRs.
Includes only Service Orders created from CLEC LSRs that Owest receives NOTE 1 electronically (via IMA-
GUI or IMA-EDI) and manually processes in the creation of Service Orders, regardless of flow through
eligibility, subject to exclusions specified below.
Includes only Service Orders, from the product reporting categories specified below, that request inward
line or feature activity (Change, New, and Transfer order types), are assigned a due date by Owest, and
are completed/closed in the reporting period. Change Service Order types included in this measurement
consist of all C orders with "I" and 'action-coded line or feature USOCs.
All Service Orders satisfying the above criteria and as specified in the Availability section below are
evaluated in this measurement.
An inward line Service Order will be classified as "accurate" and thus counted in the numerator in the
formula below when the mechanized comparisons of this measurement determine that the fields
specified in the Service Order Fields Evaluated section below (when the source fields have been properly
populated on the LSR) are all accurate on the Service Order. An inward feature Service Order will be
classified as "accurate" if the fields specified in the Service Order Fields Evaluated section below (when
the source fields have been properly populated on the LSR) are all accurate on the Service Order and if
no CLEC notifications to the call center have generated call center tickets coded to LSR/SO mismatch for
that order.
Service Orders will be counted as being accurate if the contents of the relevant fields, as recorded in
the completed Service Orders involved in provisioning the service, properly match or correspond to
the information from the specified fields as provided in the latest version of associated LSRs.
Service orders generated from LSRs receiving a PIA (Provider Initiated Activity value will be counted
as being accurate if each and every mismatch has a correct and corresponding PIA value.
Service Orders, including those otherwise considered accurate under the above-described
mechanized field comparison, will not be counted as accurate if Owest corrects errors in its Service
Order(s) as a result of contacts received from CLECs no earlier than one business day prior to the
original due date.
Reporting Period: One month , reported in
arrears (Le., results first appear in reports one
month later than results for measurements that are
not reported in arrears), in order to exclude Service
Orders that are the subject of call center tickets
counted in OP-SB and OP-, as having new
service problems attributed to Service Order errors.
Unit of Measure:Percent
Reporting Comparisons:
CLEC Aggregate and individual CLEC
Disaggregation Reporting:
Statewide Level
Formula:
((Number of accurate, evaluated Service Orders)
-;-
(Number of evaluated Service Orders completed in
the reporting period)) x 100
Owest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 28
PO-20 (Expanded) - Manual Service Order Accuracy (continued)
Exclusions:
Service Orders that are the subject of call center tickets counted in OP-SB and OP-ST as having new
service problems attributed to Service Order errors.
Cancelled Service Orders.
Service Orders that cannot be matched to a corresponding LSR
Records missinq data essential to the calculation of the measurement per the PID.Product Reporting: Standard:
Resale and UNE-P (POTS and Centrex 21) Benchmarks, as follows:
Unbundled Loops (Analog and Non-Loaded 2/4-wire, DS1
Capable, DS3 and higher Capable, ADSL Compatible
XDSL-I Capable, ISDN-BRI Capable)
Availability:
Phase 0 - PO-20 (Old) (the first version using
sampling of limited fields). (Available now)
Phase 1 NOTE 2 - PO-20 (Expanded) Mechanized
version (as defined herein). All qualifying orders
associated with initial LSRs received via IMA
version 1S.0 or higher beginning with May 2004
data reported in Jul 04.
Phase 2 - Additional fields added. No later than
Sep 04 results reported in Nov 04
Phase 3- Additional fields added. Targeted for
151 Quarter OS
Phase 4 - Additional fields added. (Date TBD).
Phase 1
Phase 2
Phase 3 & beyond
97%
96%
9S%
Notes:
1. To be included in the measurement, Service
Orders created from CLEC LSRs must be
received and completed in the same version of
IMA-GUI or IMA-EDI.
2. Phase 1: Consists of all manually-processed
qualifying Service Orders per product reporting
category specified above, from throughout
Qwest's 14-state local service region.
LSR-Service Order Fields Evaluated
Phase 1 - (Effective with LSRs received beginning May 2004)
Mechanized comparison of the fields from the Service Order to the LSR:
LSR Field
Form Code LSR Field Name Remarks/Service Order Field:
CCNA Customer Carrier CCNA field of LSR form compared to the RSID/ZCID field
LSR Name identifier in the Extended 10 section of the Service Order.
Abbreviation
PON Purchase Order PON field of LSR form compared to the PON field in Bill
Number Section of the Service Order.
DfTSENT Date and time The DfTSENT field of LSR form from the Firm Order
sent Manager, using applied business day cut-off rules and
business typing rules, and compare to the APP (Application
Date) used on the Service Order.
CHC Coordinated Hot Applies only to Unbundled Loop.
Cut Requested Validate that the installation USOC used on the Service
Order matches the Coordinated Cut request. (Evaluated in
conjunction with the TEST field to determine correct USOC.
TEST Testing required Applies only to Unbundled Loop.
Validate that the installation USOC used on the Service
Order matches the TEST request. (Evaluated in conjunction
with the CHC field to determine correct USOC.
Network Channel Applies only to Unbundled Loop. NC field on the LSR form
Code compared to provisioning USOC for CKL 1 on the Service
Order.
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 29
PO-20 (Expanded) - Manual Service Order Accuracy (continued)
LSR-Service Order Fields Evaluated
Phase 1 - (Effective with LSRs received beginning May 2004)
Mechanized comparison of the fields from the Service Order to the LSR:
Form
LSR Field
Code
NCI
SECNCI
PIC
Resale or LPIC
Centrex
Resale
Centrex
TNS
LSR Field Name
Network Channel
Interface Code
Secondary
Network Channel
Interface Code
InterLJ\TJ\ Pre-
subscription
Indicator Code
IntraLJ\TJ\ Pre-
subscription
Indicator Code
Telephone
NumbersFN Feature
FEJ\ TURE J\ctivity/Feature
Codes
Remarks/Service Order Field:
J\pplies only to Unbundled Loop NCI field on the LSR form
compared to provisioning USOC for CKL 1 on the Service
Order.
J\pplies only to Unbundled Loop orders.
SECNCI field on the LSR form compared to the. provisioning
USOC for CKL2 on the Service Order.
PIC field on Resale or Centrex form compared to PIC
populated on the "I" or 'T' action lines in the Service and
Equipment section of the Service Order.
Note:
LSR PIC = None; S.O. PIC = None
LPIC field on Resale or Centrex form compared to LPIC
populated on the "I" or "T' action lines in the Service and
Equipment section of the Service Order.
