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HomeMy WebLinkAbout20050617Comments.pdf(;J :' f\,\L.0LI r:"lL. IT.i..::4 Conley E. Ward (ISB No. 1683) GIVENS PURSLEY LLP 601 W. Bannock Street O. Box 2720 Boise, ID 83701-2720 Telephone No. (208) 388-1200 Fax No. (208) 388-1300 cew~gi venspursley .com "fl ' ", \ , 1:.J"'F/, - u . v ,... ..t1 !"~" UHfl " tlTltlTIES GOMt*'fISSION Attorneys for Idaho Telephone Association 1233\190\ITA Comments. doc BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE APPLICATION OF WWC HOLDING CO., INC. D/B/A CELLULAR-ONECID SEEKING DESIGNATION AS AN ELIGIBLE TELECOMMUNICATIONS CARRIER THAT MA Y RECEIVE FEDERAL UNIVERSAL SERVICE SUPPORT. Case No. WST-05- IDAHO TELEPHONE ASSOCIATION' CO MMENTS The Idaho Telephone Association ("ITA"), by and through its attorneys, Givens Pursley LLP, files these Comments in response to the Idaho Public Utilities Commission s Notice of Request for Additional Public Comments (Order No. 29791) in the above entitled case Notice The Commission s Notice requests comments on whether or not the Commission should adopt the Federal Communications Commission s rules regarding the designation of eligible telecommunications carriers ("ETC"), codified at 47 CFR 9 54.202. For the reasons previously stated in its Motion to Dismiss, the ITA urges the Commission to adopt the FCC's rules in their entirety. Taken as a whole, the rules provide a reasonable and predictable framework for future ETC decisions, and they are generally consistent with previously enunciated Commission policies. IDAHO TELEPHONE ASSOCIATION'S MOTION TO DISMISS - Page 1 of 4 The ITA is particularly concerned with the adoption of two rules. The first is section (a) of the FCC rules, 47 CFR 9 54.202(a)(1). Subsection A of this initial rule requires an ETC applicant to make a number of commitments designed to insure that the applicant will make reasonable efforts to fulfill the carrier of last resort obligations that come with ETC status. Subsection B of the rule requires submission of five-year plans that explain precisely where and how USF support will be deployed to serve the public interest. The ITA submits that both aspects of this rule are reasonable and necessary to insure that public funds are in fact used for their intended purposes. The second rule that the IT A regards as particularly crucial appears in 47 CFR 9 54.202(c). This rule requires the Commission to conduct a public interest review and, in cases where an ETC applicant seeks designation for an area below the full study area of a rural telephone company, a "cream skimming" analysis. Again, this rule is both reasonable and necessary to prevent unfair competition and excessive USF support for competitive ETCs. Finally, the ITA suggests one small addition to the FCC's rules. As written, Section 54.202(a)(5) requires an ETC applicant to "acknowledge" that it may be required to provide equal access to long distance carriers if no other ETC is providing equal access within the service area. The IT A suggests that a mere "acknowledgement" of this obligation is meaningless if the carrier can later plead that it is technically incapable of meeting this requirement when compelled to do so. Consequently, the IT A recommends that the Commission additionally require applicants to explain how they would provide equal access to long distance carriers if that becomes necessary. IDAHO TELEPHONE ASSOCIATION'S MOTION TO DISMISS - Page 2 of 4 RESPECTFULLY SUBMITTED this 17th day of June, 2005. URSLEY LLPBy LJ~ley E Attorneys for Idaho Telephone Association IDAHO TELEPHONE ASSOCIATION'S MOTION TO DISMISS - Page 3 of 4 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on this 17th day of June, 2005 , I caused to be served a true and correct copy of the foregoing document by the method indicated below and addressed to the following: S. Mail Hand Delivered Overnight Mail Facsimile Electronic Mail Jean Jewell Idaho Public Utilities Commission 472 W. Washington Street O. Box 83720 Boise, ID 83720-0074 S. Mail Hand Delivered Overnight Mail Facsimile Electronic Mail Dean J. Miller MCDEVITT & MILLER LLP 420 W. Bannock Street O. Box 2564 Boise, ID 83701-2564 S. Mail Hand Delivered Overnight Mail Facsimile Electronic Mail Mark J. Ayotte BRIGGS AND MORGAN P 2200 First National Bank Building 332 Minnesota Street St. Paul, MN 55101 S. Mail Hand Delivered Overnight Mail Facsimile Electronic Mail Kira D. Pfisterer, Deputy Attorney General Idaho Public Utilities Commission 472 W. Washington Street (83702) P. O. Box 83720 Boise, ID 83720-0074 S. Mail Hand Delivered Overnight Mail Facsimile Electronic Mail Dan Trampush Moss Adams LLP 900 Washington Street, Suite 700 Vancouver, W A 98660 S. Mail Hand Delivered Overnight Mail Facsimile Electronic Mail Ingo Heningsen Regulatory Manager Frontier Communications 4 Triad Center, Suite 200 Salt Lake City, UT 84180 S. Mail Hand Delivered Overnight Mail Facsimile Electronic Mail Charles L. Best Associate General Counsel Frontier Communications 4400 NE 7ih Avenue Vancouver, WA 98662 IDAHO TELEPHONE ASSOCIATION'S MOTION TO DISMISS - Page 4 of 5 S. Mail Hand Delivered Overnight Mail Facsimile Electronic Mail Calvin K. Simshaw CenturyTel 805 Braodway, VH1065 Vancouver, W A 98660-3277 IDAHO TELEPHONE ASSOCIATION'S MOTION TO DISMISS - Page 5 of 5