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HomeMy WebLinkAbout20090730Stipulation, Jointly Proposed Schedule.pdfMary S. Hobson Attorney & Counselor 999 Main, Suite 1103 Boise, ID 83702 208-385-8666 REeE 2009 JUl 29 PH~: 54 IDAHO PUBLiC UTILITIES COMMISSION July 28, 2009 VIA HAD DELIVERY Jean D. Jewell, Secretar Idaho Public Utilities Commission 472 West Washington Boise, ID 83702-5983 RE: Docket No. QWE- T -08-04 Dear Ms. Jewell: Enc10sed for filing with this Commission are an original and seven (7) copies of the Stipulation and Jointly Proposed Procedural Schedule prepared by the paries to this docket. If you have any questions, please contact me. Than you for your cooperation in this matter. Very trly yours, /Útt"o/(lf!1h~ Mar S. ~bson Enc10sures cc Service List Mary S. Hobson (ISB. No. 2142) 999 Main, Suite 1103 Boise, ID 83702 Tel: 208-385-8666 mary.hobson(igwest.com RECEIVED 2009 JUl29 PH~: 54 Adam L. Sherr Corporate Counsel, Qwest 1600 7th Avenue, Room 1506 Seattle, W A 98191 Tel: (206) 398-2507 adam. sherr(iqwest. com Attorneys for Qwest Corporation BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION In Re WITHDRAWAL of QWEST COPORATION'S STATEMENT OF GENERAL y AVAILABLE TERMS AND CONDITIONS Case No. QWE-T-08- 04 Stipulation of the Partes and Jointly Proposed Procedural Schedule Qwest Corporation ("Qwest"), the Staff of the Idaho Public Utilities Commission ("Staff'), Integra Telecom ofIdaho, Inc., and 360Networks (USA) inc., (all collectively referred to as "the Paries") by and through their respective attorneys and representatives and pursuant to the this Commission's Order No. 30750 stipulate and agree as follows: 1. On March 17,2009 the Commission entered is Order No. 30750, which bifucated certain issues in the above referenced docket, held issues peraining to the continuance of Qwests PAP in abeyance and, at page 9, contained the following language concerning the development of a further procedural schedule: Stipulation and Jointly Proposed Procedural Schedule - 1 - The Commission grants Qwests motion to hold the PAP issues in abeyance until after completion of the multi-state ROC review. Qwest, Staff and the Intervenors should thereafter provide a procedural schedule to the Commission for approval, or request a prehearing conference if the paries are unable to agree on the appropriate schedule. 2. On July 15,2009 the Paries met and reached the following agreements and developed the proposed procedural schedule described below. 3. Solely for the purpose of comments under the proposed schedule outlined below, the Paries agree that the final report of that certain ROC review process referenced in Order No. 30750 ("Liberty report") may be placed in the record. In reaching this agreement all Paries retain their respective rights to argue whether or not said report constitutes evidence relevant to the issues raised in Qwest s Petition initiating this docket. 4. Based on the execution of this Stipulation and Jointly Proposed Procedural Schedule, Staff agrees to withdraw its Motion/or Procedural Order filed July 8, 2009. 5. The Paries agree to file written comments on the following schedule: August 14, 2009- Qwest opening comments September 11, 2009-Remaining paries' responsive comments September 25, 2009-Remaining paries' Reply, if any, to comments filed September 11 October 9, 2009-Qwest Reply to comments fied September 11 and September 25 6. The Paries agree that detailed discussion of the modifications recommended by the Liberty report to Qwests Performance Indicator Definitions (PIDs) will be reserved for a later procedure, if necessary. PARTY IPUC Staff DATE J ~Weid0utzman Deputy Attorney General J~li, "2111 2.&õ q Stipulation and Jointly Proposed Procedural Schedule - 2 - Qwest Corporation /l¿t¿n Iogvri MarS. H son Attorney or Qwest Corporation 360Networks (USA) inc. Michel L. Singer Nelson Attorney for 360Networks (USA) inc. Integra Telecom of Idaho, Inc. Douglas Denney Company Representative Stipulation and Jointly Proposed Procedural Schedule - 3 - 1 / 'l 7 / !J1 7 7 Qwest Corpratin Ma S. Ho Attorney for Qwest Coiportion 360Netorks (USA) inc. MichelL. Attorney for 3 Netorks (USA) inc. Do Denney Compay Representave Stipulation and Jointly Propsed Procedurl Schedule " . Qwest Corporation Mar S. Hobson Attorney for Qwest Corporation 360Networks (USA) inc. Integra Telecom of Idaho, Inc. Douglas Denney Company Representative Stipulation and Jointly Proposed Procedura Schedule - 3 - CERTIFICATE OF SERVICE I do hereb. y certify that a tre and correct copy of t~:fregoing Stipulation and Jointly Proposed Procedural Schedule was sered on the~.l day of July, 2009 on the followingindividuals: . f)~ iJ Jean D. Jewell i Hand DeliveryWeldon B. Stutzmn U. S. Mail Idaho Public Utilties Commssion Overnight Delivery 472 West Washington Street FacsimileP.O. Box 83720 Email Boise, ID 83702 ji ewell~uc.state.id.us Douglas K, Denney Integra Telecom, Inc. 6160 Golden Hils Drive Golden Valley, MN 55416 dkdeneyCiintegratèlecom.com Michel Singer Nelson Associate General Counsel 360networks (USA) Inc. 867 Coal Creek Circle, Suite 160 Louisvile, CO 80027 mnelsonCi3 60 .net Hand Delivery U. S. Mail Overnght Delivery Facsimile i Email Hand Delivery U. S. Mail Overnght Delivery Facsimile i Email Gregory L. Rogers Senior Corporate Counsel Level 3 Communcations LLC 1025 Eldorado Boulevard Broomfeld, CO 80021 greg.rogersCâ)leve13 . com Hand Delivery U. S. Mail Overnght Delivery Facsimile -- Email /Ú~&t~ Mar S. bson Attorney for Qwest Corporation re