Note:
LSR LPIC = None; S.O. LPIC = 9199
LSR LPIC = DFL T; S.O. LPIC = 5123
Validate that all telephone numbers in the TNS fields in the
Service Details section on the Resale or Centrex form
requirinq inward activity are addressed on the Service Order.
When the FJ\ = N, T, V
Validate line and feature USOCs provided in the FEJ\ TURE
field on the Resale or Centrex form are addressed with "
and/or T' action lines on the Service Order.
Note: Comparison will be based on the USOCs associated
with line and feature activity listed in the PO-20 USOC List
posted on Qwest's public website, on the web page
containing the current riD
www.qwestcom/whoiesale/results). Qwest may add USOCs
to the list, delete grand-fatheredl discontinued or obsolete
USOCs, or update USOCs assigned to listed descriptions by
providing notice in the monthly Summary of Notes and
updatinq the list
Qwest Idaho SGJ\ T Third Revision, Seventh J\mended Exhibit B November 30, 2004 Page 30
PO-20 (Expanded) - Manual Service Order Accuracy (continued)
LSR-Service Order Fields Evaluated
Phase 1 - (Effective with LSRs received beginning May 2004)
Mechanized comparison of the fields from the Service Order to the LSR:
LSR Field
Form Code LSR Field Name Remarks/Service Order Field:
ECCKT Exchange Applies to LSRs with ACT = C (only when NC code has not
Company Circuit changed, M, or T.
ECCKT field on the LS form compared to the CLS field in the
Service and Equipment section of the Service Order.
LS/CFA Connecting CFA field on the LS or LSNP forms compared to the CFA
LSNP Facility field used in CKL 1 of the Service Order. (Verbal acceptance
Assignment of CFA changes will be FOC'd and PIA', which will account
for the mismatch and eliminate it as an error in the PO-
calculation.
LTV Listing Type L TV = 1 (Listed - appears in DA and the directory.) Validate
that there is a LN in the List section of the Service Order.
L TV = 2 (Non Listed - appears only in DA.) Validate that
there is non listing instructions in the LN field in the List
section of the Service Order.
Central/Western Region: Validate that the left handed field
is NLST and (NON-LIST) is contained in the NLST data field
in the List section of the Service order.
Eastern Region: Validate that the left handed field is NL
and (NON LIST) is contained in the NL data field in the List
'ii)section of the Service Order.
L TV = 3 (Non Pub - does not appear in the directory and
telephone number does not appear in DA.) Validate that
!!?
there is non published instructions in the LN field in the List"'...J.2 c section of the Service Order.I/) 'Central/Western Regions: Validate that the left handed
g':!:..
'iij field is NP and (NON-PUB) is contained in the NP data field
!!? CJ in the List section of the Service Order....J 0 Eastern Region: Validate that the left handed field is NP
0 0 and (NP LODA) or (NP NODA) is contained in the NP data
...
CJ
:;:...
field in the List section of the Service Order.Q) !:: c TOA Type of Account Validate TOA entries (only reviewed when BRO field on DL
I 1J form is not populated):
...JS TOA valid entries are B or RPc ~Validate that there is a semi colon (;) within the LN in the'iij
;:.
List section of the Service Order.
TOA valid entries are R or BP
Validate that there is a comma (,) within the LN in the List
section of the Service Order.
Exception: When LSR-TOS = 3, TOA review is Not
Applicable. Handled by Complex Listing Group. Requires
separate Service Order.
DML Direct Mail List DML field = 0 on DL form; Service Order LN contains
(OCLS).
NOSL No Solicitation Arizona Only
Indicator NOSL field = Y on DL form; Service Order LN contains
(NSOL) (OCLS).
awest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 31
PO-20 (Expanded) - Manual Service Order Accuracy (continued)
LSR-Service Order Fields Evaluated
Phase 1 - (Effective with LSRs received beginning May 2004)
Mechanized comparison of the fields from the Service Order to the LSR:
LSR Field
Form Code LSR Field Name Remarks/Service Order Field:
TMKT Telemarketing Colorado Only
TMKT field = 0 on DL form; Service Order LN contains
(OATD).
When both the DML and the TMKT fields are populated, DML
validation applies.
LNLN and Listed Name LNLN and LNFN fields on DL form compared to the LN field
LNFN in the List section of the Service Order.
ADI Address Indicator ADI = 0 on DL form; Service Order LA contains (OAD).
LAPR Listed Address LAPR field of the Listing form compared to LA in the List
Number Prefix section of the Service Order.
LANO Listed Address LANO field of the Listing form compared to LA in the List
Number section of the Service Order.
LASF Listed Address LASF field of the Listing form compared to LA in the List
Number Suffix section of the Service Order.
LASD Listed Address LASD field of the Listing form compared to LA in the List
Street Directional section of the Service Order.
LASN Listed Address LASN field of the Listing form compared to LA in the List
Street Name section of the Service Order.
LATH Listed Address LATH field of the Listing form compared to LA in the List
Street Type section of the Service Order.
LASS Listed Address LASS field of the Listing form compared to LA in the List
Street Directional section of the Service Order.
Suffix
LALOC Listed Address LALOC field of the Listing form compared to LA in the List
Locality section of the Service Order.
Phase 2 - No later than Sep 04 results
LSR-Service Order Fields Evaluated
Mechanized comparison of the fields from the Service Order to the LSR:
LSR Field
Form Code LSR Field Name Remarks/Service Order Field:
LSR DSPTCH Dispatch Limited to Unbundled Loops where ACT = Z or V only.
If DSPTCH field on the LSR form = Y, validate dispatch
USOC in the Service and Equipment section of the Service
Order.
LTC Line Treatment Applies only to Centrex 21
Code LTC field numeric value on the Centrex form compared to the
data following the CAT field for the Line USOC on the
Centrex Service Order.
COS Class of Service Applies only to Centrex 21.
- Qwest Specific COS field of the Centrex form compared to the CS field in the
10 section of the Service Order.
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 32
PO-20 (Expanded) - Manual Service Order Accuracy (continued)
Phase 2 - No later than Sep 04 results
LSR-Service Order Fields Evaluated
Mechanized comparison of the fields from the Service Order to the LSR:
LSR Field
Form Code LSR Field Name Remarks/Service Order Field:
Resale FEATURE Feature Details As specified in Appendix A of the 14 State Working PID.
DETAILS Comparison would be based on the fields associated with the
Centrex USOC list referenced under Feature Activity in Phase
above.
