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HomeMy WebLinkAbout20021209_343.pdfDECISION MEMORANDUM TO:CO MMISSI 0 NER KJELLAND ER COMMISSIONER SMITH COMMISSIONER HANSEN JEAN JEWELL RANDY LOBB DON HOWELL JOE CUSICK BIRDELLE BROWN CAROLEE HALL DOUG COOLEY BEVERLY BARKER GENE FADNESS TONY A CLARK RON LAW WORKING FILE FROM:WAYNE HART DATE:DECEMBER 6, 2002 RE:QWEST TARIFF ADVICE NOS 02-24-N AND 02-06-S REDUCING THE CHARGES FOR PAL LINES. On November 12, 2002, Qwest Corporation submitted Tariff Advice Nos. 02-24-N and 02-06-S reducing the rates for Public Access Line (PAL) service, which is provided to payphone operators. Qwest indicated the filing was being made to comply with FCC Order No. 02-025. Advice 02-24-N reduces the recurring charge rates for a flat rate Basic PAL line from the current rate for a business line (now either $27.40 or $30.40) to a rate of $15.10. The rate for a Smart PAL was reduced from $32.39 to $15.71. The rate for call screening was not changed and remains at $2.00. The rate for a PAL line carrier package (typically purchased by interexchange carriers, and includes call screening and local call restrictions) was reduced from $26.75 to $17.10. Advice No. 02-06-S reduces the rates for the various versions of Basic PAL service to $16.30 from the current rates of$51.71to $52., depending upon rate zone. Measured PAL is reduced to $15., from the current levels of $32.40 to $38.41 with the measured usage rate reduced from the current rate of 4 cents for the initial minute and 1.5 cents for all subsequent DECISION MEMORANDUM DECEMBER 6, 2002 minutes, to a flat rate of 1 cent per minute. The current tariff includes an allowance of $3 .00 of usage charges before any usage charges are incurred. This would be changed to an allowance of 600 calls before usage charges would be incurred. The rates for Smart PAL service would be reduced to $16.91 for flat rate service or $15.77 for message PAL service. The rate per call for message line service would be reduced from 9 cents per call to 2 cents per call. The filing for Southern Idaho has an effective date of December 13 , 2002, while the filing for Northern Idaho has an effective date of December 20. FCC Order No. 02-025 (The Wisconsin Order) This Order is a decision in a complaint case filed by Wisconsin local exchange carriers regarding elements of a series of FCC decisions known collectively as the Payphone Orders. Among other things, this Order clarifies the previous decisions of the FCC in regards to the prices that LECs (local exchange companies) and BOCs (Bell operating companies) may charge for services provided to payphone service providers, including themselves. The Payphone Orders had indicated that the determination of the specific prices at which these services were to be provided was to remain the jurisdiction of the state commissions, but that the state commissions were to set prices that clearly did not allow any subsidization of any other non- payphone services. For BOCs, the FCC indicated these prices should be "cost based" and subject to the new services test identified by the FCC in its Computer III proceedings. This Order clarified that the new services test required prices to be based upon a forward- looking cost model, similar to the manner in which prices are established for unbundled network elements (UNEs). The Order also clarified that the overhead allocation and loading factors to be used should be those used for the pricing ofUNEs, and if not, any differences needed to be justified. The FCC did not require the rates to be the same as UNE rates, nor the use of the TELRIC model used for UNE rates, but indicated a forward-looking cost model, such as TELRIC or TSLRIC should be used. The FCC also specified that all revenues, including any revenues from measured usage fees or subscriber line charges should also be taken into account in the establishment of the rates. DECISION MEMORANDUM DECEMBER 6, 2002 Staff Analysis Upon request from Staff, Qwest provided copies of the cost study used to establish the proposed rates. Qwest used a TSLRIC model. Staff performed a cursory review of the cost study, and none of the inputs and assumptions used in the analysis appeared to be significantly out of range of our expectations. However, the cost study was only recently provided (December 2002), so Staffs review was far from thorough. Staffhas compared the final results of this cost study with those conducted for UNEs, but has not had an opportunity to compare the details of the various models, inputs or assumptions. The loading factors and overhead allocations appear to be consistent with those used in the UNE cost proceedings. The proposed rates are in the high end of the range of prices produced by the different models used in the UNE cost discussions, and slightly higher than the rates eventually filed by Qwest that had been indexed to rates established by the Colorado Commission. This filing also reduces the rates charged for both message and measured usage. (Smart PAL lines have