HomeMy WebLinkAbout20090731Notice of Withdrawal of Motion.pdfWELDON B. STUTZMAN
DEPUTY ATTORNEY GENERAL
IDAHO PUBLIC UTILITIES COMMISSION
POBOX 83720
BOISE, IDAHO 83720-0074
TELEPHONE: 208-334-0318
E-MAIL: weldon.stutzmanaYpuc.daho.gov
IDAHO STATE BAR NO. 3283
RECEIVED
2009 JUl 3' AM '0: 44
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U IILlT!ES COMM SSJON
STREET MAILING ADDRESS:
472 WEST WASHINGTON STREET
BOISE, IDAHO 83702-5918
Attorney for the Commission Staff
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
IN THE MATTER OF THE PETITION OF
QWEST CORPORATION REQUESTING
AUTHORIZATION TO WITHDRAW ITS
STATEMENT OF GENERALLY
A V AILABLE TERMS AND CONDITIONS
)
) CASE NO. QWE-T-08-04
)
) COMMISSION STAFF NOTICE
) OF WITHDRAWAL OF MOTION
) FOR PROCEDURAL ORDER
On March 17,2009, the Commission issued Order No. 30750 in this case that, in par,
granted Qwests Motion to bifucate the issues being presented. Specifically, the Commission
granted Qwest s Motion to allow withdrawal of its Statement of Generally Available Terms and
Conditions (SGAT), and leave open issues regarding Qwest s Motion to also withdraw its
Performance Assurance Plan (PAP) and related performance indicator definitions (PID). The
Commission in its Order noted that a multi-state review, identified as the ROC review process,
was underway to review the PAP and PIDs. Order No. 30750, p. 1. In its Motion to bifurcate,
Qwest asked the Commission to hold the PAP and PID issues in abeyance "until April 15,2009
- a date by which, Qwest understads, the ROC review is scheduled to be completed." Order
No. 30750, p. 8. The Commission granted Qwests Motion to hold the PAP and PID issues in
abeyance until after completion of the multi-state ROC review, and directed the paries to
provide a procedural schedule to the Commission once the review process was completed. The
multi-state review process was completed as of June 30, 2009, when the final report was issued.
COMMISSION STAFF NOTICE OF
WITHDRAWAL OF MOTION
FOR PROCEDURAL ORDER 1
On July 8, 2009, Commission Staff filed a Motion for Procedural Schedule. On July
29,2009, the paries fied a Stipulation and Jointly Proposed Procedural Schedule. As par of the
Stipulation, Staff agreed to withdraw its Motion for Procedural Schedule. Staff therefore fies
this Notice of Withdrawal of its Motion pursuant to Commission Rule of Procedure 68, IDAPA
31.01.01.068.
Respectfully submitted this "31r day of July 2009.
n~
Weldon B. Stutzman
Deputy Attorney General
bls/N :QWE- T -08-04_ ws_Motion4
COMMISSION STAFF NOTICE OF
WITHDRAWAL OF MOTION
FOR PROCEDURAL ORDER 2
CERTIFICATE OF SERVICE RECEI
2009 JUt 31 AM 10: 45
I HEREBY CERTIFY THAT I HAVE THIS 31st DAY OFJfBl.na9gl:tSl~:.R.VED
THE FOREGOING COMMISSION STAFF NOTICE OF WITim~~m~
FOR PROCEDURAL ORDER, IN CASE NO. QWE-T-08-4, BY MAILING A t'èW
THEREOF, POSTAGE PREPAID, TO THE FOLLOWING:
MARY S HOBSON
QWEST CORPORATION
999 MAIN ST, SUITE 1103
BOISE ID 83702
E-MAIL: mar.hobson(aqwest.com
ADAMLSHERR
CORPORATE COUNSEL
QWEST CORPORATION
1600 7TH AVE, ROOM 3206
SEATTLE WA 98191
E-MAIL: adam.sherr(aqwest.com
MICHEL SINGER-NELSON
ASSOCIATE GENERAL COUNSEL
360NETWORKS (USA) INC
867 COAL CREEK CIRCLE, SUITE 160
LOUISVILLE CO 80027
E-MAIL: mnelson(a360.net
DOUGLAS K DENNEY
DIRECTOR COSTS & POLICY
INTEGRA TELECOM
6160 GOLDEN HILLS DR
GOLDEN VALLEY MN 55416-1020
E-MAIL: dkdenney(aintegratelecom.com
~~
SECRETARY
CERTIFICATE OF SERVICE