Phase 3 - Targeted for 1St Quarter 05
LSR-Service Order Fields Evaluated
Mechanized comparison of the fields from the Service Order to the LSR:
LSR Field
Form Code LSR Field Name Remarks/Service Order Field:
Resale BLOCK Blocking Type For each LNUM provided in the Service Detail section of the
(Stage 1)Resale or Centrex form when BA = E:
Centrex Note: The BLOCK field may have one or more alpha and/or
numeric values per LNUM. This review will only validate
based on BA/BLOCK fields and will not address blocking
information provided in the "Remark" section on the LSR or
the Feature Detail section of the LSR. The values listed
below will be considered as follows:
If BLOCK contains A, validate FID TBE A is present on the
service order floated behind line USOC associated with the
TNS for that LNUM.
If BLOCK contains B , validate FID TBE B is present on the
service order floated behind line USOC associated with the
TNS for that LNUM.
If BLOCK contains C, validate FID TBE C is present on the
service order floated behind line USOC associated with the
TNS for that LNUM.
If BLOCK contains H , validate FID BLKD is present on the
service order floated behind line USOC associated with the
TNS for that LNUM.
Owest Idaho SGA T Third Revision , Seventh Amended Exhibit B November 30, 2004 Page 33
PO-20 (Expanded) - Manual Service Order Accuracy (continued)
Phase 4 - Date TBD
LSR-Service Order Fields Evaluated
Mechanized comparison of the fields from the Service Order to the LSR:
LSR Field
Form Code LSR Field Name Remarks/Service Order Field:
DFDT Desired Frame Applicable only to orders for Resale and UNE-P (POTS and
Due Time Centrex 21)
DFDT field on the LSR form compared to the FDT field in the
Extended ID section of the Service Order.
LSR DDD Desired Due DDD field from the last FOC'd LSR compared to the original
Date or last subsequent due date in the Extended ID section on
the Service Order when no CFLAG/PIA is present on the
FOC. (i.e. Evaluation includes recognition of valid differences
between DDD and Service Order based on population of the
CFLAG/PIA field on the LSRC (FOC))
LTN Listed Telephone For Resale and UNE-P (POTS and Centrex 21):
... .
Number L TN field on the Listing form compared to the Main Account
Number of the Service Order.
:::i
~ E o:"For Unbundled Loop: L TN field on the Listing form compared
... ,,
~s:::-oQ)to the TN floated after the LN in the Listing section of theu...Q) n:I Service Order.iU;;
Jj ~LNPL Letter Name LNPL field on the Listing form = L, validate that LN on the..J Placement Service Order follows letter placement versus word
placement.
Resale FEATURE Feature Details If CLECs propose additional FIDs for review, Qwest will
DETAILS undertake a feasibility evaluation.
Centrex
BLOCK Blocking Type If CLECs identify value in additional Blocking review, Qwest
(Stage 2)will undertake development. fRequirements to be developed)
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 34
Ordering and Provisioning
OP-2 - Calls Answered within Twenty Seconds - Interconnect Provisioning Center
Purpose:
Evaluates the timeliness of CLEC access to Qwest's interconnection provisioning center(s) and retail
customer access to the Business Office, focusinq on the extent calls are answered within 20 seconds.
Description:
. Measures the percentage of (Interconnection Provisioning Center or Retail Business Office) calls that
are answered by an agent within 20 seconds of the first ring.
Includes all calls to the Interconnect Provisioning Center/Retail Business Office during the
reporting period, subject to exclusions specified below.
Abandoned calls and busy calls are counted as calls which are not answered within 20 seconds.
First ring is defined as when the customer s call is first placed in queue by the ACD (Automatic
Call Distributor).
Answer is defined as when the call is first picked up by the Qwest agent.
Reporting Period: One month Unit of Measure: Percent
Reporting Comparisons: CLEC aggregate and Disaggregation Reporting: Region-wide level.
Qwest Retail results
Formula:
((Total Calls Answered by Center within 20 seconds) + (Total Calls received by Center)) x 100
Exclusions: Time spent in the VRU Voice Response Unit is not counted.
Product Reporting: Not applicable Standard: Parity
Availability:Notes:
Available
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 35
OP-3 - Installation Commitments Met
Purpose:
Evaluates the extent to which Qwest installs services for Customers by the scheduled due date.
Description:
Measures the percentage of orders for which the scheduled due date is met.
All inward orders (Change, New, and Transfer order types) assigned a due date by Qwest and
which are completed/closed during the reporting period are measured , subject to exclusions
specified below. Change order types included in this measurement consist of all C orders
representing inward activit . Also included are orders with customer-requested due dates longer
than the standard interval.
Completion date on or before the Applicable Due Date recorded by Qwest is counted as a met due
date. The Applicable Due Date is the original due date or, if changed or delayed by the customer
the most recently revised due date, subject to the following: If Qwest changes a due date for Qwest
reasons, the Applicable Due Date is the customer-initiated due date, if any, that is (a) subsequent to
the oriqinal due date and (b) prior to a Qwest-initiated, changed due date, if any.
Reporting Period: One month
I Unit of Measure: PercentReporting Disaggregation Reporting: Statewide level.
Comparisons: . Results for product/services listed in Product Reporting under "MSA-Type
GLEG aggregate, Disaggregation" will be reported according to orders involving:individual CLEC OP-3A Dispatches within MSAs;
and Qwest Retail OP-38 Dispatches outside MSAs; andresults OP-3C No dispatches.
Results for products/services listed in Product Reporting under "Zone-type
Disaggregation" will be disaggregated according to installations:
OP-3D In Interval Zone 1 areas; and
OP-3E In Interval Zone 2 areas.
Formula:
((Total Orders completed in the reporting period on or before the Applicable Due Date) + (Total Orders
Completed in the Reporting Period)) x 100
Exclusions:
. Disconnect, From (another form of disconnect) and Record order types.
. Due dates missed for standard categories of customer and non-Qwest reasons. Standard
categories of customer reasons are: previous service at the location did not have a customer-
requested disconnect order issued , no access to customer premises, and customer hold for
payment. Standard categories of non-Qwest reasons are: Weather, Disaster, and Work Stoppage.
Records involving official company services.
Records with invalid due dates or a lication dates.
Records with invalid completion dates.
Records with invalid product codes.
Records missing data essential to the calculation of the measurement per the PID.