usage rates on a per call basis; Measured Basic PAL lines have usage rates on a per minute basis.) The proposed rates (1 cent per minute for measured service, 2 cents per call for Smart PAL message service) are also supported by outputs from the cost study. Both usage rates go into effect after a 600 call per month allowance so no usage charges are incurred on the first 600 calls placed on each line each month. This is a change for Measured Basic PAL lines as the current allowance is $3.00 regardless of the number of calls. A revenue impact analysis submitted by Qwest indicated the average line did not exceed this 600-call allowance, and therefore indicated no revenue impact to the change in the usage charges and essentially no revenue from usage charges. Staff does not agree with the logic of this study, as the usage charges are not imposed on an average basis and would have been and will still be incurred by any high usage lines. As the total revenue from the line, including the revenue from usage charges is to be used in determining whether the rates are in compliance with the Wisconsin Order, this error in logic may be significant. However, Staff accepts that the allowance is high enough to significantly limit the overall revenue from usage fees and that the cumulative financial impact of these usage charges would be minimal. In addition, Staff asked for a cost study for call screening (toll restriction) or fraud protection services even though no change was proposed in this rate at this time. The current rate is $2.00 per month. This is only a separate product in the tariff for North Idaho. In Southern DECISION MEMORANDUM DECEMBER 6, 2002 Idaho the rate for a basic PAL line with fraud protection is currently priced $2.00 more than the rate for a Basic PAL line without fraud protection. However, this filing prices both lines the same, essentially eliminating any charge for fraud protection. Qwest provided a TSLRIC model cost study, which produces a final rate of $0.11 (eleven cents) per month. Qwest does not currently have UNE rates for either call screening or fraud protection in its Statement of Generally Accepted Terms (SGA T), so no direct comparison is possible. However, this is less than the $0.16 (sixteen cents) rate for toll restriction in some of Qwest's negotiated interconnection agreements, and it is also at the upper end of the range expected by Staff. Qwest has informed Staff that it intends to comply with the Wisconsin Order in two steps. The first step, the current filing, reduced the rates for the actual PAL line and for usage elements. The second step, which they indicated would be made before the second quarter of 2003 , would bring the rates for call screening/fraud protection into compliance. This second step would involve an increase of eleven cents to the rate for Basic PAL lines with fraud protection in Southern Idaho, and a reduction in the rate for the stand-alone product of call screening in North Idaho from $2.00 to 11 cents. Staff is concerned that the delay in filing this second step allows Qwest to provide discriminatory service to itself, and will harm the independent payphone providers. Qwest primarily purchases the Smart PAL product, which includes call screening, fraud protection, coin supervision and other features that are provided by the switch. Independent payphone providers typically purchase the Basic PAL line, using the intelligence built into their payphones to provide coin supervision and other features, but must rely upon the LEC to provide call screening. Without the reduction in the price of call screening the price of a Basic PAL line plus call screening would exceed the price of a Smart PAL line, providing a competitive advantage to Qwest. In response to Staff inquiries as to why the delay to the call screening/fraud protection rate changes, Qwest indicated it was due to the timing of filings at the federal level. Staff fails to understand why an Idaho intrastate rate change should be delayed to accommodate a federal filing. While the impact of the Wisconsin Order is primarily to the rates charged by BOCs for service they provide to payphone companies, it may also affect the rates charged by other LECs in Idaho. In that Order, the FCC found that the Telecommunications Act of 1996 (Act) provided DECISION MEMORANDUM DECEMBER 6, 2002 it with the authority to require BOCs to establish rates for payphone services that were "cost based" and consistent with the new services test of the Computer III proceedings. However, it also found that the Act failed to provide the same authority over the rates for payphone services provided by non-BOCs. Because sections 276(a) and (b)(I)(C) apply only to BOCs, we do not find that Congress has expressed with the requisite clarity its intention that the Commission exercise jurisdiction over the intrastate payphone prices of non- BOC LECs... Although the federal regulatory pro gram implemented in section 276 would surely benefit if all LECs were required to use cost-based rates for