HomeMy WebLinkAbout200304172nd Request of Commission to Qwest.pdf~,Cf
WELDON B. STUTZMAN
DEPUTY ATTORNEY GENERAL
IDAHO PUBLIC UTILITIES COMMISSION
PO BOX 83720
BOISE, IDAHO 83720-0074
(208) 334-0318
ISB NO. 3283
EECEIVED
LEO
..----..
2CD3 FEe -5 AN 8: 48
, .: , , ",
' c
, '' "
unLiT it~ Cu;;riisSION
':d
Street Address for Express Mail:
472 W. WASHINGTON
BOISE, IDAHO 83702-5983
Attorney for the Commission Staff
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
IN THE MATTER OF THE APPLICATION OF
QWEST CORPORATION FOR DEREGULATION OF BASIC LOCAL
EXCHANGE RATES IN ITS BOISE, NAMPA
CALDWELL, MERIDIAN, TWIN FALLS,
IDAHO FALLS, AND POCATELLO EXCHANGES.
CASE NO. QWE- T -02-
SECOND PRODUCTION
REQUEST OF THE
COMMISSION STAFF TO
QWEST CORPORATION
The Staff of the Idaho Public Utilities Commission by and through its attorney of record
Weldon B. Stutzman, Deputy Attorney General, requests Qwest Corporation (Qwest) provide the
following documents and information, pursuant to Commission Rule of Procedure 225, IDAP A
31.01.01.225, on or before February 21, 2003.
This Production Request is to be considered as continuing, and Qwest is requested to
provide, by way of supplementary responses, additional documents and information that it or any
person acting on its behalf may later obtain that will augment the documents and information
produced. For each request, please state the name of the person(s) preparing the answers, along
with the job title of such person( s) and the witness who can sponsor the answer at hearing.
responses include workpapers or spreadsheets, please provide the responses on computer media
(3.5" diskette or CD) using Lotus 123 (4.0) or Excel 5.0 language.
SECOND PRODUCTION REQUEST
TO QWEST FEBRUARY 4, 2003
DEFINITIONS and INSTRUCTIONS
The words "the Company" and "Qwest" refer to Qwest Corporation
Document" includes any written or recorded or graphic matter, however produced or
reproduced, including but not limited to correspondence, telegrams, contracts
agreements, notes in any form, memoranda, diaries, voice recording tapes, microfilms
microfiche, pictures, data processing cards or discs, computer tapes and other computer-
generated and stored information or data base, work papers, calendars, minutes of
meetings or any other writings or graphic matter, including copies containing marginal
notes or variations of any of the foregoing, now or previously in your possession.
(1)
(2)
In the event that any document called for is to be withheld on the basis of a claim
of privilege, identify the item being withheld as follows: addressor; addressee;
indicated or blind copies; and all persons to whom distributed, shown, or
explained. Also identify the nature and legal basis of the privilege asserted.
In the event that any document called for by this request has been destroyed or
transferred beyond the control of the Company, (a) state the identity of the person
by whom it was destroyed and person authorizing destruction and the time, place
and method of, and reasons for its destruction, and if destroyed or disposed of by
operation of a retention policy, state the retention policy; and, iftransferred, the
person authorizing transfer and the time, place, and method of, and reason for, its
transfer, and (b) identify it as follows: addressor; addressee; indicated or blind
copies; dates; subject matter; number of pages, attachments or appendices; and all
persons to whom distributed, shown, or explained.
Identify,
" "
Identity," or "Identification " when used in reference to an individual person
means to state that person s full name and residence address, including zip code and
phone number, if known, and present or last known business position and duties and
business address, if known.
Identify,
" "
Identity," or "Identification " when used in reference to a document, means
to state the type of document (e., computer-stored information, microfilm, letter
memorandum, policy circular, minute book, telegram, chart, etc.), or some other means
of identifying it, and its present location and custodian. If any such document was, but is
no longer, in your possession or subject to your control, state what disposition was made
of it, and if destroyed or disposed of by operation of a retention policy, state the retention
policy.