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit 8 November 30, 2004 Page 36
OP - 3 Installation Commitments Met (continued)
Product Reporting:Standards:
MSA-TvDe Disaaareaation -
Resale
Residential sinqle line service Parity with retail service
Business single line service Parity with retail service
Centrex Parity with retail service
Centrex 21 Parity with retail service
DSO (non-desiqned provisioning)Parity with retail service
PBX Trunks (non-desiqned provisioninq)Parity with retail service
Primary ISDN (non-designed provisioning)Parity with retail service
Basic ISDN (non-desiqned provisioninq)Parity with retail service
Qwest DSL (non-designed provisioning)Parity with retail service
Unbundled Network Element - Platform Parity with like retail service
(UNE-P) (POTS)
Unbundled Network Element - Platform Parity with retail Centrex 21
(UNE-P) (Centrex 21 )
Unbundled Network Element - Platform Parity with retail Centrex
(UNE-P) (Centrex)
Line Splitting 95%
Loop Splitting NU It: 1 Diagnostic
Line Sharing 95%
Sub-Loop Unbundling CO: 90%
All Other States: Diagnostic
Zone-TvDe Disaaareaation -
Resale
Primary ISDN (desianed provisioning)Parity with retail service
Basic ISDN (desiqned provisioninq)Parity with retail service
DSO (desianed provisioning)Parity with retail service
DS1 Parity with retail service
PBX Trunks (desianed provisioning)Parity with retail service
Qwest DSL (desiqned provisioninq)Parity with retail service
DS3 and higher bit-rate services Parity with retail service
(aqqreqate)
Frame Relay Parity with retail service
LIS Trunks Parity with Feature Group D (aggregate)
Unbundled Dedicated Interoffice Transport (UDIT)
UDIT - DS1 level Parity with retail DS1 Private Line
UDIT - Above DS11evei Parity with retail Private Lines above DS11evei
Dark Fiber - IOF Diaqnostic
Unbundled Loops:
Analoa Loop 90%
Non-loaded Loop (2-wire)90%
Non-loaded LOOD (4-wire)Parity with retail DS 1 Private Line
DS1-capable Loop Parity with retail DS 1 Private Line
xDSL-capable Loop 90%
ISDN-capable Loop Paritv with retail ISDN BRI
ADSL-aualified Loop 90%
Loop types of DS3 and higher bit-rates Parity with retail DS3 and higher bit-rate Private
(aggregate)Line services (agqregate)
Dark Fiber - LOOD Diagnostic
Loops with Conditioninq 90%
E911/911 Trunks Parity with retail E911/911 Trunks
Qwest Idaho SGA T Third Revision , Seventh Amended Exhibit B November 30, 2004 Page 37
OP - 3 Installation Commitments Met (continued)
Enhanced Extended Loops (EELs) - (DSO WA: 90%
level)All Other States: Diagnostic
Enhanced Extended Loops (EELs) - (DS1 90%
level)
Enhanced Extended Loops (EELs) - (DS3 WA: 90%
level)All Other States: Diagnostic
Availability:Notes:
Available Reporting will begin at the time CLECs order the product, in any quantity, for
three consecutive months.
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 38
OP-4 - Installation Interval
Purpose:
Evaluates the timeliness of Qwest's installation of services for customers, focusing on the average
time to install service.
Description:
Measures the average interval (in business da s) NOTE 1 between the a lication date and the
completion date for service orders accepted and implemented.
Includes all inward orders (Change, New, and Transfer order types) assigned a due date by
Qwest and which are completed/closed during the reporting period, subject to exclusions specified
below. Change order types for additional lines consist of all C orders representing inward activit
Intervals for each measured event are counted in whole days: the application date is day zero (0);
the day following the application date is day one (1).
. The Applicable Due Date is the original due date or, if changed or delayed by the customer, the
most recently revised due date, subject to the following: If Qwest changes a due date for Qwest
reasons, the Applicable Due Date is the customer-initiated due date, if any, that is (ab subsequent
to the original due date and (b) prior to a Qwest-initiated, changed due date, if any. N TE 2
. Time intervals associated with customer-initiated due date changes or delays occurring after the
Applicable Due Date, as applied in the formula below, are calculated by subtracting the latest
Qwest-initiated due date, if any, followin~ the Applicable Due Date, from the subsequent
customer-initiated due date, if any. NOTE
Reporting Period: One month
I Unit of Measure: Average Business DaysReporting Disaggregation Reporting: Statewide level.
Comparisons: . Results for product/services listed in Product Reporting under MSA-TypeCLEC Disaggregation" will be reported according to orders involving:
aggregate, OP-4A Dispatches within MSAs;individual CLEC OP-4B Dispatches outside MSAs; andand Qwest OP-4C No dispatches.
Retail results Results for products/services listed in Product Reporting under "Zone-type
Disaggregation" will be disaggregated according to installations:
OP-4D In Interval Zone 1 areas; and
OP-4E In Interval Zone 2 areas.
Formula:
1:((Order Completion Date) - (Order Application Date) - (Time interval between the Original Due Date
and the Applicable Date) - (Time intervals associated with customer-initiated due date changes or
delays occurring after the Applicable Due Date)) -;- Total Number of Orders Completed in the reporting
period
lanation: The average installation interval is derived by dividing the sum of installation intervals for
all orders (in business days) NOTE 1 by total number of service orders completed in the reportina period.
Exclusions:
Orders with customer requested due dates greater than the current standard interval.
. Disconnect, From (another form of disconnect) and Record order types.
Records involving official company services.
Records with invalid due dates or application dates.
. Records with invalid completion dates.
Records with invalid product codes.
Records missina data essential to the calculation of the measurement per the PID.