their payphone line services, we cannot say that, with respect to non-BOC LECs, Congress has spoken with sufficient clarity to overcome the presumption of section 2(b). We do, however, encourage states to apply the new services test to all LECs, thereby extending the pro-competitive regime intended by Congress to apply to the BOCs to other LECs that occupy a similarly dominant position in the provision of payphone lines. (Paragraph 42, FCC 02-025) The use of the new services test and "cost-based" rates was specified as a means for ensuring that BOCs complied with the elimination of subsidy requirements contained in section 276 (b) (1 )(B). The requirement to eliminate such subsidies applies to all LECs, not just BOCs. The Act does not require non-BOC LECs to use these same measures to ensure their rates no longer contain subsidies, but nothing precludes the Commission from doing so as recommended by the FCC. In the multiple Commission proceedings held during 1997 and 1998 to implement the requirements of FCC's Payphone Orders Staff did not interpret the requirements of the Payphone Orders in the manner that was clarified by the FCC in the Wisconsin Order, as is evident by the dramatic changes in the rates proposed by Qwest. In particular, the overhead allocations and loading factors used in establishing the rate(s) approved by the Commission at that time sometimes varied considerably from that specified in the Wisconsin Order. A fresh look at the payphone service rates charged by other LECs in Idaho may now be appropriate. The payphone industry has seen dramatic reductions since 1998. Competition from wireless providers, calling cards and dial-a-round service providers has reduced payphone revenues considerably. As locations have become unprofitable, the phones have been removed. Based upon the numbers provided in Qwest's recent cost study, the total number of pay phones in DECISION MEMORANDUM DECEMBER 6, 2002 Qwest's service area is approximately 1/3 ofthat reported in 1998's cost studies, dropping from about 3 000 to just over 1 000. Qwest's reduction in the rates charged to payphone providers (including itself) should help to reduce the cost of providing a payphone, thereby reducing the number of locations that are being abandoned. While similar reductions are not expected in the rates of all the other Idaho LECs, a new look may certainly be appropriate. COMMISSION OPTIONS Staff believes the Commission has a number of options in how to proceed with this filing. These are: 1. Suspend this tariff advice and open a full proceeding to consider these changes. This could either be a generic proceeding to examine the impacts of the Wisconsin Order on the rates of all Idaho LECs, or a Qwest specific proceeding. This would enable the Commission to obtain input from other parties, as well as allow the Staff more time to fully analyze the cost study and other issues in this filing. 2. Approve this filing as is. The Commission could either be silent about the second step identified by Qwest that would revise the rates for call screening/fraud protection, or identify a date by which Qwest would be expected to file such revisions. 3. Suspend this filing and require Qwest to file a revised tariff that includes the changes in rates identified in this filing, as well as the changes in the rates for call screening/fraud protection. The Commission could either specify a date for such a filing, or ask the Company to identify an appropriate date. STAFF RECOMMENDATION Staff recommends the Commission suspend these two filings and require the Company to file a replacement that also includes the appropriate changes for call screening/fraud protection within 14 days. The Commission could provide Qwest with a deadline for identifying when this filing could be implemented. Staff does not believe the benefits of a full proceeding are significant enough to delay the benefits of the reduced rates included in these filings. Staff believes these rates are within the range of reasonableness, and can be supported as complying with the Wisconsin Order. While it is likely that a full proceeding would result in changes to some of these rates that is not assured DECISION MEMORANDUM DECEMBER 6, 2002 and any such changes are expected to be small. In addition, nothing precludes the Commission from making further adjustments at a later date should subsequent information indicate such changes are warranted. Staff is very concerned about the discrimination that would result if these changes were to be implemented without also changing the call screening/fraud protection rates. Staff recommends that the Commission conduct a preliminary review of the rates of other Idaho LECs, and recommends the Commission open a specific proceeding for any company in which Staff finds such a proceeding may be warranted. COMMISSION DECISION Does the Commission wish to adopt Staff recommendations? Another option identified by the Staff? Other alternatives? i:udmemos/qwest pal line rates dm DECISION MEMORANDUM DECEMBER 6, 2002