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
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