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 39
OP-4 - Installation Interval (continued)
Product Reporting:Standards:
MSA-TvDe Disaaareaation -
Resale
Residential sinqle line service Parity with retail service
Business simIle line service Parity with retail service
Centrex Parity with retail service
Centrex 21 Parity with retail service
DSO (non-desiqned provisioninq)Parity with retail service
PBX Trunks non-desiqned provisioninq)Parity with retail service
Primary ISDN (non-designed Parity with retail service
provisioninq
Basic ISDN non-desiqned provisioninq)Parity with retail service
Owest DSL non-designed provisioning)Parity with retail service
Unbundled Network Element - Platform Parity with like retail service
(UNE-P) (POTS)
Unbundled Network Element - Platform Parity with retail Centrex 21
(UNE-P) (Centrex 21 )
Unbundled Network Element - Platform Parity with retail Centrex
(UNE-P) (Centrex)
Line Splittinq 3 days
Loop Splitting NOTE 3 Diagnostic
Line Sharinq 3 days
Sub-Loop Unbundling CO: 6 days
All Other States: Diagnostic
Zone-TvDe Disaaareaation -
Resale
Primary ISDN (desiqned provisioning)Parity with retail service
Basic ISDN(desiqned provisioninq)Parity with retail service
DSO (desiqned provisioninq)Parity with retail service
DS1 Parity with retail service
PBX Trunks (desiqned provisioning)Parity with retail service
Owest DSL (desiqned provisioninq)Parity with retail service
DS3 and higher bit-rate services Parity with retail service
(aqqreqate)
Frame Relay Parity with retail service
LIS Trunks Parity with Feature Group 0 (aggregate)
Unbundled Dedicated Interoffice Transport (UDIT)
UDIT - DS1 level Parity with DS1 Private Line Service
UDIT -Above DS11evei Parity with Private Lines above OS 1 level
Dark Fiber - IOF Diaqnostic
Unbundled Loops:
Analog Loop 6 days
Non-loaded Loop (2-wire)6 days
Non-loaded Loop (4-wire)Parity with retail DS1 Private Line
OS 1-capable Loop Idaho, Iowa, Montana, Nebraska, North
Dakota, Oregon, Wyoming: Parity with retail
DS1 Private Line
Arizona, Colorado, Minnesota, New Mexico,
South Dakota, Utah, Washington: 5.5 days
xDSL-capable Loop 6 days
ISDN-capable Loop Parity with retail ISDN BRI
ADSL-Qualified Loop 6 days
Loop types of DS3 and higher bit-rates Parity with retail DS3 and higher bit-rate services
(aggregate)(aqqreqate)
Owest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 40
OP-4 - Installation Interval (continued)
Dark Fiber - Loop Diagnostic
Loops with Conditioninq 15 days
E911/911 Trunks Parity with retail E911/911 Trunks
Enhanced Extended Loops (EELs) - (DSO Diagnostic
level)
Enhanced Extended Loops (EELs) - (DS1 6 days
level)
Enhanced Extended Loops (EELs) - (DS3 Diagnostic
level)
Availability:Notes:
Available For OP-, Saturday is counted as a business day for all orders for
Resale Residence, Resale Business, and UNE-P (POTS), as well
as for the retail analogues specified above as standards. For all
other products under OP-4C and for all products under OP-
, -
, and -4E. Saturday is counted as a business day when the
service order is due or completed on Saturday.
According to this definition, the Applicable Due Date can change,
per successive customer-initiated due date changes or delays, up
to the point when a Qwest-initiated due date change occurs. At
that point, the Applicable Due Date becomes fixed (Le., with no
further changes) as the date on which it was set prior to the first
Qwest-initiated due date change, if any. Following the first Qwest-
initiated due date change, any further customer-initiated due date
changes or delays are measured as time intervals that are
subtracted as indicated in the formula. These delay time intervals
are calculated as stated in the description. (Though infrequent, in
cases where multiple Qwest-initiated due date changes occur, the
stated method for calculating delay intervals is applied to each pair
of Qwest-initiated due date change and subsequent customer-
initiated due date change or delay. The intervals thus calculated
from each pairing of Qwest and customer-initiated due dates are
summed and then subtracted as indicated in the formula.) The
result of this approach is that Qwest-initiated impacts on intervals
are counted in the reported interval , and customer-initiated impacts
on intervals are not counted in the reported interval.
Reporting will begin at the time CLECs order the product, in any
quantity, for three consecutive months.
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 41
OP-5 - New Service Quality
Purpose:
Evaluates the quality of ordering and installing new services (inward line service orders), focusing on the
percentage of newly-installed service orders that are free of GLEe/customer-initiated trouble reports during
the provisioning process and within 30 calendar days following installation completion, and focusing on the
ualit of Qwest's resolution of such conditions with res ect to multi Ie re orts.
Description:
Measures two components of new service provisioning quality (OP-SA and -SB) and also reports a combined
result (OP-ST), as described below, each as a percentage of all inward line service orders completed in the
reporting period that are free of GLEe/customer-reported provisioning and repair trouble reports, as
described below. Also measures the percentage of all provisioning and repair trouble reports that constitute
multiple trouble reports for the affected service orders. (OP-SR)
Orders for new services considered in calculating all components of this performance indicator are all
inward line service orders completed in the reporting period , including Change (C-type) orders for
additional lines/circuits, subject to exclusions shown below. Chan~e order types considered in these
measurements consist of all C orders representing inward activit . OTE 1
Orders for new service installations include conversions (Retail to CLEC, CLEC to CLEC, and sameCLEC converting between products). .
Provisioning or repair trouble reports include both out of service and other service affecting conditions
such as features on a line that are missing or do not function properly upon conversion , subject to
exclusions shown below.
OP-5A: New Service Installation Qualit orted to Re air
Measures the percentage of inward line service orders that are free of repair trouble reports NOTE 2
within 30 calendar days of installation completion, subject to exclusions below.
Repair trouble reports are defined as GLEe/customer notifications to Qwest of out-of-service and
other service affecting conditions for which Qwest opens repair tickets in its maintenance and repair
management and tracking systems NOTE 3 that are closed in the reporting period or the following
month, NOTE 4 subject to exclusions shown below. NOTE 5
Qwest is able to open repair tickets for repair trouble reports received from GLEes/customers once
the service order is completed in Qwest's systems.
OP-5B: New Service Provisionin Qualit
Measures the percentage of inward line service orders that are free of provisioning trouble reports
during the provisioning process and within 30 calendar days of installation completion, subject to
exclusions shown below.
Provisioning trouble reports are defined as CLEC notifications to Qwest of out of service or other
service affecting conditions that are attributable to provisioning activities, including but not limited to
LSRlservice order mismatches and conversion outages. For provisioning trouble reports, Qwest
creates call center tickets in its call center database. Subject to exclusions shown below, call center
tickets closed in the reporting period or the following month NOTE 4 are captured in this measurement.
Call center tickets closed to Network reasons will not be counted in OP-S8 when a repair trouble
report for that order is captured in Or-SA. NOTE 5, 6
OP-5T: New Service Installation Quali Total
Measures the percentage of inward line service orders that are free of repair or provisioning trouble
reports during the provisioning process and within 30 calendar days of installation completion, subject
to exclusion shown below.
OP-5R: New Service Qualit Multi le Re ort Rate
Evaluates the quality of Qwest's responses to repair and provisioning trouble reports for inward line
service orders completed in the reporting period. This measurement reports, for those service orders
that were not free of repair or provisioning trouble reports in Or-SA or OP-, the percentage of
trouble reports affecting the same service orders that were followed by additional repair and
provisioning trouble reports, as specified below.