Identify,
" "
Identity," or "Identification " when used in reference to a number or other
specific information, means to identify the document containing this information or some
other means of identifying it, and to specify the approximate location of the requested
information within that document.
SECOND PRODUCTION REQUEST
TO QWEST FEBRUARY 4, 2003
Identify,
" "
Identity," or "Identification " when used in reference to a business
organization, means to state the corporate name or other names under which said
organization does business, and location of its principal place ofbusiness.
Note: to the extent the specific information requested herein is not available, but analogous or
reasonably comparable information is available, please provide that information instead, and
explain any differences between what was requested and what has been provided. To the extent
the information requested herein is not available in the exact format requested, but the
information can be more easily provided in a different format, please provide your response in
the more readily available format, but explain any differences in format. Please provide an
electronic copy of the requested information in Excel spreadsheet or compatible format.
Request for Production No. 12: Please provide electronic copies of all numerical exhibits filed
by Qwest in this proceeding. Provide numerical exhibits in standard spreadsheet format (e.
Excel) with functioning macros and formulas used to generate any computed numbers.
Request for Production No. 13: To the extent not already provided, please provide all source
documents and workpapers supporting all exhibits filed by Qwest in this proceeding. To the
extent already provided, please identify all source documents and workpapers supporting each
Exhibit filed by Qwest in this proceeding. This request includes source documents supporting
workpapers and source documents supporting other source documents. The intent of this request
is to ensure that we have received all available documentation which supports the information
provided in the Exhibits. If available, provide this information in standard spreadsheet format
(e., Excel) with functioning macros and formulas used to generate any computed numbers.
Request for Production No. 14: Please refer to Qwest's response to Staff Request for
Production 1-6. Please provide copies of the "national statistics" referenced in this response.
Request for Production No. 15: Please refer to Qwest's response to Staff Request for
Production 1-6. Please provide the requested information for all wireless service providers own
by or affiliated with the Company or Qwest Communications International Inc.
Request for Production No. 16: For each ofthe 7 exchanges at issue in this proceeding, please
provide the following: number of residential customers; number of business customers; number
of residential access lines; and, number of business access lines.
Request for Production No. 17: For each of the 7 exchanges at issue in this proceeding, please
provide the number of residential customers who also receive wireless service from a wireless
service provider own by or affiliated with the Company or Qwest Communications International
Inc.
Request for Production No. 18: Please refer to Qwest's response to Staff Request for
Production 1-7. Please provide the requested information for consumers who are customers of
both the Company and any wireless service provider own by or affiliated with the Company or
Qwest Communications International Inc.
SECOND PRODUCTION REQUEST
TO QWEST FEBRUARY 4 2003
Request for Production No. 19: Please provide copies of all data or other information reviewed
by Qwest (other than the information previously filed by Qwest in this proceeding) which tends
to prove that wireless services are "functionally equivalent" to Qwest's basic local exchange
servIce.
Request for Production No. 20: Please provide copies of all data or other information reviewed
by Qwest (other than the information previously filed by Qwest in this proceeding) which tends
to prove that wireless services are not functionally equivalent" to Qwest's basic local exchange
servIce.
Request for Production No. 21: Please provide copies of all data or other information reviewed
by Qwest (other than the information previously filed by Qwest in this proceeding) which tends
to prove that wireless services are "competitively priced" with Qwest's basic local exchange
servIce.
Request for Production No. 22: Please provide copies of all data or other information reviewed
by Qwest (other than the information previously filed by Qwest in this proceeding) which tends
to prove that wireless services are not competitively priced" with Qwest's basic local exchange
servIce.
Request for Production No. 23: Please provide copies of all data or other information reviewed
by Qwest (other than the information previously filed by Qwest in this proceeding) which tends
to prove that wireless services are "reasonably available to both residential and small business
customers" in the 7 exchanges at issue in this proceeding.
Request for Production No. 24: Please provide copies of all data or other information reviewed
by Qwest (other than the information previously filed by Qwest in this proceeding) which tends
to prove that wireless services are not reasonably available to both residential and small
business customers" in the 7 exchanges at issue in this proceeding.
Request for Production No. 25: Please refer to page 19 of the testimony of Douglas Lincoln.
