Archived System CR SCR092601-1 Detail |
Title: Change edits applied to notification(s) allowed after an FOC is sent. | |||||
CR Number |
Current Status Date |
Level of Effort |
Interface/ Release No. |
Area Impacted |
Products Impacted |
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SCR092601-1 |
Completed 7/18/2002 |
- | 3/10 | All Products |
Originator: Martain, Jill |
Originator Company Name: Qwest Corporation |
Owner: Winston, Connie |
Director: |
CR PM: Stecklein, Lynn |
Description Of Change |
Allow a jeopardy notification after a FOC instead of a non-fatal error after a FOC.
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Status History |
Date | Action | Description |
9/26/2001 | CR Submitted | CR submitted |
10/11/2001 | Discussed at Monthly CMP Meeting | Clarification meeting held |
10/18/2001 | Discussed at Monthly CMP Meeting | Presented in October meeting (see meeting minutes) |
10/25/2001 | Info Sent to CLEC | Prioritization list sent to all CLECs for IMA 10.0 ranking, status changed to prioritization |
10/31/2001 | Release Ranking | Ranking for Release 10.0 occurred at October, 2001 CMP Meeting. SCR092601-1 ranked 2 |
11/5/2001 | Qwest Response Issued | Draft response posted to CMP database |
11/15/2001 | Discussed at Monthly CMP Meeting | CR discussed in the Nov CMP meeting.(See CMP meeting minutes) |
11/28/2001 | Record Update | See action item 370 - Jill will provide the changes to the rough draft to CR# SCR092601-1(Change edits applied to notification(s) allowed after an FOC is sent). |
11/28/2001 | Clarification Meeting Held | see meeting notes |
12/12/2001 | Action Item Created | AT&T is concerned about the time frame for Qwest to issue a Jeopardy notification to CLECs, specifically for LNP and Broadband. Qwest to take an action to advise what the interval is before this interim process is implemented. |
12/18/2001 | Info Sent to CLEC | Response to action #2 sent to AT&T |
12/19/2001 | CLEC Provided Information | For details of AT&T response to action # 2, see meeting minutes. |
1/17/2002 | Discussed at Monthly CMP Meeting | CR # SCR092601-1 discussed during 10.0 Packaging Presentation |
1/17/2002 | Status Changed | CR # SCR092601-1 status updated to 'Packaged' for 10.0 |
3/13/2002 | Status Changed | Status updated from 'Packaged' to 'Development' |
3/21/2002 | Discussed at Monthly CMP Meeting | SCR092601-1 discussed at March Systems CMP Monthly meeting during IMA Release 10.0 Commitment Discussion (Attachment I) |
6/20/2002 | Discussed at Monthly CMP Meeting | SCR092601-1 discussed at June Systems CMP Monthly meeting; please see Systems CMP Distribution Package June CMP -- Attachment N |
6/20/2002 | Discussed at Monthly CMP Meeting | SCR092601-1 discussed at June Systems CMP Monthly meeting; please see Systems CMP Distribution Package July CMP -- Attachment G |
6/25/2002 | Status Changed | Status updated to CLEC Test based upon discussion at June Systems CMP Meeting and IMA 10.0 Deployment on June 17, 2002 |
7/18/2002 | Discussed at Monthly CMP Meeting | SCR092601-1 discussed at July Systems CMP Monthly meeting; please see Systems CMP Distribution Package July CMP -- Attachment G |
7/18/2002 | Status Changed | Status changed to completed |
Project Meetings |
10/11/01 -- Clarification meeting Participants included Denise Martinez, J.J. Bradley, Jerry Mohatt, Beth Foster, Lynn Stecklein. Further discussion and research is necessary within the Process Specialist organization. A follow-up meeting will be scheduled. ============= 10/18/01 October CMP Meeting During Oct CMP meeting held on 10/18/01 CLECs voted for a jeopardy notice after FOC instead of the nonfatal error after FOC. ============= 11/15/01 - CR discussed in the Nov CMP meeting. Action Item 370 was created - Jill will provide process options by Nov 30. ============= 11/28/01 - Qwest Internal Clarification Meeting A meeting was held to discuss the following 2 CR's. In attendance Jill Martain, Joan Wells, Todd Mead, Michael Buck, Lynn Stecklein The latest status is Discussed at Systems CMP meeting. There are interim process solutions available for SCR092601-1. Qwest will discuss potential interim process at the December CMP P&P meeting. CR 5582295 should be closed on agreement from CLEC community. SCR092601-1 - Lynn will maintain this CR. It has been prioritized high by the CLECs for 10.0 and will be in development for June Release. We need to maintain this in the systems CMP meeting and report on progress as it progresses through CMP process. =============== December P&P CMP Meeting 12/12/01 Qwest reviewed the proposed manual process for the Systems CR (SCR092601-1) and explained that this process would apply to all products. AT&T is concerned about the time frame for Qwest to issue a Jeopardy notification to CLECs, specifically for LNP and Broadband. Qwest to take an action to advise what the interval is before this interim process is implemented. The details of the Systems CR will be reviewed in tomorrow's Systems CMP Meeting. Based upon resolution of the timeframes with AT&T, the CLEC participants agreed that Qwest could move forward with the manual process with an effective target date of 2/1/02. ================ 12/19/01; Letter