Measures the percentage of all repair and provisioning trouble reports considered in OP-SA and
OP-S8 that are additional repair or provisioning trouble reports received by Qwest for the same
service order durin the rovisionin rocess or within 30 calendar da s followin installation
Qwest Idaho SGAT Third Revision, Seventh Amended Exhibit 8 November 30, 2004 Page 42
op. 5 - New Service Qualit continued
completion.
Additional repair or provisioning trouble reports are defined as all such reports that are received
following the first report (whether the first report is represented by a call center ticket or a repair
ticket) relating to the same service order during the provisioning process or within 30 calendar days
following installation completion. In all cases, the trouble reports counted are those that are defined
for OP-SA and OP-SB above. NOTE
Reporting Period: One month, reported in arrears (Le., results first appear
in reports one month later than results for measurements that are not
re orted in arrears , in order to cover the 30-da eriod followin installation.
Reporting Comparisons: CLEC aggregate Disaggregation Reporting: Statewide level
individual CLEC and Qwest Retail results
Formulas:
OP-5A = (Number inward line service orders completed in the reporting period - Number of inward line
service orders with any re air trouble re orts as specified above) + (Number of inward line service
orders completed in the reporting period) x 100
Unit of Measure:
Percent
OP-58 = (Number of inward line service orders completed in the reporting period - Number of inward line
service orders with any rovisionin trouble re orts as specified above) + (Number of inward line
service orders completed in the reporting period) x 100
OP-5T = ((Number of inward line service orders completed in the reporting period) - Number of inward line
service orders with re air or rovisionin trouble re orts as defined above under OP-SA or OP-
as applicable) + (Number of inward line service orders completed in the reporting period) x 100
OP-5R = (Number of all repair and provisioning trouble reports, relating to inward line service orders closed in
the reporting period as defined above under OP-SA or OP-, that constitute additional repair and
provisioning trouble reports, within 30 calendar days following the installation date + Number of all
repair and provisioning trouble reports relating to inward line service orders closed In the reporting
period, as defined above under OP-SA or OP-SB) x 100
Exclusions:
licable to OP-OP-ST and OP-SR:
Repair trouble reports attributable to CLEC or coded to non-Qwest reasons as follows:
For products measured from MT AS data, repair trouble reports coded to disposition codes for:
Customer Action; Non-Telco Plant; Trouble Beyond the Network Interface; and Miscellaneous-
Non-Dispatch, non-Qwest (includes CPE, Customer Instruction , Carrier, Alternate Provider); and
Reports from other than the GLEe/customer that result in a charge if dispatched.
For products measured from WFA (Workforce Administration) data, repair reports coded to codes for:
Carrier Action (IEC); Customer Provided Equipment (CPE); Commercial power failure; Customer
requested service order activity; and Other non-Qwest.
Repair reports coded to disposition codes for referral to another department (Le., for non-repair ticket
resolutions of non-installation-related problems, except cable cuts, which are not excluded).
licable to OP-OP-ST and OP-SR onl
Provisioning trouble reports attributable to CLEC or non-Qwest causes.
Call center tickets relating to activities that occur as part of the normal process of conversion (Le., while
Qwest is actively and properly engaged in process of converting or installing the service). Provisioning
trouble reports involving service orders that, at the time of the calls, have fallen out for manual handling
and been disassociated from the related service order, as applicable, will be considered as not in the
normal process of conversion and will not be excluded.
licable to OP-OP-OP-ST and OP-SR:
Repair or provisioning trouble reports related to service orders captured as misses under measurements
OP-13 (Coordinated Cuts Timeliness) or OP-17 (LNP Timeliness).
Subsequent repair or provisioning trouble reports of any trouble on the installed service before the
original repair or provisioning trouble report is closed.
Service orders closed in the re ortin eriod with A rior to the
Qwest Idaho SGA T Third Revision , Seventh Amended Exhibit B November 30, 2004 Page 43
OP- 5 - New Service Qualit continued
beginning of the reporting period.
Information tickets generated for internal Qwest system/network monitoring purposes.
. Disconnect, From (another form of disconnect) and Record order types. When out of service or service
affecting problems are reported to the call center on conversion and move requests, the resulting call
center ticket will be included in the calculation of the numerator in association with the related inward
order type even when the call center ticket reflects the problem was caused by the Disconnect or From
order.
Records involving official Qwest company services.
Records missin data essential to the calculation of the measurement as defined herein.
Product Reporting Categories: Standards:
As specified below - one OP-5A:
percentage result reported for OP-5B:
each bulleted category under
the sub-measurements shown.
Parity with retail service
Diagnostic for six months following first reporting. After
six months Benchmark (TBD)
OP-5T: Diagnostic
OP-5R: Diagnostic for six months following first reporting.
Possible standard (TBD)
(Where parity comparisons involve multiple service varieties in a
product category, weighting based on the retail analogue volumes may
be used if necessary to create a comparison that is not affected by
different proportions of wholesale and retail analogue volumes in the
same re ortin cate 0
Qwest Idaho SGAT Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 44
OP. 5 - New Service Quality (continued)
Product Reportina:I Standards:
Reported under OP-5A. OP-5B. OP-5T and OP-5R:
(Product cateqories may be combined as aqreed upon by the parties in Long-Term PID Administration.