Please provide copies of the 36 responses referenced on line 9.
Request for Production No. 26: Please refer to page 20 of the testimony of Douglas Lincoln.
Please provide copies of the questionnaire referenced on line 17.
Request for Production No. 27: Please refer to page 27 of the testimony of Douglas Lincoln.
Please provide a complete narrative explanation of the "data editing" referenced on line 3.
Request for Production No. 28: Please refer to Exhibit 8 attached to the testimony of Douglas
Lincoln. Please provide the information included in this exhibit for each of the 7 exchanges at
issue in this proceeding.
Request for Production No. 29: Please refer to Exhibit 10 attached to the testimony of Douglas
Lincoln. Please provide the information included in this exhibit for each of the 7 exchanges at
issue in this proceeding.
SECOND PRODUCTION REQUEST
TO QWEST FEBRUARY 4, 2003
Request for Production No. 30: Please refer to page 9 of the testimony of Harry Shooshan.
Please provide a copy of the presentation referenced in footnote 15.
Request for Production No. 31: Please refer to page 11 of the testimony of Douglas Lincoln.
Please provide a copy of the article referenced in footnote 21.
DATED at Boise, Idaho, this day of February 2003.
Weldon B. Stutzman
Deputy Attorney General
Technical Staff: Joe Cusick
Wayne Hart
SECOND PRODUCTION REQUEST
TO QWEST FEBRUARY 4, 2003
CERTIFICATE OF SERVICE
HEREBY CERTIFY THAT I HAVE THIS 5TH DAY OF FEBRUARY 2003
SERVED THE FOREGOING SECOND PRODUCTION REQUEST OF THE
COMMISSION STAFF TO QWEST CORPORATION, IN CASE NO. QWE-02-
BY MAILING A COpy THEREOF, POSTAGE PREPAID, TO THE FOLLOWING:
MARY S HOBSON
STOEL RIVES LLP
SUITE '1900
101 S CAPITOL BLVD
BOISE ID 83702
ADAM L SHERR
QWEST
1600 7TH AVE, ROOM 3206
SEATTLE WA 98191
CONLEY WARD
GIVENS PURSLEY LLP
277 N 6TH ST, SUITE 200
PO BOX 2720
BOISE ID 83701-2720
CLAY R STURGIS
MOSS ADAMS LLP
601 W RIVERSIDE, SUITE 1800
SPOKANE WA 99201-0663
DEAN J MILLER
McDEVITT & MILLER LLP
420 W BANNOCK ST
PO BOX 2565 (83701)
BOISE ID 83702
BRIAN THOMAS
TIME WARNER TELECOM
223 TAYLOR AVE NORTH
SEATTLE WA 98109
DEAN J MILLER
McDEVITT & MILLER LLP
420 W BANNOCK ST
PO BOX 2565 (83701)
BOISE ID 83702
SUSAN TRAVIS
WORLDCOM INC
707 17TH STREET, SUITE 4200
DENVER CO 80202
DEAN J MILLER
McDEVITT & MILLER LLP
420 W BANNOCK ST
PO BOX 2565 (83701)
BOISE ID 83702
MARY JANE RASHER
AT&T COMMUNICATIONS OF THE
MOUNTAIN STATES INC
10005 S GWENDEL YN LANE
HIGHLANDS RANCH, CO 80129-6217
CERTIFICATE OF SERVICE
MARLIN D ARD
WILLARD L FORSYTH
HERSHNER, HUNTER, ANDREWS, NEILL
& SMITH, LLP
180 E 11 TH AVE
PO BOX 1475
EUGENE OR 97440-1475
JOHN GANNON
ATTORNEY AT LAW
1101 W RIVER, SUITE 110
BOISE ID 83702
DEAN RANDALL
VERIZON NORTHWEST INC
17933 NW EVERGREEN PKWY
BEA VERTON OR 97006-7438
BEN JOHNSON ASSOCIATES INC
2252 KlLLEARN CENTER BLVD
TALLAHASSSEE FL 32308
~~~
SECRETARY
CERTIFICATE OF SERVICE