received from AT&T December 19, 2001 Todd Mead CMP Manager Qwest Communications 1801 California Street Denver, Colorado 80202 RE: E-mail titled SCR092601-1 – Time Interval Dear Todd: AT&T does not believe the proposed three-day interval to monitor AT&T Broadband’s LNP LSRS for Qwest jeopardy notices satisfies Broadband’s needs nor CR5582295 sent to Qwest June 6th, 2001. AT&T believes Qwest should not fatal reject nor send a jeopardy notice after the FOC for a product which has a three-day service interval. AT&T understands that Qwest has reduced many circumstances requiring a jeopardy notice by implementing and improving their OSS front-end edits. If there are isolated cases where a jeopardy notice must be sent after the FOC, AT&T expects this notice to be sent no later than four hours after the FOC. This jeopardy notice should be followed up with a call from the Qwest typist who issued the notification. AT&T Broadband has established internal processes which rely on a reliable FOC. Qwest’s three-day proposal places a burden on AT&T and creates a situation where the end customer resides in both switches causing a degradation of service and a double billing issue. AT&T cannot agree to go forward with the proposed implementation of SCR092601-1 in February as agreed upon in the December CMP meeting. Sincerely, Terry Bahner Supervisor AT&T Local Services Access Management Western Region
Cc: Tim Boykin Sharon Van Meter Donna Osborne-Miller
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CenturyLink Response |
Draft Response for Discussion at December CMP Meeting Qwest draft process documentation for procedures. Upon Qwest identifying the Fatal or Non-Fatal error condition after a FOC, the Service Delivery Coordinator will: 1. Issue a jeopardy notification to the CLEC via IMA EDI, fax, or email stating the reason for the jeopardy condition and the action necessary to correct the error. The reason will be a C05 for design requests and SX for non-designed requests. The associated jeopardy description will state: Error or Reject Condition Identified After the FOC Was Sent to the CLEC. 2. For the first week, place a courtesy call to the CLECs that are currently receiving a call on the non-fatal error to advise them that a jeopardy notice has been issued. 3. Follow-up the LSR in 4-hours to see if a supplement has been received to correct the error condition. If a supplement has not been received, the service order(s) will be canceled (the LSR remains in a jeopardy status). 4. The LSRs will then be followed up in 30-business days to validate if the jeopardy condition has been satisfied. If the LSR remains in a jeopardy status after 30-days, the LSR will be rejected back to the CLEC. Once a supplement has been received, the LSR will be placed back into the provisioning process and the jeopardy condition satisfied. The original Due Date may or may not be changed, depending on the error condition and the interval in which the supplement was received. NOTE: SCR92601-1 has been scheduled for 10.0 to enforce not allowing a Non-Fatal Error Notice after a FOC. This process can be manually implemented prior to 10.0 if the CLECs desire the change in process prior to system enforcement.
Draft Response Update for November 15, 2001 CMP Meeting In regards to the discussion at the last CMP meeting, Qwest agreed to investigate what would be required to be able to implement the CLEC request to receive a jeopardy notice when a CLEC error is detected after FOC issuance instead of the non-fatal error that is currently sent. Qwest has reviewed process and system impacts across all products and has determined that: 1. One issue that was not discussed at the last meeting was driving closure to the jeopardy notice. Since Qwest will be issuing a jeopardy notice, the 4-hour requirement for resolution before rejection is removed. A timeline for resolution is still required. Qwest is proposing that if the CLEC jeopardy condition is not resolved within 30 calendar days that the LSR is rejected. 2. Internal system changes are needed; however, the opportunity to move forward with process changes in advance of system changes does exist. Qwest could implement the process change manually, without the system changes that would prevent a non-fatal error message from being sent after the FOC. With this approach, the chance for human error exists, especially when the process change is first implemented. Qwest can monitor the process change for compliance and reinforce it through reports, but the ultimate results are realized when the system changes are made. Therefore, in order to use this approach, CLECs must recognize that Qwest would be using process changes to transition from non-fatal error messages to jeopardy notices. The transition would be complete with the implementation of the necessary system changes. Based on the above information, Qwest cannot determine an actual implementation date at this time. Because of the proposed process changes mentioned above, this Change Request will also be discussed in the Product and Process Meeting scheduled on December 12, 2001.
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Information Current as of 1/11/2021