OP-OP-OP-5T &
OP-
Resale
Residential single line Parity with retail service 96.Diagnostic
service
Business single line Parity with retail service 96.Diagnostic
service
Centrex Parity with retail service 96.Diaqnostic
Centrex 21 Parity with retail service 96.Diacmostic
PBX Trunks Parity with retail service 96.Diaqnostic
Basic ISDN Parity with retail service 96.Diaanostic
Owest DSL Parity with retail service 96.Diaqnostic
Primary ISDN Parity with retail service 96.Diaqnostic
DSO Parity with retail service 96.Diaqnostic
DS1 Parity with retail service 96.Diaqnostic
DS3 and higher bit-Parity with retail service 96.Diagnostic
rate services
(aqareaate)
Frame Relay Parity with retail service Diaqnostic Diaqnostic
Unbundled Network Parity with like retail 96.Diagnostic
Element - Platform service
(UNE-P) (POTS)
Unbundled Network Parity with retail Centrex 96.Diagnostic
Element - Platform
(UNE-P) (Centrex 21 )
Unbundled Network Parity with retail Centrex 96.Diagnostic
Element - Platform
(UNE-P) (Centrex)
Line Splitting Parity with retail Owest 96.Diagnostic
DSL
Loop Splitlina NUIt:!!Diagnostic Diaqnostic Diaanostic
Line Sharing Parity with retail RES &96.Diagnostic
BUS POTS
Sub-Loop Unbundlina Diagnostic Diaqnostic Diaqnostic
Unbundled Loops:
Analog Loop Parity with retail Res &96.Diagnostic
Bus POTS with dispatch
Non-loaded Loop (2-Parity with retail ISDN 96.Diagnostic
wire)BRI
Non-loaded Loop (4-Parity with retail DS1 96.Diagnostic
wire)
DS1-capable Loop Parity with retail DS1 96.Diaqnostic
xDSL-capable Loop Parity with retail Owest 96.Diagnostic
DSL
ISDN-capable Loop Parity with retail ISDN 96.Diagnostic
BRI
ADSL-qualified Loop Parity with retail Owest 96.Diagnostic
DSL with dispatch
Loop types of DS3 and Parity with retail DS3 96.Diagnostic
higher bit-rates and higher bit-rate
(aggregate)services (aqqreqate)
Dark Fiber - Loop Diagnostic Diagnostic Diaqnostic
Owest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 45
OP. 5 - New Service Quality (continued)
Enhanced Extended Loops Diagnostic until volume 96.Diagnostic
(EELs) - (DSO level)criteria are met
Enhanced Extended Loops Parity with retail DS1 96.Diagnostic
(EELs) - (oS 1 level)Private Line
Enhanced Extended Loops Diagnostic until volume 96.Diagnostic
(EELs) - (above DS1 criteria are met
level)
Reoorted under OP-5A and under OP-SR (per OP-5A specifications):
OP-OP.
LIS Trunks Parity with Feature Diagnostic
Group 0 (aggregate)
Unbundled Dedicated Interoffice Transport (UDIT)
UDIT (DS1 Level)Parity with Retail Private Diagnostic
Lines (DS1)
UDIT (Above DS1 Level)Parity with Retail Private Diagnostic
Lines (Above DS1level)
Dark Fiber - IOF Diaqnostic Diaqnostic
E911/911 Trunks Parity with Retail Diagnostic
E911/911 Trunks
Availability:Notes:
The specified Change order types representing inward activity exclude Change
Available orders that do not involve installation of lines (in both wholesale and retail results).
Specifically this measurement does not include changes to existing lines, such as
number changes and PIC changes.
Including consideration of repeat repair trouble reports (Le., additional reports of
trouble related to the same newly-installed line/circuit that are received after the
preceding repair report is closed and within 30 days following installation
completion) to complete the determination of whether the newly-installed line/circuit
was trouble free within 30 days of installation.
Owest's repair management and tracking systems consist of WFA (Work Force
Administration), MTAS (Maintenance Tracking and Administration System), and
successor repair systems , if any, as applicable to obtain the repair report data for
this measurement. Not included are Call Center Database systems supporting call
centers in logging calls from customers regarding problems or other inquiries (see
OP-SB and OP-ST).
The "following month" includes also the period of a few business da s (typically four
or five) afterward, up to the time when Owest pulls the repair data to begin
processing results for this measurement.
Includes repair and provisioning trouble reports generated by new processes that
supersede or supplement existing processes for submitting repair and provisioning
trouble reports as specified in Owest's documented or agreed upon procedures.
For purposes of calculating OP-, a call center ticket for multiple orders with
provisioning trouble reports will result in all orders reporting trouble counting as a
miss in OP-SB. If a repair trouble report(s) is received for the same orders, the
number of orders counted as a miss in OP-SB for Network reasons will be reduced
by the number of orders with repair troubles counted as a miss in Or-SA.
OP-SR will be counted on a per ticket basis.
Reporting will begin at the time CLECs order the product, in any quantity, for three
consecutive months.
Owest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 46
OP-6 - Delayed Days
Purpose:
Evaluates the extent Owest is late in installing services for customers, focusing on the average number of
days that late orders are completed beyond the committed due date.
Description:
OP-6A - Measures the average number of business da s NOTE 1 that service is delayed beyond the
Applicable Due Date for non-facility reasons attributed to Owest.
Includes all inward orders (Change, New, and Transfer order types) that are
completed/closed during the reporting period , later, due to non-facility reasons, than the
Applicable Due Date recorded by Owest, subject to exclusions specified below.
OP-6B - Measures the average number of business days NOTE 1 that service is delayed beyond the
Applicable Due Date for facility reasons attributed to Owest.
Includes all inward orders (Change, New, and Transfer order types) that are
completed/closed during the reporting period later due to facility reasons than the original
due date recorded by Owest, subject to exclusions specified below.
For both OP-6A and OP-6B:
. Change order types for additional lines consist of "C" orders representing inward activit
. The Applicable Due Date is the original due date or, if changed or delayed by the customer, the most
recently revised due date, subject to the following: If Owest changes a due date for Owest reasons
the Applicable Due Date is the customer-initiated due date, if any, that is (a) subsequent to the
original due date and (b) prior to a Owest-initiated , changed due date, if any. NOTE 2
Time intervals associated with customer-initiated due date changes or delays occurring after the
Applicable Due Date, as applied in the formula below, are calculated by subtracting the latest Owest-
initiated due date, if any, following the Applicable Due Date, from the subsequent customer-initiated
due date, if any. NOTE 2
Reporting Period: One month Unit of Measure: Average Business Days
Reporting Disaggregation Reporting: Statewide level.
Comparisons: Results for products/services listed under Product Reporting under "MSA type
CLEC aggregate, Disaggregation" will be reported for OP-6A and OP-6B according to ordersindividual CLEC involving:
and Owest Retail 1. Dispatches within MSAs;results 2. Dispatches outside MSAs; and3. No dispatches~
Results for products/services listed in Product Reporting under "Zone-type
Disaggregation" will be disaggregated according to installations:4. In Interval Zone 1 areas; and5. In Interval Zone 2 areas.
Formula:
OP-6A = L((Actual Completion Date of late order for non-facility reasons) - (Applicable Due Date of late
order) - (Time intervals associated with customer-initiated due date changes or delays
occurring after the Applicable Due Date)) + (Total Number of Late Orders for non-facility
reasons completed in the reporting period)
OP-6B = L((Actual Completion Date of late order for facility reasons) - (Applicable Due Date of late
order)) - (Time intervals associated with customer-initiated due date changes or delays
occurring after the Applicable Due Date) + (Total Number of Late Orders for facility reasons
completed in the reporting period)
Owest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 47
op. 6 - Delayed Days (continued)
Exclusions:
Orders affected only by delays that are solely for customer and/or CLEC reasons.
Disconnect, From (another form of disconnect) and Record order types.
Records involving official company services.
Records with invalid due dates or a lication dates.
Records with invalid completion dates.
Records with invalid product codes.
Records missinq data essential to the calculation of the measurement per the PID.
Product Reporting:Standards:
MSA-TvDe Disaaareaation -
Resale
Residential sinqle line service Parity with retail service
Business sinqle line service Parity with retail service
Centrex Parity with retail service
Centrex 21 Parity with retail service
DSO (non-designed provisioning)Parity with retail service
PBX Trunks (non-desiqned provisioninq)Parity with retail service
Primary ISDN (non-desiqned provisioning)Parity with retail service
Basic ISDN (non-desiqned provisioninq)Parity with retail service
Owest DSL (non-designed provisioning)Parity with retail service
Unbundled Network Element - Platform Parity with like retail service
(UNE-P) (POTS)
Unbundled Network Element - Platform Parity with retail Centrex 21
(UNE-P) (Centrex 21 )
Unbundled Network Element - Platform Parity with retail Centrex
(UNE-P) (Centrex)
Line Splitting Parity with retail Owest DSL
Loop Splittinq NOTE 3 Diagnostic
Line Sharinq Parity with retail Owest DSL
Sub-Loop Unbundling Diagnostic
Zone-tvDe Disaaareaation -
Resale
Primary ISDN (designed provisioning)Parity with retail service
Basic ISDN (desiqned provisioning)Parity with retail service
DSO (desiqned provisioning)Parity with retail service
DS1 Parity with retail service
PBX Trunks (designed provisioning)Parity with retail service
Owest DSL (desiqned provisioninq)Parity with retail service
DS3 and higher bit-rate services Parity with retail service
(aqqreqate)
Frame Relay Parity with retail service
LIS Trunks Parity with Feature Group D (aggregate)
Unbundled Dedicated Interoffice Transport (UDIT)
UDIT - DS1 level Parity with retail DS1 Private Line- Service
UDIT - Above DS1 level Parity with retail Private Line- Services above DS1
level
Dark Fiber - IOF Diaqnostic
Unbundled Loops:
Analoq Loop Parity with retail Res and Bus POTS with dispatch
Non-loaded Loop (2-wire)Parity with retail ISDN BRI
Non-loaded Loop (4-wire)Parity with retail DS 1 Private Line
DS1-capable Loop Parity with retail DS1 Private Line
xDSL-capable Loop Parity with retail Qwest DSL, with dispatch
ISDN-capable Loop Parity with retail ISDN BRI
ADSL-Qualified Loop Parity with retail Owest DSL, with dispatch
Owest Idaho SGA T Third Revision , Seventh Amended Exhibit B November 30, 2004 Page 48
op. 6 - Dela ed Da s continued
Loop types of DS3 and higher bit-rates
re ate
Dark Fiber - Loo
E911/911 Trunks
. Enhanced Extended Loops (EELs) - (DSO
level
. Enhanced Extended Loops (EELs) - (DS1
level
. Enhanced Extended Loops (EELs) - (DS3
level
Availability:
Available
OP-6A: Parity with retail DS1 Private Line
OP-6B: Diagnostic
Diagnostic
Notes:
1. For OP-6A-3 and OP-6B-, Saturday is counted as a business day for
all orders for Resale Residence, Resale Business, and UNE-
(POTS), as well as for the retail analogues specified above as
standards. For all other products under OP-6A-3 and OP-6B-, and
for all products under OP-6A-
, -
6A-
, -
6A-
, -
6A-
, -
6B-
, -
6B-
, -
6B-, and -6B-, Saturday is counted as a business day when the
service order is due or completed on Saturday.2. According to this definition , the Applicable Due Date can change, per
successive customer-initiated due date changes or delays, up to the
point when a Qwest-initiated due date change occurs. At that point
the Applicable Due Date becomes fixed (Le., with no further changes)
as the date on which it was set prior to the first Qwest-initiated due
date change, if any. Following the first Qwest-initiated due date
change, any further customer-initiated due date changes or delays are
measured as time intervals that are subtracted as indicated in the
formula. These delay time intervals are calculated as stated in the
description. (Though infrequent, in cases where multiple Qwest-
initiated due date changes occur, the stated method for calculating
delay intervals is applied to each pair of Qwest-initiated due date
change and subsequent customer-initiated due date change or delay.
The intervals thus calculated from each pairing of Qwest and
customer-initiated due dares are summed and then subtracted as
indicated in the formula.) The result of this approach is that Qwest-
initiated impacts on intervals are counted in the reported interval, and
customer-initiated impacts on intervals are not counted in the reported
interval.3. Reporting will begin at the time GLEGs order the product, in any
uantit ,for three consecutive months.
Qwest Idaho SGA T Third Revision, Seventh Amended Exhibit B November 30, 2004 Page 49
OP-7 - Coordinated "Hot Cut" Interval - Unbundled Loop
Purpose:
Evaluates the duration of completing coordinated "hot cuts" of unbundled loops, focusing on the time
actually involved in disconnecting the loop from the Qwest network and connecting/testing the loop.
Description:
Measures the average time to complete coordinated "hot cuts" for unbundled loops, based on intervals
beginning with the "lift" time and ending with the completion time of Qwest's applicable tests for the
loop.
Includes all coordinated hot cuts of unbundled loops that are completed/closed during the
reporting period, subject to exclusions specified below.
Hot cut" refers to moving the service of existing customers from Qwest's switch/frames to the
CLEC's equipment, via unbundled loops, that will serve the customers.
Lift" time is defined as when Qwest disconnects the existing loop.
Completion time" is defined as when Qwest completes the applicable tests after connecting the
loop to the CLEC.
Reporting Period: One month Unit of Measure: Hours and Minutes
Reporting Comparisons: CLEC Disaggregation Reporting: Statewide level.
aggregate and individual CLEC
results
Formula:
L(Completion time - Lift time) -;- (Total Number of unbundled loops with coordinated cutovers
completed in the reporting period)
Exclusions:
Time intervals associated with GLEe-caused delays.
Records missing data essential to the calculation of the measurement per the PID.
Invalid start/stop dates/times or invalid scheduled date/times.
Product Reporting: Coordinated Unbundled Standard:
Loops - Reported separately for:CO: 1 hour
Analog Loops All Other States: Diagnostic in light of OP-
All other Loop Types (Coordinated Cuts On Time)
Availability:Notes:
Available
Qwest Idaho SGAT Third Revision, Seventh Amended Exhibit B November 30,2004 Page SO